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The ADAA has an obligation to disseminate knowledge in the field of dentistry. Sponsorship of a continuing education program by the ADAA does not necessarily imply endorsement of a particular philosophy, product, or technique.
Dentistry is a business as well as a health care service profession. It is essential to provide treatment for patients in a caring manner, but it is also necessary to maintain maximum efficiency and production in order to maintain a successful practice. The administrative assistant plays a key role in the smooth operation of any dental practice. The administrative team of the 21st century is challenged with: new technology, federal and state mandates, patient needs, managed care, shortage of competent personnel, satellite offices, expanding group practices, redefinition of auxiliary utilization and credentialing and an ever-changing dental health care system. This financial management course focuses on how a dental practice protects information, receives monies for services rendered, and makes payments to outside entities. Upon completion of this course, the business assistant will be able to apply standard financial procedures to any dental practice.
HIPAA and Record Protection
The Health Insurance Portability and Accountability Act (HIPAA) was signed into law on August 21, 1996 with regulations to be implemented by 2002 in all areas of healthcare. HIPAA requires that the transactions of all patient healthcare information be designed in a standardized electronic style. In addition to protecting the privacy and security of patient information, HIPAA includes legislation on the formation of health savings accounts (HSA's), the authorization of a fraud and abuse control program, the easy transport of health insurance coverage, and the simplification of administrative terms and conditions.
HIPAA covers three key areas, and its privacy requirements can be broken down into three types: privacy standards, patients' rights, and administrative requirements.
A fundamental concern of HIPAA is the careful use and disclosure of protected health information (PHI). PHI is commonly electronically controlled health information that can be recognized individually, typically through the use of Social Security numbers or other individually designated identifiers. PHI also refers to verbal communication, although the HIPAA Privacy Rule is not intended to obstruct necessary verbal communication. The United States Department of Health and Human Services (USDHHS) does not require restructuring of the dental practice, such as soundproofing, architectural changes, and so forth, but some caution is necessary when exchanging health information by conversation.
|•||Law enforcement with valid permission (i.e., a warrant)|
|•||Perceived child abuse|
|•||Public health supervision|
When divulging PHI, a dentist must try to disclose only the minimum necessary information, to help safeguard the patient's information as much as possible. It is important that dental professionals adhere to HIPAA standards because healthcare providers (as well as healthcare clearinghouses and healthcare plans) who convey electronically formatted health information, via an outside billing service or merchants, are considered covered entities. Covered entities may be dealt serious civil and criminal penalties for violation of HIPAA legislation. Failure to comply with HIPAA privacy requirements may result in civil penalties of up to $100 per offense with an annual maximum of $25,000 for repeated failure to comply with the same requirement. Criminal penalties resulting from the illegal mishandling of private health information can range from $50,000 and/or 1 year in prison to $250,000 and/or 10 years in prison.
HIPAA allows patients, authorized representatives, and parents of minors, as well as minors, to become more aware of the health information privacy to which they are entitled. If any health information is released for any reason other than TPO, the patient is entitled to an account of the transaction. Therefore, it is important for dentists to keep accurate records of such information and to provide those records when necessary.
The HIPAA Privacy Rule determines that the parents of a minor have access to their child's health information. This privilege may be overruled, for example, in cases where there is suspected child abuse or the parent consents to a term of confidentiality between the dentist and the minor. The parents' rights to access their child's PHI also may be restricted in situations when a legal entity, such as a court, intervenes and when a law does not require a parent's consent. For a full list of patient rights provided by HIPAA, be sure to acquire a copy of the law and to understand it well.
A Notice of Privacy Practices, a document detailing the patient's rights and the dental practice's obligations concerning PHI, also must be drawn up. Further, any role of a third party with access to PHI must be clearly documented. This third party is known as a business associate (BA) and is defined as any entity that, on behalf of the dentist, takes part in any activity that involves exposure of PHI.
A Business Associate (BA) is a person or entity that, on your behalf, performs or assists in the performance of a function or activity involving the use or disclosure of PHI.
Examples of Business Associates:
|•||Dental and/or medical laboratories|
|•||Computer support staff|
|•||Others who have access to use or disclose PHI as part of their responsibilities to you|
The following are not considered to be Business Associates: a member of the staff such as an employed dental associate, assistant, receptionist or hygienist; the U.S. Postal Service, or a janitorial service.
The Security Rule defines highly detailed standards for the integrity, accessibility, and confidentiality of electronic protected health information (EPHI) and addresses both external and internal security issues.
Entities covered by HIPAA are required to:
|•||Assess potential risks and vulnerabilities|
|•||Protect against threats to information security or integrity, and guard against unauthorized use or disclosure of information|
|•||Implement and maintain security measures that are appropriate to their needs, capabilities, and conditions|
|•||Ensure entire staff compliance with these safe guards|
The standard is broken into three separate parts:
Administrative Safeguards - This segment, which makes up half of the complete standard, limits access to information to proper individuals only and shields information from all others. It must include documented policies and procedures for daily operations, address the conduct and access of workforce members to EPHI, and describe the selection, development, and use of security controls in the workplace.
Physical Safeguards - Physical safeguards prevent unauthorized individuals from gaining access to EPHI via computerized systems and the Internet.
Technical Safeguards - This section includes using technology to protect and control access to EPHI. Computers are now a fundamental part of most dental practices. Electronic communications for patient-care purposes must meet the standards of HIPAA. Confidentiality remains a prime concern, and certain measures must be taken to ensure that patient information is neither shared nor accessible to unofficial parties. Also, the authenticity of the original record must be maintained with electronic transmissions. It is important to make sure dental software packages contain features that address both confidentiality and the integrity of the original records. When choosing a computerized charting program, the inability to change records must be considered. Once an entry is made, the only way to modify that entry should be to amend it in the form of an addition; once entered, an existing entry should be inalterable.
The accounts receivable in a dental practice is all monies owed to the practice. Accounts receivable management, commonly referred to as bookkeeping, involves maintaining financial records for all transactions related to collecting fees for services rendered to the patients. With the high cost of materials and equipment, practice profit management is important. Information must be arranged so that it is always current, precise, and provides the information needed to efficiently manage financial matters.
The dentist may obtain bonding insurance on team members whose primary responsibility is to handle the practice monies through receiving, banking patient payments and writing disbursements. While this insurance will cover a loss of money, the team member can be still be prosecuted under the laws of a given state for any theft of funds.
Financial Records Organization
Many dental financial records will be kept for a minimum of seven years, and most dental practices keep them indefinitely. Financial information should not be kept in the patient's clinical chart. Ledger cards, insurance benefit breakdowns, insurance claims, and payment vouchers are not part of the patient's clinical record and should not be included in, or on the front cover of, their record. If such information must be filed, keep it under a separate cover in a different location of the practice.
A great benefit to computerized dental software is the organization it provides for these records. Once correctly entered, the information remains intact and saved with each back up. Depending on the software chosen, windows or tabs can be opened to access different information quickly and efficiently.
Basics of Accounts Receivable
The accounting process begins when the patient leaves the treatment area. Fees charged for services provided are done so according to a fee schedule, defining what patients are charged for each particular service. The fee schedule is referred to as the usual, reasonable and customary fee. The usual fee refers to the fee typically charged by the dentist for a specific treatment procedure. The reasonable fee is the midrange of fees charged for the same procedure; if the case was particularly difficult, then the usual fee may be raised to reflect the degree of difficulty. The customary fee is the average, up to the ninetieth percentile, that dentists in the area charge for the same procedure. This type of fee schedule allows for some flexibility on the part of the dental practice. If he or she wishes to charge more for a particular procedure, the insurance companies utilizing "fee-for service plans" will not pay above the usual, reasonable and customary fee schedule. Patients are then billed for any charges not covered by the insurance company and may become upset if fees were not previously discussed in the treatment plan or at the consultation appointment. Most dentists choose to stay within the fee schedule range. This range can be adjusted yearly, if need be, by raising fees three to five percent for area dentists, in order to cover the rising costs of dentistry.
Dentists, on occasion, offer courtesy adjustments to their charged fees. A professional courtesy is offered to other dental professionals, dental team members, family and friends. Additionally, a courtesy adjustment may be made to patients paying in full on the day of service, or by offering a senior discount to older patients. The dentist has the discretion to make any adjustments to fee requests. Careful consideration must be used when a dentist chooses to offer a discount as this can be seen as "changing fixed fees" and viewed as a form of discrimination. Each practice should consult their state's Dental Practice Act and the ADA Code of Ethics on Fraudulent Behaviors.
Another area that impacts many dental practices, in which dentists make adjustments, is dental insurance. Dentists who accept assignments in specific insurance programs agree to accept a payment in full by the provider. If a dentist treats a patient on a particular program with whom he or she is participating, and the insurance company reimburses at $80 for treatment that was billed at $100, the dentist must write off or adjust the remaining $20. The patient is not responsible for the remaining $20 because the dentist is a provider for that particular insurance plan. The dental team must be made aware that a practice cannot survive if the dentist was a participating provider for all insurance companies. The adjustments would quickly outweigh profitability. Dental insurance is covered more thoroughly under third party payments.
Charge Slips/Routing Slips. In dental practices that are not paperless, each patient will have a charge slip (or routing slip) that details certain information. On this form, the patient's personal information is located, along with insurance information, current balance, any past due balance and an area for the clinical team to list services rendered for the patient that day. Most slips will also have an area for noting any additional appointments.
The completed charge slip is returned to the administrative team for posting of charges to the accounts receivable system. At the end of the day, the total on the charge slips are matched against the amounts entered into the computer system. In paperless practices, this data is entered into the computer system, in the treatment area, by one of the clinical team members.
Creating Financial Arrangements. Many individuals live within monthly budgets for household and personal expenses. When a dental emergency arises, or a large treatment plan is needed, some dental practices create financial arrangements with their patients to assist them with financing their treatment. Expensive treatment options such as a crown, bridgework, dentures, orthodontics or a root canal can severely impact a patient's finances especially if the entire amount must be paid in full at the time of service.
Financial arrangements are made when fees are presented, usually at the time of the treatment plan and case presentation. For patients with a well-established history with the dental practice, arrangements are typically made quickly. For new patients, or patients with a history of slow payment, a credit report may be warranted (with the patient's consent) before a determination is made to offer a financial plan. Also, most dental practices accept credit cards for payment.
Patients who have a poor credit history may be steered to an outside agency offering low interest loans for dental treatment. Agencies vary from state to state, but are available to dental patients. With outside financing, the dental practice is not involved in the financial arrangements. The patient receives a loan for dental treatment, the dental office is paid in full, and the patient makes payments to the lending agency.
When financial arrangements are made, the total amount of treatment is divided by a specified number of months. Some practices offer six months interest free, and on day 181, the interest will begin accruing on any remaining amount. Other practices allow patients up to three months interest free. It is up to the discretion of the dentist to offer different terms in special circumstances. After the patient has accepted the proposed treatment, the administrative team member may be asked to work with the patient to develop a payment plan amenable to both the patient and the dental practice. When financial arrangements are developed, the following information should be considered:
|•||Total fee for services to be rendered|
|•||Balance, after deduction of a down payment, which is the amount that is financed|
|•||Annual percentage rate of the finance charge - if there is one|
|•||Number of payments to be made|
|•||Amount of each payment|
|•||Date on which each payment is due|
Once this information has been determined, the financial agreement is completed (Figure 1) and the patient and the dentist each signs the contract. A copy is given to the patient and the original is retained by the practice in the administrative area. For dental practices with computerized systems, a note is often placed on the patient's account within the system.
Some software systems allow the user to change default parameters such as the statement date and the finance charge accruement.
Maintaining Financial Arrangements. Some dental practices may delegate the maintenance of financial arrangements to the practice administrator or one of the administrative team members. Depending on the number of arrangements made within the practice, there are several methods of tracking payment dates. For practices that are not computerized, a large calendar can be used to write the patient's name on the date payments are due. Computer software also has calendar and tracking capabilities. Other software allows the administrative team members to print a monthly statement of patient payments that are due.
If a patient's payment does not arrive by the designated date, most dental practices allow 5-7 days before contacting the patient. For patients with a good payment history, the delay may be slow mail delivery or the payment was sent a day or two late. Conscientious patients will call if their payment is going to be late. For patients who have a slower payment history, a courtesy call is often made to remind the patient of this financial obligation. If the team member reaches the patient via telephone, an offer to place the charge on the patient's credit card ensures the dental practice of prompt payment of the outstanding bill.
There are different options to utilize credit card payments. Some patients will call on the due date with their credit card information, while others will authorize the dental practice to charge the specified amount on the monthly due date.
Maintenance of Account Records
Maintenance of patient account records is vital to the profitability and success of the dental practice. It is crucial that amounts owed to the dental practice be collected in a timely and organized manner.
For offices that do not utilize a computer, this maintenance is completed with paper receipts, ledger cards, and a pegboard system. A pegboard system utilizes specially coordinating papers that are backed with a no-copy-required, or NCR, film. When stacked properly upon each other, the papers require the writer to only inscribe the transaction one time to produce a daily journal record, ledger card record for billing, and patient receipt or walk-out statement.
The daily journal page is the practice record of all transactions for patients seen each day the practice is open for business. The journal page includes the patient's name, any charges, payments and adjustments to the account. As each patient concludes an appointment, postings are made into the system for each individual patient. If the office operates a computer, the column totals of the daily journal page are automatically figured and are used to generate other practice reports.
Receipt and walkout statements are frequently generated throughout the day. When a patient pays for a service or makes a payment on the account, a receipt is given for the patient's records. A walk-out statement (Figure 2) is similar to a receipt; however, it lists the charges for the day and balance totals for the account. Walk-out statements are sometimes requested by those patients who do not pay at the time of service. Typically, this type of statement is provided with a return envelope, sometimes with prepaid postage. Walk-out statements are also given to patients with outstanding balances, as a reminder that money is owed on the account. The regular use of walk-out statements improves a practice's cash flow as payments are often received more quickly. The use of walk-out statements also reduces the number of statements that need to be prepared at the end of the month.
Day-End Activities. The daily journal page, also known as a day sheet (Figure 3), is often used in the day-end activities of the administrative team. One member may be responsible for making sure that the bookkeeping system balances. Errors are found at times, and frequently the term GIGO is used: garbage in, garbage out, meaning that the output will only be as good or as accurate as the information entered into the system.
Activities completed at the end of the day ensure that all the data is accurate before transactions are input into the bookkeeping system the following day. Receipts must match bookkeeping balances with charges posted to the correct patient and correct provider furnishing the service. Any adjustments must also be properly documented. Each dental practice will differ in its protocol concerning end of the day activities.
Preparation of Daily Bank Deposit. All financial receipts of the dental practice should be deposited daily. When the amount of the receipts for a given day matches the amount of the deposits, bookkeeping accuracy has been achieved. A deposit slip is an itemized accounting of the currency and checks taken to the bank to be credited to the dental practice's account. This deposit slip can be generated from a computer after all checks have been posted to the patient accounts. After the amount has been deposited in the practice account, the date and the amount of deposit should be entered in the practice check register.
Bank Deposit Slip:
|•||All cash (paper and coins) is listed under currency.|
|•||Checks are listed separately on the deposit slip by the last name and the first initial of the person issuing the check. Computer systems do this automatically. Some financial institutions do not require the listing of individual checks, but instead will accept a calculator printing of the amounts entered on the checks and at the very end listing the number of checks.|
|•||Some dental practices will prepare the deposit slip in duplicate so one will be on record with the practice's financial records.|
|•||All checks must be endorsed on the back of the check with the practice's deposit stamp.|
Account Statements. Generation of account statements (Figure 4) will vary from practice to practice depending on the parameters set within the software program. Some practices generate a patient statement ten days following the posting of charges. Other practices wait a full thirty days before generating a statement. A statement will not generate if there is an insurance payment pending. The benefits of sending statements less than thirty days include a lesser amount of statements being generated on a given day. For patients that have not been in and have an outstanding balance, their statements are still generated monthly until the balance is zero. For the practices that do all statements monthly, many will break the alphabet into thirds and do cycle billing for each third of the alphabet. The beginning of the alphabet is generated in the first third of the month, the middle in the middle third of the month and the last third at the end of the month. When an insurance payment is received and the entire balance is not reimbursed, a statement is sent to the patient for the remaining portion, unless the dentist is a participating provider and the amount is adjusted.
A statement should not be generated if an insurance payment is pending. However, if the account is expecting several insurance payments, statements may be generated and sent at the assigned time to reflect the patient's portion due-to-date.
Finance charges that accrue on unpaid balances will go into effect at the agreed time. Some dental practices allow a thirty-day grace period, while others allow a ninety-day grace period. It is the decision of the dentist as this directly affects the profit margin. Another factor the dentist should consider is the size of the patient database.
Month-End Activities. The accounts receivable report (Figure 5) is a valuable management tool. This report shows the total balance due on each account plus the report provides an analysis on the age of the account. Accounts are aged as follows:
|•||Current - recent charges not yet billed to the patient|
|•||30 days old|
|•||31 to 60 days old|
|•||61 to 90 days old|
|•||Over 91 days|
Information provided in this report is helpful in tracking accounts and notifies the assistant which accounts are overdue. The computer can automatically generate this report with a breakdown of the account age. For dental practices that do not use a computer system for bookkeeping, it is possible to generate a manual aged account report.
Delinquent Accounts. Accounts, at times, will become delinquent. It is important that all efforts to collect delinquent payments from patients be done with tact and within the dental practice's policies regarding this matter. Ultimately, the dentist is responsible for the actions of her or his employees and does not want to lose a patient who has fallen on hard times to an overly aggressive employee. Under the Fair Debt Collections Act, it is illegal for anyone to do the following when attempting to collect a debt:
|•||Telephone the delinquent individual before 8 am or after 9 pm|
|•||Use obscene language or threaten violence|
|•||Use false pretenses to obtain information|
|•||Contact the delinquent individual's employer, except to verify employment or residence|
Most dental practices will attempt to contact the delinquent patient by phone or by mail prior to turning over the individual to a collection agency. All attempts at collecting monies owed by mail should be phrased in a positive, but firm manner. Business-like terms should be used to make every effort in persuading the patient to pay the debt, to assist in the payment of the debt and to allow the patient to avoid further embarrassment while doing so. Collection letters should be individualized to suit the situation, with early letters designed to act as mere reminders of a debt "forgotten." The patient should always be given the benefit of the doubt that intentions were good to pay, until lack of response over a period of time proves differently. When sending letters of any sort, reference to debt collection may not be placed on the outside of the envelope, as this is an invasion of privacy.
The longer a practice puts off collection on accounts, the more difficult it will be to collect on the debt and the chances of receiving the debt diminish. Severely delinquent accounts are often turned over to an outside collection agency. These agencies will normally charge one third of the balance collected as its fee. All accounts that are turned over to a collection agency are reported to the credit bureau. Many patients do not realize that neglectful repayment habits will affect other areas of their personal lives because of the reporting to the credit bureaus. After debt is collected by the collection agency, the fees are subtracted and the balance is sent to the practice. The practice will then write off any remaining balance as bad debt.
Debt Collection Timetable:
|•||30 Days - Regular statement sent 30 days after treatment, on completion of treatment with financial arrangements printed on statement.|
|•||60 Days - Second statement with a printed collection message or a telephone call.|
|•||75 Days - Telephone call with a cordial collection letter.|
|•||90 Days - Third statement with a stronger worded collection message stating unless payment is received in ten days, the account will be turned over to a collection agency for action.|
|•||105 Days - Telephone call stating unless account is paid in full, it will be turned over to a collection agency for action.|
|•||120 Days - If no payment has been made and promises not kept, the account is referred to a collection agency for debt repayment.|
There are special circumstances that affect a dental practice's collection efforts:
|•||Bankruptcy - when a patient declares bankruptcy, the dental practice is notified and all attempts at collecting debt must be stopped. The practice is no longer able to send statements or to contact the patient by phone regarding the amount owed. Any balance remaining is written off as a loss to the practice as bad debt.|
|•||When a patient dies and finances are held up in probate, a person is typically designated to execute the deceased individual's estate and oversee any payments of outstanding bills. Monthly statements should be addressed to the individual as "To the Estate of Abigail Jones" until paid in full.|
|•||It happens infrequently, but patients can "skip" town without leaving a forwarding address. Statements mailed by the practice will be returned with "no forwarding address" on the outside of the unopened envelope. The address should be verified to make sure it is correct; if so, the practice has three choices:|
|1.||Pursue the unpaid debt|
|2.||Turn the patient over to a collection agency|
|3.||Write off the remaining balance as "bad debt," resulting as a loss for the practice.|
Management Reports. A variety of management reports can be prepared from most computerized software systems.
Examples of these reports include:
|•||Aging account balances - patient accounts with a balance remaining on the account.|
|•||Pending insurance payments - insurance claims waiting to be received and posted to the patient accounts. If a long period of time has passed, a call to the insurance company can verify if the claim was received for processing.|
|•||Pending treatment plans - treatment plans sent for predetermination to the insurance companies, but not yet accepted by the patient.|
|•||Unscheduled preventative appointments - patients who need restorative appointments.|
|•||Unscheduled recare appointments - patients not yet contacted or who have not scheduled recare appointments.|
|•||Unscheduled pending page appointments - patients who have broken or cancelled appointments and have not yet rescheduled.|
There are many other management reports that may be generated for marketing purposes, such as:
|•||Patient demographics - reports based on age or zip code.|
|•||Treatment class production goals - how much was produced in a specific fee code for the month; e.g., amount produced for whitening procedures.|
|•||Production amount based by provider - amounts produced can be tracked by department (doctors, hygiene, assisting), or by the individual team members.|
What dental practices do with these different management reports varies greatly from location and type of practice and depends on the dentist's motivation in marketing practices.
Third Party Carriers
The effective management of patient accounts is another critical element of a smooth running dental practice. The dentist must institute understandable financial policies that will guide the administrative team in managing patient accounts and inquiries. The administrative team must first gather financial information from the patient. After the dentist presents the treatment plan to the patient, the administrative assistant presents the fee information. The fees are derived from the dentist's fee schedule, which describes the fees for all the procedures that are performed in the office.
Once the fee has been presented, the administrative team member makes financial arrangements with the patient based on the office's policies and the patient's financial status. Financial arrangements are always made prior to the initiation of treatment. In many cases, the patient has some form of dental insurance that will reduce the cost of the dental treatment. The dental insurance typically does not cover the entire fee, and as a result the patient is responsible for the balance of the fee. The patient must pay this portion according to the previously arranged financial arrangements. With so many changes in healthcare and reimbursement schedules, it is crucial for the practice administrator to be current on plan policies and procedures.
Dental insurance is intended to increase access to dental care by reducing the cost to the patient. Nevertheless, dental insurance is usually not designed to pay the entire cost of the treatment and in most situations, the patient remains responsible for payment of a portion of the dentist's fee.
Fees and Third Party Payments
Insurance reimbursements can account for a large portion of the dental practice income. Therefore, the administrative assistant must be able to file claims in an accurate and timely manner, and follow up on claims as needed. Since the patient and the insurance carrier share costs, it is important to see that fees are charged and collected properly from the appropriate party.
When a patient has dental insurance, there are four parties involved: the subscriber, or insured, which may or may not be the patient. The second party involved is the group, often an organized group such as a union. This group is generally represented by a negotiating team, which has a broad background in benefits bargaining. The team is eager to obtain high quality dental care at minimal additional cost to its members. As a result, the employer agrees to purchase a dental insurance package from a carrier as a benefit for employees. The third party is the carrier, or the insurance institution, which has the primary role of distributing the dollars to the provider, the dentist, for services rendered to one of its subscribers, the patient. The amount of money the carrier pays depends upon the type of coverage purchased by the group. The dentist, who becomes the provider of dental service, is the fourth party in the insurance puzzle. The dental team must seek to perform the highest quality professional care, maintaining ethical standards at all times.
Dental insurance can be a mystery to many dental patients and not all patients are aware of the extent of their coverage or possible limitations. The patient must realize that when a treatment plan is accepted, he or she has also accepted the financial responsibility for that plan, even though it may not be covered in full by the carrier. Most groups inform their members through informational pamphlets, but often these are interpreted incorrectly by patients and thus, the administrative team member must be able to explain the benefits to the uninformed patient.
There are many variations in insurance plans, and the administrative team member should be certain to inform the patient of the benefits and the limitations of his/her plan. It is also important to understand how these different methods of payment influence the amount of payment the dentist will receive from the insurance carrier. There are many different ways in which dental plans reimburse for patient care.
Fee-for-Service. Under the fee-for-service system, the dentist is paid on the basis of services actually rendered. A major difference in these fee-for-service programs is the method in which payment is determined. The three most frequently used techniques of calculating prepaid, or fee-for-service, dental insurance benefits include: usual, customary, and reasonable (UCR) fees, schedule of benefits, and fixed fee schedule.
Usual, Customary, and Reasonable Fees (UCR). Insurance payment for covered benefits is based on a combination of usual, customary, and reasonable fee criteria. With this plan, the dentist is reimbursed for the services rendered based on usual, customary, and reasonable fees as it relates to that of other dentists in a given geographical area. The usual fee is the fee usually charged by the dentist for a particular procedure to private patients. The dentist must file his/her fees with the insurance company ahead of time and they are reflected in the carrier's records as the dentist's fee profile. The customary fee for a given service is set by the insurance carrier. The carrier sets the customary fee at a percentile of the usual fees charged by dentists with similar training and experience within the same geographic area. (See Table 1, Understanding the 90th Percentile)
A reasonable fee is one that is usual and customary, or it is justified because of a special circumstance. For example, the dentist may increase the usual fee for a particular procedure if there were difficulties with the case, or if treatment was extensive or complex (such as, during the course of treatment, a simple extraction becomes a surgical extraction).
In a UCR plan, the payment can still be low and the patient is often responsible for the difference between the insurance payment and the dentist's fee. The limitation of the plan also influences the amount that the dentist receives from the insurance carrier and how much the patient must pay.
Schedule of Benefits. This plan is also referred to as a table of allowances. The schedule of benefits is a list determined by the insurance company that stipulates the amount of the benefit the insurance company will pay for particular procedures. Typically, the patient must pay the difference between what the schedule of benefits allows for the procedure and the dentist's actual fee; however, the amount the patient actually pays will also be influenced by other factors in the patient's plan. In addition to these common types of programs, there are alternative payment plans discussed in the next section.
Fixed Fee. With this type of plan, the insurer gives the dentist a fixed fee schedule for particular procedures. This determines the amount of benefits received by the dentist, and the dentist accepts this amount as full payment. The patient cannot be billed for the remainder of the fee. Fixed fee plans are usually federally supported, such as Medicaid and Medical Assistance and can vary from state to state.
Alternative Plans. There are a number of alternative insurance payment plans and programs. They include the following:
|•||Capitation programs - In a capitation program the dentist has contracted to provide most, if not all dental services covered under the program to subscribers in return for payment on a per capita basis, not for services rendered. As a substitute, the contracting dentist receives a fixed rate per covered member regardless of the services provided. These capitation plans are commonly used in health maintenance organizations (HMO) and dental maintenance organizations (DMO). In these types of organizations, the dentists are employed by the HMO or DMO and provide dental care. Another alternative to HMO's and DMO's is to have the dentist contract with the organizations but maintain private practice. In both types of circumstances, the subscriber's options are restricted to those dentists who are under contract with the HMO or DMO.|
|•||Direct reimbursement plans - Direct reimbursement plans are a self-funding program in which the patient is reimbursed by his or her employer on the basis of a percentage of dollars spent for dental care provided. Under this type of plan, patients are able to seek dental care from the provider of their choice because no insurance carrier is involved. When dental care is sought, the patient pays for the treatment and then is reimbursed for a portion of the expense. The extent of reimbursement depends on the plan designed by the employer.|
|•||Health savings/health reimbursement accounts- Many employers offer a health savings account (HSA) or a health reimbursement account (HRA) as a benefit to their employee packages. These accounts are alternatives in managing the increasing costs of dental and medical care. HSA's allow the patient to save a specified dollar amount from each payroll check throughout the year and submit health-related expenses for reimbursement. HRA's are similar to direct reimbursement plans.|
|•||Point of service plans - are plans in which the benefit carrier reimbursement levels are determined by the participation status of the dentist rendering the dental treatment.|
|•||Open panel systems - are plans in which any licensed dentist may participate, enrollees may receive dental treatment from any licensed dentist, and benefits may be payable to either the enrollee or the dentist. The dental provider may accept or refuse any enrollee under this system.|
|•||Closed plan systems - are plans in which enrollees can only receive benefits when dentists who have signed an agreement with the benefit plan provide services. Dental providers then provide treatment to eligible patients.|
|•||Individual (Independent) Practice Associations (IPA) - a type of HMO. An IPA is an organization formed by groups of dentists for the primary purpose of collectively entering into contracts (with employers) to provide dental services to the enrolled populations (usually employees). These services are frequently provided on a capitation basis. These dentists may choose to practice individually or work together in a large group practice. In addition to treating patients enrolled in the IPA, care may be provided to individuals not covered by the contract, but as a traditional fee for service plan.|
|•||Preferred Provider Organizations (PPO) - a plan in which a participating dentist agrees to accept discounted fees for covered services rendered to plan enrollees. This is a variation of fee for service. Many dental providers may join a PPO as a marketing tool to attract new patients, or in an effort to retain current patients who are covered by the PPO plan. Patients who are not under the PPO plan are charged the dentist's usual fees. Patients may select their own dentist, however, they have the incentive to select the "preferred providers" because a larger portion of the costs will be covered under the contract.|
|•||Exclusive Provider Organizations (EPO) - a plan in which benefits are provided only if dental care is provided by institutional and professional providers with whom the plan contracts. There may be some exceptions allowed for emergency and out of the area care.|
Government Programs. Title XIX of the Social Security Act is a Federal/State entitlement program that pays for medical assistance for certain individuals with low incomes and few resources. The program is known as Medicaid and became law in 1965 as a cooperative venture jointly funded by the federal and state governments to assist states in furnishing basic care to needy persons. Medicaid is the largest source of funding for medical and health-related services for America's poorest of the poor. Within broad national guidelines established by federal statutes, regulations, and policies, each state:
|1.||Establishes its own eligibility standards;|
|2.||Determines the type, amount, duration, and scope of services;|
|3.||Sets the rate of payment for services; and|
|4.||Administers its own program.|
Medicaid policies for eligibility, services, and payment are intricate and vary considerably, even among states of similar size or geographic proximity. As a result, a person who is eligible for Medicaid in one state may not be eligible in another state, and the services provided by one state may differ considerably in amount, duration, or scope from services provided in a similar or neighboring state. Additionally, state legislatures may make changes to Medicaid eligibility, services, or reimbursement during the year.
Medicaid does not provide medical assistance for all poor individuals. Under the broadest provisions of the federal statute, Medicaid does not provide health care services, even for very poor persons, unless they are in one of the following groups. Individuals are generally eligible for Medicaid if they meet the requirements for the Aid to Families with Dependent Children (AFDC) program that were in effect in their state on July 16, 1996.
|•||Children under 6 years of age whose family income is at or below 133 percent of the federal poverty level (FPL).|
|•||Pregnant women whose family income is below 133 percent of the FPL (services to these women are limited).|
|•||Supplemental Security Income (SSI) recipients in most states (some states use more restrictive Medicaid eligibility requirements that pre-date SSI).|
|•||Recipients of adoption or foster care assistance under Title IV of the Social Security Act. Special protected groups (typically individuals who lose their cash assistance due to earnings from work or from increased Social Security benefits, but who may keep Medicaid for a period of time).|
|•||All children born after September 30, 1983, who are under age 19, in families with incomes at or below the FPL.|
Low income is only one test for Medicaid eligibility for those within these groups; their resources also are tested against threshold levels as determined by each state within federal guidelines. States generally have broad discretion in determining which groups of individuals their Medicaid programs will cover and the financial criteria for Medicaid eligibility. To be eligible for federal funds, however, states are required to provide Medicaid coverage for certain types of individuals who receive federally assisted income-maintenance payments, as well as for related groups not receiving cash payments. Besides Medicaid programs, most states have additional "state-only" programs to provide medical assistance for specified poor persons who do not qualify for Medicaid. Federal funds are not provided for state only programs. The following enumerates the mandatory Medicaid "categorically needy" eligibility groups for which federal matching funds are provided:
|•||Infants up to age 1 and pregnant women not covered under the mandatory rules whose family income is no more than 185 percent of the FPL (the percentage amount is set by each state).|
|•||Children under age 21 who meet criteria more liberal than the AFDC income and resources requirements that were in effect in their state on July 16, 1996.|
|•||Institutionalized individuals eligible under a "special income level" (the amount is set by each state-up to 300 percent of the SSI Federal benefit rate).|
|•||Individuals who would be eligible if institutionalized, but who are receiving care under home and community-based services (HCBS) waivers.|
|•||Certain aged, blind, or disabled adults who have incomes above those requiring mandatory coverage, but below the FPL.|
|•||Recipients of state supplementary income payments.|
|•||Certain working-and-disabled persons with family income less than 250 percent of the FPL who would qualify for SSI if they did not work.|
|•||TB-infected persons who would be financially eligible for Medicaid at the SSI income level if they were within a Medicaid-covered category (however, coverage is limited to TB-related ambulatory services and TB drugs).|
|•||Certain uninsured or low-income women who are screened for breast or cervical cancer through a program administered by the Centers for Disease Control. The Breast and Cervical Cancer Prevention and Treatment Act of 2000 (Public Law 106-354) provides these women with medical assistance and follow-up diagnostic services through Medicaid.|
|•||"Optional targeted low-income children" included within the State Children's Health Insurance Program (SCHIP) established by the Balanced Budget Act (BBA) of 1997 (Public Law 105-33).|
|•||"Medically needy" persons. The medically needy option allows states to extend Medicaid eligibility to additional persons. These persons would be eligible for Medicaid under one of the mandatory or optional groups, except that their income and/or resources are above the eligibility level set by their state. Persons may qualify immediately or may "spend down" by incurring medical expenses that reduce their income to or below their state's medically needy income level.|
Medicaid does not provide medical assistance for all people with limited incomes and resources. Even under the broadest provisions of the federal statute (except for emergency services for certain persons), the Medicaid program does not provide health care services for everyone. An individual must qualify for Medicaid. Low-income is only one test for Medicaid eligibility; assets and resources are also tested against established thresholds. Categorically needy persons who are eligible for Medicaid may or may not also receive cash assistance from the Temporary Assistance for Needy Families (TANF) program or from the Supplemental Security Income (SSI) program. Medically needy persons who would be categorically eligible except for income or assets may become eligible for Medicaid solely because of excessive medical expenses.
Dental services under Title XIX of the Social Security Act, the Medicaid program, are an optional service for the adult population, individuals age 21 and older. However, dental services are a required service for most Medicaid-eligible individuals under the age of 21, as a required component of the Early and Periodic Screening, Diagnostic and Treatment (EPSDT) benefit.
EPSDT is Medicaid's comprehensive child health program. The main focus of the program is on prevention, early diagnosis and treatment of medical conditions. EPSDT is a mandatory service required to be provided under a state's Medicaid program. Dental services must be provided at intervals that meet reasonable standards of dental practice, as determined by the state after consultation with recognized dental organizations involved in child health, and at such other intervals, as indicated by medical necessity, to determine the existence of a suspected illness or condition. Services must include at a minimum, relief of pain and infections, restoration of teeth and maintenance of dental health. Dental services may not be limited to emergency services for EPSDT recipients. Oral screening may be part of a physical exam but does not substitute for a dental examination performed by a dentist as a result of a direct referral to a dentist. A direct dental referral is required for every child in accordance with the periodicity schedule set by the state. The Centers for Medicare & Medicaid Services do not further define what specific dental services must be provided, however, EPSDT requires that all services coverable under the Medicaid program must be provided to EPSDT recipients if determined to be medically necessary. Under the Medicaid program, the state determines medical necessity. If a condition requiring treatment is discovered during a screening, the state must provide the necessary services to treat that condition, whether or not such services are included in the state's Medicaid plan.
States may elect to provide dental services to their adult Medicaid-eligible population, or elect not to provide dental services at all, as part of its Medicaid program. While most states provide at least emergency dental services for adults, less than half of the states provide comprehensive dental care. There are no minimum requirements for adult dental coverage.
Coverage may start retroactive to any or all of the three months prior to application if the individual would have been eligible during the retroactive period. Coverage generally stops at the end of the month in which a person's circumstances change. Most states have additional "state-only" programs to provide medical assistance for specified people with limited incomes and resources who do not qualify for the Medicaid program. No federal funds are provided for state-only programs. Payment is based on a schedule of benefits and the dentist must accept the amount paid by the carrier as payment in full. The dental practice may not bill the patient for the difference between the usual fee and the amount that Medicaid has paid.
Because Medicaid programs are managed differently from one state to another, policies and regulations governing covered dental services vary. Most Medicaid programs have the following general guidelines:
|•||The dentist agrees to accept the amount paid by the state or any other carrier designated by the state as payment in full; there is no patient copayment.|
|•||Any other third-party payer is always the primary carrier.|
|•||Reimbursement to the state is required if the patient or dentist receives payment from another third party source.|
|•||Records must be retained for a specified length of time (usually 7 to 10 years) and may be reviewed by an authorized state or federal official.|
|•||Patients with Medicaid coverage may not be discriminated against for reasons of race, gender, color, faith, or financial status.|
|•||Reimbursement is made only to dentists participating in the Medicaid program.|
|•||All claims must be submitted within 12 months of the date of service.|
|•||Prior authorization is required for certain treatments as outlined by the state.|
|•||All patient records remain confidential.|
|•||Handwritten forms are not accepted and must be typewritten, computer generated or submitted electronically.|
|•||In some states the Medical Services Administration has contracted with Delta Dental or other carriers to partially administer dental benefits for children and young adults covered by Medicaid.|
Veterans of the United States armed forces may be eligible for limited dental benefits. Patients with this coverage receive a claim form from the Veteran's Administration to give to the attending dentist, and the form includes all information necessary to assess benefits. Prior approval of treatment is usually necessary. United Concordia is the dental carrier that administers TRICARE for retired and active military personnel. Benefits vary depending on where services are rendered (in the continental US or outside the continental US).
Managed Care. Managed care is a method of providing low to moderate cost healthcare coverage to everyone. The premise is to provide everyone the opportunity to receive excellent care efficiently and cost-effectively compared to what is currently offered. With the increasing costs of medical and dental premiums affecting healthcare in general, managed care will be a source of conversation and negotiation. There are limitations to these plans such as type and level of care, and frequency of care sought. The level of reimbursement is also controlled in these plans. Plans such as capitation plans, DMOs, EPOs, IPAs, PPOs and closed panels are all considered managed care programs.
An insurance carrier is an insurance company that agrees to pay benefits claimed under a dental plan. A single carrier may offer several different dental plans with a variety in deductibles, yearly maximums, reimbursement rates, and premiums. An insurance plan is an insurance contract that the carrier has written to provide specific benefits to those covered by the plan. Because insurance coverage is complex, the business assistant provides a service to the patient by helping her/him understand what benefits to expect. Plan information is found in the benefits booklet given to the subscriber. Much of this information is readily available from several insurance carriers by accessing the carrier's website or by requesting the information through an automated service via the telephone. Some carriers offer the service of faxing the requested benefit information to the dental practice.
Patient information includes data about the family dental plan. Patient information is obtained from the patient registration form and includes the following information:
|•||Full name (no nicknames)|
|•||Relationship to the insured (spouse, child, other)|
|•||Date of birth (month, day, year)|
The insured - or subscriber, is usually the family member who is earning the benefits.
The beneficiaries/dependents - those entitled to receive benefits under a health plan. This usually includes the insured, spouse and children. However, not all plans cover all family members. It is important to clarify on the patient registration forms which family members are covered and which are not.
The spouse - typically the wife or husband of the insured, although in some states and with certain dental carriers, individuals not legally bound are allowed to be included.
The children - for purposes defining dependent eligibility, a child dependent who does not exceed the age as designated in the contract. Most frequently, this age is 18 years. Coverage usually terminates when the child passes the designated age unless the child is still a full-time student or is permanently handicapped. In the case of a full-time student, the age limitation is usually 26 years. Some carriers allow part-time student status to be eligible for insurance benefits, while other carriers will cover the graduate during a "grace period" following graduation for 30 to 90 days, depending on the carrier.
This information must be complete and accurate because the insurance claim cannot be processed without it. If information is missing or incorrect, the claim will be rejected and returned for completion or correction, resulting in additional paperwork and payment delays.
Insurance companies do not reimburse for services rendered to a patient who is not eligible to receive benefits. When an individual begins new employment, there is typically a waiting period of anywhere from 30 to 90 days before dental coverage becomes effective. If a subscriber has a change in job status, or changes employers, coverage under most plans is terminated within 30 days of the change. When an individual changes employers, is laid off or retires, the subscriber has the option of continuing coverage by continued payment of the premiums under the (COBRA) of 1985. This act allows the subscriber to continue the same coverage for up to eighteen months or until another coverage is in effect.
Eligibility rules for federal programs such as Medicaid and Medical Assistance vary greatly from state to state. Many dental patients assume that Medicare covers dental treatment - in most cases it does not. When working with patients enrolled in federal programs, one must be familiar with the specific form of identification required to determine eligibility. In most cases, this is an identification card or a proof of eligibility sticker. An individual's eligibility may change from month to month, and it is important that eligibility be verified at each visit. There are many dental practices nationwide that do not accept federally funded plans. It is important that the practice have a protocol in place for patients who claim eligibility under a federally funded plan, when they have already been seen for treatment.
Determining Dental Benefits
When an employer purchases a dental plan for its employees, it is the employer who negotiates the benefits and limitations of the plan. An employer may have several available options for employee coverage, and each plan should be thoroughly inspected before the employee chooses a plan. The insurance company (carrier) is responsible for covering only the level of treatment that is included in that particular plan. Explanations of all benefits and limitations are found in the benefits booklet provided to all subscribers. When benefits or limitations change, a new booklet is issued. Generally, new patients are requested to bring in a copy of this benefits booklet, so that coverage can be reviewed and discussed prior to treatment. Further, with subsequent patient visits, it is very helpful to view the patient's dental card and verify their current information in the computer system. Changes in plans and eligibility do occur, and a lot of time and unnecessary paperwork can be avoided if this becomes a regular practice of administrative team members.
There are two factors that determine how much the insurance company will pay and how much the patient must pay: (i) limitations within the plan, and (ii) the method of payment. Other factors also can influence the amount of benefit and resulting out-of-pocket costs.
Deductible. The deductible is the stipulated amount that the covered person must pay toward the cost of covered dental treatment before the benefits program goes into effect. Certain preventative procedures waive the deductible. There is a deductible amount defined per covered individual, with a maximum family deductible, per family, per coverage year. The following three examples demonstrate how the deductible works:
|•||The dental plan for the Anderson family has an individual deductible of $50 per year. Each year that amount of covered dental expenses must be paid by each family member covered under the plan before that family member is eligible for plan benefits.|
|•||The dental plan covering the Smythe family has an individual deductible of $25 per year or a family maximum of $75 per year. If the family of six has three members meeting the $25 deductible each, the deductibles will be waived for the additional three family members for that year.|
|•||The dental plan covering the Parker family has a deductible of $750 each year. Each year total covered dental expenses must reach $750 before plan benefits become effective.|
Co-insurance. Co-insurance, also known as a co-payment, is a provision of a program by which the beneficiary shares in the cost of covered expenses on a percentage basis. The amount that the patient is responsible for varies according to the policy. When calling for requested information, it is helpful to request a benefits breakdown, detailing the percentage covered in various treatment categories:
Preventative/Diagnostic - includes exams, preventative care such as radiographs, dental prophylaxis, sealants. Some carriers list space maintainers under this category as a preventative measure for children under the age of 16. Typically, the percentage covered is 100 percent.
Basic - restorative procedures such as amalgam filling, composite fillings. Percentage covered typically varies from 70 to 90 percent.
Major - crowns and bridges, inlays, onlays, dentures, partials, and at times, posterior composite restorations (depending upon carrier). Percentage covered typically varies from 30 to 60 percent.
Endodontic - endodontic procedures, sometimes listed under Major category. Percentage covered typically varies from 50 to 80 percent.
Oral Surgery - for some plans simple extractions may be listed under Basic category. Percentage covered typically varies from 50 to 80 percent.
Periodontics - periodontal procedures, sometimes listed under Major category. Percentage covered typically varies from 50 to 80 percent.
Orthodontics - may or may not be covered, depending on contract. Many plans have a lifetime maximum paid for orthodontic procedures that limit expenses to a certain amount covered for the patient no matter how long treatment takes.
Co-insurance percentages are usually listed showing the portion which the carrier will pay. To calculate the patient's amount due, subtract the portion covered by the insurance company from 100%. (see Table 2)
Exclusions. Some dental policies exclude certain dental services such as cosmetic dentistry, dentures and implants. This means that the insurance carrier will not pay for the service. The patient may still receive the treatment; however, the patient will be responsible for the entire fee. Dental policies may also exclude preexisting conditions such as missing teeth prior to enrollment in the dental plan. This is known as the missing tooth clause and the dental plan will not cover any procedure performed to fill that space, whether it is an implant, bridge or removable appliance.
Limitations of Frequency. Insurance policies may also have limitations on frequency for various services such as exams, prophylaxis, radiographs, fixed and removable prosthodontics, restorative replacements as well as preventative services such as sealants and fluoride applications. Some carriers are stringent with frequency dates, while others offer leeway by covering the service a set number of times during the contract year. Some of the more expensive procedures, such as dentures and crowns, may limit replacement coverage to five or more years, post initial placement under the same carrier.
Alternative Benefit Policy. When there is more than one treatment option available, the alternative benefit policy, also known as least-expensive alternate treatment (LEAT), is a limitation in a dental plan that allows benefits only for the least expensive treatment. For example, a patient wants a gold inlay on a posterior tooth while under the dental plan, however alternative benefits are paid for an amalgam restoration, which is the least expensive treatment for this situation. The patient would be responsible for the difference between the gold inlay fee and the reimbursement for the amalgam restoration.
Alternative benefit policy is widely used by many carriers when the procedure involves posterior composites. The composites are downgraded to an amalgam fee and the patient is responsible for paying the difference between the two fees. An alternative benefit policy is not a statement by the insurance carrier that one form of treatment is better than another. It is the carrier's way of controlling costs.
Dual Coverage. Some patients will have more than one dental plan, known as dual coverage. In these instances, it is important to take the required steps to make sure that the correct benefits are paid. Determination of primary and secondary carriers is needed.
Primary and Secondary Carriers/Coordination of Benefits. To make sure that patients receive maximum coverage not in excess of 100%, most insurance carriers provide for some form of coordination of benefits (COB), or dual coverage, for patients covered by two or more plans. Primary carriers pay first, and secondary carriers usually pay a portion of the balance. There are specific questions on the insurance claim form that need to be answered when a patient has dual coverage. When the patient is insured, his or her insurance is always the primary carrier (the first carrier to be billed) and the spouse's insurance is then the secondary carrier. After payment is received from the primary insurance company, a claim is sent to the secondary carrier if any balance is remaining. On an insurance claim form, the primary insurance information is always at the top right of the claim form. The secondary carrier information is listed in section 11-15 on the claim form. Many carriers have automatic coordination of benefits, and the primary carrier will forward the claim to the secondary carrier for payment of benefits. If there is not an automatic coordination of benefits, the following steps must be taken to submit the insurance claim forms properly:
|1.||Submit the claim first to the primary carrier.|
|2.||When payment is received, it will be accompanied by an explanation of benefits (EOB).|
|3.||Send the claim to the secondary carrier, along with a copy of the EOB.|
When the patient has minor dependents and the spouse is also insured, the birthday rule is used to determine which insurance carrier will be the primary carrier for the minor when covered under both plans. The rule specifies that the parent whose birthday month and date falls earliest in the year is billed first, and only applies to parents not divorced. Note, this rule has nothing to do with which parent is older. For example, if Mrs. Olson's birthday is February and Mr. Olson's birthday is March, Mrs. Olson's carrier is primary in providing coverage for the Olson children and Mr. Olson's would become secondary.
Other factors come into play when the parents are divorced or when a step-parent is involved. It is important to work with these parents to determine proper sequencing of insurance billing and to clearly define the dental practice policies to the parent that accompanies the child patient.
Non-duplication of Benefits. Under insurance plans that call for non-duplication of benefits, a provision relieves the insurance company from the responsibility of paying for services that are covered under another program. This provision is sometimes called benefit less benefit. Under these types of plans, benefit reimbursement is restricted to a higher level permissible by the two dental plans rather than the total 100% of the charges.
For example, the treatment fee for a resin filling is $250. The primary carrier allows $160 and the secondary carrier allows $200. The secondary carrier in this case would only pay $40, which is the total amount of benefit minus the benefit amount already paid.
Total amount is $250
Primary allows $160
Secondary allows $200
$250 (total amount) minus $160 (primary coverage) equals $90
Secondary allows amount up to $200
(charge was $250)
$90-$40=$50. Depending on how the plan reads, the patient may be responsible for the $50 or the dental practice may take a "write off" and adjust the difference.
Many patients are not aware of non-duplication of benefits clauses, which often produces misunderstanding regarding their benefits. It is vital to clarify this clause to your patients after any return of predetermination results from the carrier. When there is non-duplication of benefits, insurance carriers will rarely pay 100%.
Preparing Dental Claim Forms for Processing
As a courtesy to the dental patient, dental practices generally file dental claims with the insurance carrier. In order to file claims, the administrative team member must be familiar with the American Dental Association's (ADA) Code on Dental Procedures and Nomenclature. This is a list of number codes for all dental procedures and services possible within dentistry. These codes are published in the Current Dental Terminology (CDT) guidebook and are occasionally reviewed and revised to reflect changes in dental procedures that are recognized by organized dentistry and the dental community as a whole. Adjustments to the CDT (Code) book are published and effective biennially, at the start of odd-numbered years. Any claim submitted on a HIPAA standard electronic dental claim must use a dental procedure code from the version of the CDT in effect on the date of service. The CDT is also used on dental claims submitted on paper, and the ADA maintains a paper claim form whose data content mirrors the HIPAA standard electronic dental claim.
In the CDT code system, the first digit is the letter "D" throughout the series and identifies all procedures as being dental, as compared to medical, hospital, or surgical services. The second digit indicates the category of service. The third designates the class of a specific procedure, the fourth the subclass of the procedure, and the fifth digit has been provided for expansion of the code as required. If the treatment for a patient were a set of study models, the code D0470 would be defined as: D Dental 0 diagnostic service 4 tests or laboratory examination 70 diagnostic casts. It is essential for the administrative team to accurately and completely fill out a dental claim form, because forms that are not filled out correctly are returned to the dental practice for correction, slowing down the process of reimbursement for the practice. Files can be claimed by submission of a paper claim form, or by electronic transmission. Regardless of which way the claim is filed, the team member must be conscientious of the details and information being transmitted. (see Table 3)
There are additional codes known as SNODENT. These codes can be utilized for more involved treatments that also impact a patient's medical care and need special insurance coverage. These codes, often employed by oral surgery specialists, incorporate both medical and dental procedures.
Most practices will find that electronic insurance claim processing eliminates a lot of data entry, resulting in quicker claim filing and a reduced workload. In most dental software systems, the assistant enters the information only once and this information is carried throughout the system. Practice-specific codes can be entered into the computerized system and automatically converted to the proper ADA code for subsequent transaction processing and insurance submission. The ADA provides a standardized format for all claim forms. This ADA format may be generated electronically, as shown in Figure 6. With many computer management systems, the claim form is integrated into the system electronically. As modifications take place on the claim form, these changes can be made in the system.
The questions listed on the ADA form are common to the dental claim forms used by most dental practices.
Paper Claims. When a paper claim is submitted to the carrier, the data must be entered into the carrier's computer before it can be processed and paid. This handling of paper claims increases the carrier's cost of doing business and for this reason, carriers prefer to have claims submitted electronically. If a patient is to file the insurance claim, the completed claim form can be printed and given to the patient before leaving the dental office.
Electronic Claims Submission. As a service to patients and to facilitate claims management within the dental practice, it is important that all insurance claims be completed accurately and submitted properly. Electronic claims transmission eliminates the need for paper claim forms, delay in the mail, and the possibility for error as the claim form is entered into the carrier's computer. Filing electronically also speeds processing and claims can be paid more quickly, generally in 5 to 10 business days. Here is how electronic claims transmission works:
|•||Throughout the day, claim information is posted into the computer as treatment is completed. This process completes both bookkeeping and insurance records.|
|•||A copy of the claim may be printed for office files or retrieved at a later date from the computer system.|
|•||At the close of business, the claims are electronically checked for errors. For example, if a date of birth was omitted, this error would be flagged.|
|•||The corrected claims are electronically prepared and transmitted electronically either through a computer modem or the Internet.|
Dental practices can send their dental claim forms to many companies electronically in one of two ways. The first method is to send all the claims to a clearinghouse, where they are edited and returned to the dental practice if data is missing or is invalid. The clearinghouse then sends the claim forms to the appropriate payers or insurance carrier. If the carrier doesn't accept electronic claims, the claim is printed to paper and mailed to the carrier.
The newest system of claim form submission is through the Internet. In this method, the practice will enter the claims using a format that enables the form to go directly to the claims processing system. The advantages of using this electronic system are that the claim form arrives the same day that it was transmitted, any errors are more quickly detected, and payment reimbursement can be quicker. Most insurance companies are amending their policies on radiographic submission. Claims that require reports to be submitted can be done electronically, provided the remarks can be accommodated by the office software package. A report is generated listing which claims were successfully transmitted and which the system was unable to transmit. Any claim forms not transmitted, for any reason, must be prepared again and resubmitted.
There are two boxes on paper and electronic claims that require patient signatures: assignment of benefits and release of information. Assignment of benefits is a procedure by which the subscriber (patient) authorizes the carrier to make payments of allowable benefits directly to the dentist. When there is no assignment of benefits, the check then goes directly to the patient and it is the patient's responsibility to reimburse the dental practice. To assign benefits on a paper claim, the patient must sign on the line; for electronic claims, the box must be checked for assignment of benefits. Release of information regarding a patient's treatment may only be done with written consent of the patient, or legal guardian in the case of a minor.
A signature in the release of information section for paper claims and the checking of the box for electronic claims gives the dentist permission to reveal to the insurance company any information regarding the patient's dental treatment.
Signature on File. When a patient fills out a patient registration form, there is a section similar to that on the insurance claim form for patient signature for authorization of benefits and release of information. Many practices choose to have a separate "signature on file" form that is kept on file authorizing the dental practice to submit claim forms with "signature on file" until the patient tells the practice otherwise. For electronic claims, there is no place for the signature; instead, "SOF" or "signature on file" is used.
Pretreatment Estimates. Pretreatment estimates, known as a prior authorization in some dental practices, are an estimate of proposed dental services submitted to the patient's insurance company for an estimate of insurance coverage. This is often done when more expensive treatment is proposed or when there is a question of whether or not there will be coverage. Pretreatment estimates do not obligate the patient to have the proposed treatment done; it gives the patient an estimate of what will be covered and what the patient's financial responsibility may be. Whichever method is used, the patient does receive a copy of the explanation of benefits for the pretreatment estimate. When the dental practice receives the pretreatment estimate, usually by mail, the treatment coordinator or scheduling coordinator will contact the patient to ask if there are any questions regarding the estimate and when the patient would like to schedule.
There are several factors that can affect a pretreatment estimate; therefore, some practices will submit a new estimate if the current estimate is more than ninety days old. Dental treatment at another provider will reduce benefit availability of the pretreatment estimate, and many patients do not realize this. This frequently happens when a patient is referred out for a root canal treatment at a specialist's office and then comes back to his or her regular dental practice for a crown procedure. The pretreatment estimate may have been submitted only for the crown procedure; now, since the root canal treatment was done first, benefits were reduced and the original pretreatment estimate is no longer correct.
Preparation and submission of pretreatment estimates are done the same way as submitting regular claims, except that on a paper claim it is clearly marked that this submission is for pretreatment estimate purposes only. For electronic submission, there is a specific section in the dental software that is used for pretreatment estimate preparation. One of the advantages of using a computerized system is that scheduling of the treatment once the estimate has returned, is very convenient.
Insurance claims for dental treatment are another form of money that has been earned by the practice and now must be collected. Without an effective method for tracking and following up on lost or rejected claims, the amounts on these claims sit as accounts receivable.
Many dental computer software systems have programs that can run reports for specific aspects of dental insurance claims. Some of the most regularly run reports include:
|•||Claims that have been submitted for payment but are outstanding from the insurance company|
|•||Claims that have been submitted for pretreatment estimates, but not yet received by the practice|
|•||Fees for claims that have been generated but have not yet been received|
|•||Claims that have been returned for any reason other than payment and not yet resubmitted|
These reports should be printed and reviewed at least on a weekly basis, and any necessary follow-up, done immediately. Private insurance claims can generally be submitted and/or resubmitted up to two years from the date of service. State Medicaid programs only allow one year from the date of service.
Insurance Payments and Explanation of Benefits. Checks received from an insurance company normally are accompanied by an explanation of benefits (EOB). An EOB explains to the dental practice and patient, who also receives a copy, what benefits have been paid and which have been denied. When benefits are denied, a code or explanation accompanies the denial. The three most common reasons for denial include: frequency, exhaustion of benefits, and not covered under plan. Frequency can be a big issue in many practices. Some insurance carriers require their patients to wait six months plus a day between preventative recare appointments with the dental hygienist. Many issues come up in the frequency of radiographs. Some carriers allow bitewing radiographs once every twelve months, others require twenty-four months.
Each EOB breaks down how the payment was determined and contains the following information:
|•||Patient's name and policy number|
|•||Provider and dates of services|
|•||Procedures and amount billed by the provider|
|•||Amount allowed by the carrier|
|•||Amount ineligible for payment|
|•||Any deductibles or co-payment required from the patient|
|•||Total amount paid by the carrier|
|•||Additional comments regarding denials, requests for more information, or specifying coordination of benefits|
Each EOB should be reviewed thoroughly to determine if additional action is required. If no further action is needed, the insurance check is then entered into the bookkeeping system by patient account with a notation showing where payment was derived. In some instances, an adjustment is made as a "write off" to the balance, depending on the insurance plan and the dentist's participation. If there is a remaining balance, a statement can be generated notifying the patient of his or her responsibility. If receiving an insurance check results in an account overpayment, the amount on the insurance check is credited to the patient account and a check is issued to the patient for the overpaid amount. An entry made in the account ledger will show that a refund check was sent to the patient in order to eliminate the credit on the account.
There are several methods of organizing active insurance EOB's. One method is to have a separate folder for each business day of the year, and all EOB's processed on that particular day would be found in that folder. Another, more common method of organization is to have a folder for each letter of the alphabet, and to organize the EOB's alphabetically with the most recent visit on top for patients who have more than one EOB in a given year. At the end of the year, some practices will retain the previous year's EOB's for the first quarter in a convenient location until all claims have been received from the previous year. Then the records are stored as inactive. Most practices maintain three years' worth of inactive EOB's onsite. Each year, shredding destroys the oldest file of retained EOB's. Many professional companies will come and collect sensitive documents and shred them onsite.
Accurate Submissions. The administrative team is responsible for accurate claims submissions. Team members who falsely submit claims because their employers requested them to do so, cannot escape liability by pleading ignorance. Some examples of insurance falsification include:
|•||Submitting claims for treatment not provided, including coding a procedure differently to receive a higher fee. For example, submitting a simple extraction coded as a surgical extraction.|
|•||Changing fees on a claim form to receive a higher payment.|
|•||Disregarding a deductible or co-payment, accepting only the insurance payment and writing off the difference.|
All dental practices have financial needs that require attention by either internal or external accounting staff. A practice administrator or an administrative assistant can expect to perform many tasks in addition to the accounts receivable activities discussed in the previous section. These responsibilities may include receiving and organizing statements, paying for materials and supplies, processing payroll or tax forms, recording and analyzing expenses, to name a few. In a large group practice or institution, the practice administrator or assistant may collect the data for these activities and support accounting personnel in the preparation of financial documents. In a smaller practice, the administrative assistant may collect this data for the dentist or owner. Whether these processes are performed manually or software tools are used, a basic understanding of the systems involved is required.
Very few dental software companies provide accounts payable software and as a result, most dentists turn to their accountants for suggestions regarding suitable accounting software for their dental practice. When processing financial documents, accuracy is crucial. Verification of data and attention to detail are required to make certain the processed information is accurate. Incorrect data can mean improper cash flow analysis, inaccurate accounts receivable, erroneous claim form preparation, or inaccurate budget and expense figures; all of these can result in negative consequences for the dental practice.
Types of Expenses
An accounts payable system manages all monies owed by the practice. Expenditures and payments are the cost of doing business in dentistry. There are several types of expenses in a dental practice impacting the profits of the practice differently.
Overhead expenses are the expenses required to run a dental practice. There is fixed overhead and variable overhead. Treatment fee schedules must reflect these expenses, as well as reasonable revenue for the dentist. Fixed overhead includes the expenses that are continuous such as rent or mortgage, malpractice insurance, utilities and salaries. These expenses are incurred whether or not the dentist is in the office and whether or not professional services are being provided. Not all salaries are part of the fixed overhead. Employees who work as independent contractors, on commission or on a part-time hourly as needed basis, are not part of this type of overhead. Variable overhead are those expenses that change depending on the type of services acquired and can vary from month to month depending on the practice needs. Examples include independent contractor fees, laboratory fees, business and dental supplies and equipment repair fees.
The total accounts receivable is calculated as the total gross income. When the accounts payable is subtracted from the gross income, the net income is identified and this is the true profit of the dental practice. Unless the dentist produces a sufficient income, he or she will not be able to afford to stay in practice. It is unwise to operate a business in a non-profitable manner for long. At times, expenses need to be examined and evaluated. Expenses may need to be cut without affecting patient services. Dental supplies continue to be one of the largest expenses within a dental practice, along with salaries.
When budgets are tight, a practice may cut back on dental supplies purchased, increase number of patient care hours in attempt to generate more profit, or cut back on staff hours. A dentist may choose to make do without assisted hygiene, in which a dental hygienist has a dental assistant assisting in patient care, or the dentist may choose to work with only one clinical assistant rather than two. When expenses are not evaluated or cut back, the bottom line is affected for the entire dental team.
A certified public accountant (CPA) is often on retainer for many dental practices. It is the responsibility of this accountant to handle the major financial records of the practice such as the annual profit and loss statements, tax returns and other government reports. The accountant may also recommend areas in which the practice can cut back on expenses. The reports that the accountant handles for the dental practice are based on information provided by the dental practice through daily, monthly, quarterly and yearly activities. The practice administrator or a designated member of the administrative team will work closely with the accountant throughout the year. Information must be accurate, current and complete. Timeliness of specific reports is also a must.
Money coming into a dental practice must eventually go out, either in the form of a deposit, payment or salary. The effective management of any dental practice requires organization and prompt handling of any practice-related expenditure. Major expense payments are typically handled by either business check or credit card while the smaller, minor expenses are handled through petty cash. Some practices choose to make the majority of the payments with a credit card that offers some type of reward system. This method allows for easy tracking of payments through the credit card statements and gives the practice something back either monthly or quarterly. All business-related expenses with the exception of salaries can be paid by credit card, and at the end of the month, only one check needs to be written out - the check for the credit card. Some credit card companies offer a year-end summary for business expenses, which is another helpful tool in seeing where profits go. All expenses are documented as completely as possible with bills and receipts or cancelled checks.
Types of Bills
There are three types of paperwork pertaining to expenses commonly seen within a dental practice: statements, invoices, and packing slips. Statements are a summary of all invoices or charges, payments, credits and debits for a month. Statements are received from banks, credit card companies, dental laboratories and dental suppliers and should immediately be verified with any unauthorized charges promptly reported. An invoice may be included with a dental supply shipment or mailed separately to the practice. When an invoice has been verified for accuracy that all products or services have been received, the invoice should be paid without delay if monies are requested, or filed until a monthly statement is received. A packing slip is an itemized listing of goods shipped to a dental practice and is enclosed with the delivery. It does not normally contain price information, and an invoice or statement is sent separately. When supplies are received, they should be checked against the packing slip and checked off as being delivered. Discrepancies between the packing slip and the goods shipped or those goods that arrived in damaged form, need to be reported to the supplier promptly.
Maintenance of Expense Records
Dental practice expenses for a given month can go into one folder or basket until they are paid. Once these expenditures have been paid, expenses are usually separated into separate folders classified into categories such as:
|•||Dental laboratory fees|
|•||Rent and practice maintenance|
The dentist determines the categories for the folder headings. Creating separate folders for major expenses ensures that this information remains organized and easily accessible. At the end of the year, the folders are removed and are filed with the rest of the business expenses for the year. The same categories are used when preparing a budget for the practice. When using a computerized system, expenses are easily viewed on a spreadsheet.
Account Payment with Checks
When practice expenses are paid with a check, the administrative assistant or practice administrator may be delegated this duty. Accounts are typically paid twice a month. Before paying these accounts, all invoices and statements are removed from the accounts payable folder and the amounts verified with the statements from each supplier during that period against the monthly statement. At the same time, any payments, credits or returns are also verified that they have been applied to the accounts. Invoices are usually stapled to the statements to assist with organization.
In some dental practices, the dentist views and approves all bills before payment is made. In other practices, the check is drafted for the dentist's signature and the statements/invoices may or may not be reviewed. As each statement is paid, the number of the check and date is recorded on the statement. Some practice administrators have limited power of attorney by the dentist and are on record with the bank to sign checks for the practice. Once all checks have been written, it is important to balance the checkbook.
Reconciling a Bank Statement
The practice will receive bank statements monthly showing all deposits, disbursements and adjustments. It is important to reconcile these statements to make sure all outstanding checks have cleared.
The dental practice will occasionally see checks in which the check was drafted for more money than was in the account. The check will be returned to the payee stamped N.S.F. for not sufficient funds and referred to as a "bounced" check. Adjustments to the checkbook and statement need to be made and added back to the patient account. Often a telephone call to the patient will resolve the problem and the check can be re-deposited. A check that is re-deposited is done so on a separate deposit slip and clearly marked so that it is not credited twice as income in the practice. Once re-deposited, the check should be noted on the patient account history and again subtracted from the account balance.
Reconciling a Bank Statement:
Check that all deposits and disbursements have been added or subtracted from the checkbook.
Subtract any bank service charge from the last balance listed in the checkbook.
Check off each check and deposit listed in the bank statement against the checkbook verifying the amounts listed in both.
On the reverse side of the bank statement, place the ending balance from the front of the statement in the ending balance space on the worksheet.
List all checks that are still outstanding and have not cleared the bank in the space provided.
List all deposits from the checkbook that the bank has not received in the space provided.
Total the outstanding check section and outstanding deposit section.
Add the outstanding deposits to the ending balance and subtract outstanding check total.
If there are any bank charges, make sure these are recorded in the checkbook.
The two balances should match; if not, recalculate the amounts until the balances match.
The petty cash fund is a limited supply of cash on hand at the dental practice. It is usually kept in a locked drawer or box in the administrative area of the practice. The amount should be large enough to last the practice about one month and amounts vary depending on frequency of use.
Some practices reimburse their senior patients' fares for taxicabs or mobility services when the patients come to their appointments. Practices which have this expense will need a larger amount of cash on hand to get through the month.
Most expenses drawn from petty cash include reception area incidentals (coffee, tea, napkins), postage due for address forwarding notification, and to make change for patients who prefer to pay in cash. Receipts or vouchers are placed in the account when reimbursement is given. Vouchers note the date, amount, type of expense, who is claiming the expense and who paid the expense. When funds get low, a check is written out for cash, thereby returning the petty cash fund to the original amount. The check is noted as petty cash and the receipts total the amount replenished to the account. The fund should be balanced on a regular basis to prevent theft. All expenses paid by petty cash are totaled at the end of the month, stapled together and filed under the administrative expenses.
Employee Payroll Records
Employee financial records such as time cards/sheets, merit increases, bonuses and vacations paid out are generally retained for seven years, as with most financial records, although some dental practices keep the records indefinitely. Tax preparation materials for each employee employed within the practice also are generally retained for a minimum of seven years. Always check with current state and federal regulations on these times.
Prior to beginning payroll, the practice needs an employer identification number. The dentist, as the employer, must apply for an employer identification number assigned to sole proprietors or corporations for filing and reporting payroll information. This is a nine-digit identification number unique to the practice and can be obtained by applying on Form SS-4. (Figure 7) Complete information on all IRS tax requirements and forms can be found at the IRS website - http://www.irs.gov/pub/irs-pdf/p15.pdf.
Every dental practice has a system to administer payroll to its employees. Some dental practices do payroll in-house, while others choose to have an outside company keep track of the records and supply the practice with earning and deduction information. The dental practice must maintain each employee record of earnings, including a summary of information for each employee. The employee's record of earnings should contain the following information needed for various state and federal reports:
|•||Name, address, Social Security number, rate of pay, withholding exemptions claimed, marital status and any special deductions such as insurance, retirement, or other accounts.|
|•||The number of pay periods in a quarter and the date on which each pay period ends.|
|•||Columns for regular earnings, overtime earnings, and total earnings.|
|•||A column for each deduction and total deductions.|
|•||A column for entering the net pay received after all deductions.|
|•||A column for providing accumulated taxable earnings, Federal Insurance Contributions Act (FICA) and taxable wages for unemployment taxes.|
|•||Columns for quarterly and annual totals.|
Determining Wages.The dentist and the team member must reach an agreement on an acceptable wage. This wage may be determined as an hourly rate, weekly rate or a monthly amount. After the pay rate has been established, the procedure must be decided for determining net pay.
Regular hours are usually hours worked up to 40 hours in a given week. Overtime hours are anything in excess of 40 hours in a given week. Pay for regular hours worked is figured by multiplying the pay rate by the number of regular hours worked. Overtime hours are figured by multiplying the number of overtime hours worked by 1.5 times the pay rate. Some dental practices may not pay overtime wages but instead offer "comp." time or allow the team member to flex extra time during the pay period.
Federal regulations mandate that an employer make certain payroll deductions and that the employer also pays certain payroll taxes. Information pertaining to these guidelines can be found in the booklet issued by the Internal Revenue Service entitled Circular E. Most state tax bureaus publish a similar booklet on state taxes that must be withheld. Income tax deductions depend on the number of exemptions the employee indicated on Form W-4. The amount withheld in taxes is determined by the table in the Employer's Tax Guide - Circular E.
The practice administrator in most dental practices is the individual delegated to handle payroll by the dentist. The federal government requires that each employer maintain records on each employee for the number of hours worked (regular and overtime), the amount paid out to the employee, number of exemptions and the amounts deducted for tax purposes. Complete and accurate records are mandatory for each employee, with previous records stored by year with the practice's other financial papers. A separate payroll sheet is maintained on each employee listing records of pay rate changes, gross earnings before taxes, and each amount and type of deduction. A withholding statement is supplied with each payroll check for each employee, providing the employee an explanation of all deductions and amount earned. (see Table 4)
There are a few types of payroll deductions that affect the net earnings, or take-home pay for the employee:
Income Tax Withholding. A portion of the employee's salary is estimated and withheld directly from each payroll check throughout the year. The estimated tax withheld at the end of the year is the approximate amount that the employee will actually owe. Depending on the number of exemptions (and deductions when filing), the employee may receive a refund or owe additional taxes. Employees must file a tax return before April 15th of each year.
Each employee must complete an employee withholding exemption certificate, also known as a W-4 form at the following times:
|•||On the first day of employment.|
|•||Within ten days of a change in status (marriage, divorce, separation, death of spouse).|
|•||Before December 1 for the following year.|
By completing this form, the employee authorizes the employer to deduct the necessary tax and indicates the number of exemptions the employee is claiming. Completed W-4 forms are kept with other payroll forms. Within thirty days of the end of the year or on termination of employment, each employee must be provided with a statement of total earnings and withholding for the year, known as the W-2 form.
Federal Insurance Contributions Act (FICA) - also known as the Social Security tax. The employer is required by law to deduct a fixed percentage of the employee's gross pay, regardless of the number of exemptions. The employer matches the amount dollar for dollar and the amount collected is sent quarterly to the federal government to be credited to the employee's account. Any name changes must be reported to the Social Security Administration for proper recording of collected taxes. Annually, the Social Security Administration will send a Statement of Earnings informing the employee of the amount of collected taxes. If there are any discrepancies, these must be corrected with the Social Security Administration. The FICA deduction tax rate is divided into two parts: the Social Security portion and the Medicare tax. The FICA tax is calculated at a rate of 6.2% (on the first $76,200 earned) while the Medicare tax is calculated at 1.45% on all earnings with no cap on amount earned. Both tax rates are subject to change by Congress, and the employer must keep track of changes and make necessary deductions according to the current rate. Current rates are available from the Internal Revenue Service in the Employer's Tax Guide - Circular E.
Other deductions may affect payroll amounts. There may be additional federal, state, and local taxes withheld from the employee's earnings. Personal deductions may also be applied such as health or life insurance coverage, pretax retirement contributions and preset amounts into automatic personal savings plans.
The employer may pay additional payroll taxes such as workers' compensation, state unemployment insurance, and federal unemployment taxes. Amounts are not usually deducted from the employee's earnings except in states in which the employee pays a portion of the state unemployment insurance.
Federal Unemployment Tax. All employers are subject to a federal unemployment tax under the stipulations of the Federal Unemployment Tax Act (FUTA). This tax is 6.2% of wages paid and applies to the first $7,000 of wages paid during a calendar year. A credit may be taken against the federal unemployment tax for contributions to be paid into state unemployment funds. The federal unemployment tax is imposed on employers and may not be deducted from an employee's wages. On or before January 31 of each year, the dental practice must file an unemployment tax return and deposit or pay the balance of the tax in full. For the deposit, the administrator will calculate the federal unemployment tax quarterly. The deposit of the tax must be made on or before the last day of the first month after the close of the quarter. The tax is calculated by multiplying the first $7,000 of each employee's wages paid during the quarter by 0.008. If the amount subject to deposit is more than $100, a deposit should be made during the first month after the quarter.
All government reports must be completed accurately, legibly and filed on time. The federal government requires quarterly filings of the "Employer's Quarterly Federal Tax Return", a report denoting all taxable wages paid during the quarter.
Depositing Withheld Income Tax and Social Security Taxes. Generally, all employers must deposit withheld income tax, Social Security and Medicare taxes in an authorized commercial bank or Federal Reserve Bank. Since January 1, 2000, the Internal Revenue Service now sends out coupon books called the Federal Tax Deposit Coupon Book (Form 8109) to employers for depositing taxes. These books contain 15 coupons for depositing all types of taxes. The amount of taxes determines the frequency of tax deposits. These taxes are owed when the employer pays the wages or makes the payments from which taxes are withheld, not when the payroll period ends. To determine when the taxes for the dental practice are due, the administrator should check the instructions on the reverse side of the Employer's Quarterly Federal Tax Return (Form 941). Although an employer will most likely make monthly deposits for the withholding taxes and FICA deductions, the employer must file a quarterly return on Form 941. The returns and tax payments are due on the following dates shown in Table 5.
Reporting of withheld income tax (Form W-3)
On or before February 28, copy A of all Form W-2s issued for the year and Form W-3, Transmittal of Wage and Tax Statements must be sent to the Internal Revenue Service.
Retention of Employee Financial Records. The dental practice must keep all records pertaining to employment taxes available for inspection by the Internal Revenue Service. The practice must be able to supply the following information:
|•||Amounts and dates of all wages paid|
|•||Names, addresses, and occupations of all employees|
|•||Periods of employees' employment|
|•||Periods for which employees were paid while absent because of sickness|
|•||Employees' Social Security numbers|
|•||Employees' income tax withholding allowance certificates|
|•||Employer's identification number|
|•||Duplicate copies of returns filed and the dates and amounts of deposits made|
These records should be kept for at least four years after the date the taxes to which they apply become due.
Many of the computerized dental software systems have the capability to process payroll and taxes, allowing the generation of reports and business summaries to fit the needs of each individual practice. Some practices choose to outsource their payroll processing with an outside accounting firm.
Inventory control is another responsibility that is often delegated to a dental team member. Clinical inventory may be delegated to a clinical team member whereas business supplies may be the responsibility of the practice administrator or administrative team member. However it is handled, communication and cooperation between all team members is essential for the inventory system to work properly. It is imperative that the inventory in the dental practice be maintained properly. Proper management of all inventory and supplies will prevent unnecessary stressors, possible crises, and financial waste. A well-maintained supply assists in the smooth operation of the dental practice.
Inventory Control System
The goal of an inventory system is to keep the necessary amount of supplies readily available so that they will be accessible when they are needed, and to avoid purchases of large quantities of supplies that will tie up too much of the practice's cash flow.
Several dental supply companies have developed systems for dental practice inventory control, such as the commonly used eMagine, a Supply Management Software System from Patterson Dental Supply Company. Many dental supply companies provide inventory systems for the practice and some dental team members have designed effective systems that work well for that specific dental practice. The Internet has made ordering supplies much easier.
Many practices use the tag system for inventory control. With this system, a tag is attached to the minimum quantity of an item with a rubber band, representing the reorder point. The reorder tag may contain the name of the product only, or it may also contain the name of the manufacturer and any appropriate descriptive information such as size, color, length, type of set, grit, etc. The practice may also want to have the reorder point on the tag, as well as the name and phone number of the supplier and a catalog number. When the supply of an item is depleted to the reorder point, the tag is removed and placed in a central location where the delegated team member will find all tags for items that need to be ordered. The team member must pay close attention to detail when placing an order because a missed item or an item ordered incorrectly could cause unnecessary problems for the practice.
The ordering of supplies can also be done using a computer bar code system. The dental practice must have a bar code wand, which is attached to the computer. The team member will scan the bar codes of the items that need to be ordered, and the information is then transmitted electronically to the supply company for ordering. This is a quick and convenient method for ordering supplies.
Types of Supplies
The supplies in the dental practice can be classified according to utilization and/or cost. These categories are: expendable items, non-expendable items, and capital items.
Expendable items, sometimes referred to as consumables and disposables, are items of relatively low cost that are disposable and used up quickly. In the treatment areas this may include items such as gauze, cotton rolls, cotton swabs and saliva ejectors. It also includes minor dental instruments such as mouth mirrors and burs. In the administrative area, these may include copier paper, post-it notes, stationary and envelopes.
Non-expendable items are smaller pieces of equipment or instruments retained in the practice for longer periods of time and replaced when the item is worn out or broken. Such items would include: autoclaves, curing lights, laser printers, calculators and fax machines.
Capital items are the costlier items found in the dental practice that will depreciate in value over five to ten years and include: dental chairs, computers, intraoral cameras and air compressors.
Ordering of Supplies
The following factors are considered when ordering supplies:
|•||Shelf life - how long the product can be stored before it deteriorates. Radiographic film and some dental materials have an expiration date and as a result, ordering large quantities of a product not frequently used will result in lost capital.|
|•||Lead-time - the time between placing an order and receiving it. Become acquainted with the supplier's delivery time. If it takes several days for a product to be delivered it may be wise to increase the minimum stock level of this product.|
|•||Rate of use - frequency of use of a particular item. Some items such as gauze are frequently used and therefore larger quantities are ordered.|
|•||Reorder point - minimum quantity that must be kept on hand before being reordered, based on the rate of use and the lead-time.|
|•||Supply quantity - the minimum and maximum amount of the product needed on hand at all times.|
|•||Item, unit, and bulk prices - It may be more expensive to purchase a single item than an item by unit or in bulk. Often there is a difference in price called price breaks, which are reduced prices for an order of a certain quantity of goods, usually a larger amount. Many manufacturers offer discount prices on a larger quantity of a product at different times. It is wasteful to order the large quantities if the product has a short shelf life and is not consumed, but it can be cost effective if the product is consumed frequently and a significant discount is provided.|
|•||Storage concerns - especially if buying in bulk. Storage space is a significant issue in some practices. Ordering large quantities of a product may cause disorder in the practice if space is not available for safe storage.|
|•||Available capital outlay - It is necessary to have a budget to determine if it is wise to buy in quantity.|
In large group practices, educational institutions or large clinics with a central supply source, dental supplies are obtained by a requisition. The requisition form is typically completed in duplicate; one copy is submitted to obtain the supplies and the individual requesting the supplies retains the second copy. In institutions with central purchasing, a requisition may be submitted to the purchasing manager, who in turn issues a purchase order. These forms are numbered and when the order is placed, the supplier refers to the purchase order number. Many educational institutions purchase larger, more expensive items in this manner.
Payment to Suppliers
After all items have been checked and placed properly into storage, the packing slips and/or invoices must be received for accounts payable. If the supplies are one of several monthly deliveries from a single company, the invoices will be checked against a monthly billing statement. Before payment is made, all invoice balances must match those listed on the statement.
It may be necessary to pay an invoice upon receipt of the supplies. In this case, all supplies should be checked in, all backorders noted, and payment made as soon as possible. Some companies may offer a discount for quick payment. For example, the invoice may note that if the balance is paid within 10 days, the office may deduct 1% of the total billing. These discount offers must be taken full advantage of as they can add up to significant savings over the course of a year.
As the overall health of the dental office relies on monies being received and distributed, it is necessary to understand proper protocol and procedures. All of the numerous financial records should be protected for the patients, employees, and employer(s) alike. It is important for the office to receive fees quickly and attribute monies to the proper patient accounts. When those tasks are performed efficiently, office bills and employee payroll can be distributed. These duties can be performed swiftly and professionally via the use of a computer and the corresponding dental software, but also by using traditional manual methods and specialized office forms.
Accounts Payable - financial obligations or money owed by a practice for goods or services.
Accounts Receivable - money owed to a practice from patients for services rendered.
Administrator, Insurance - one who manages or directs a dental benefit program on behalf of the program's sponsor.
Administrator, Practice - one who manages the staff of a practice.
Approved Amount - the amount used by the benefit carrier as the basis of payment for a submitted fee.
Approved Service - all services covered under a dental plan; dental services that meet quality standards maintained under a dental plan.
Attending Dentist's Statement - also known as the ADA Dental Claim Form, used to report dental procedures to a third-party payer for reimbursement.
Birthday Rule - a method of determining the primary carrier for dependent children who are covered by more than one dental plan. With this method, the primary payer is the parent with the earlier date of birth by month and day, without regard to the year of birth.
Certificate of Eligibility - an official identification card or similar document that verifies the individual is covered by a particular group, providing that eligibility requirements continue to be met.
Claimant - person who files a claim for benefits; may be the patient or the certificate holder.
Claim Form - a statement listing services rendered, the date of services, and itemization of fees. The completed and signed form serves notice to the carrier that payment should be made.
Clinical Record - the patient record that includes all services rendered, treatment notes, treatment correspondence, and medical and dental histories.
Commercial Carrier - a corporation that contracts with groups of consumers to administer dental care plans. It is a profit-making organization with a group of stockholders.
Contract year - the period of time (usually, but not necessarily, a calendar year) for which a contract is written.
Coordination of Benefits - regulation stipulating that the primary carrier for dependent children is determined by the parents' dates of birth. Regardless of which parent is older; the dental benefit program of the parent whose date of birth falls first in a calendar year is considered primary.
Co-Payment - the amount or percentage of the total approved amount that the subscriber is obligated to pay. This is not to be confused with deductible amount.
Current Dental Terminology (CDT) - a list of descriptive terms and identifying codes developed by the ADA for reporting dental services and procedures to dental benefit plans.
Custom Software - applications software that is developed by the user or at the user's request.
Database - a stored collection of data on a particular subject.
Database Management - computer software application used for organizing, entering, storing, and retrieving information in formats and orders specified by the user.
Deductible Amount - that portion of the covered dental care expense that the subscriber must pay before the plan's benefits begin. This could be a yearly or a one-time deductible amount.
Dental Charting - the documentation of existing restorations and conditions of the oral cavity.
Dental Service Corporation - a legally constituted non-profit organization that contracts with groups of consumers to administer dental care plans on a prepaid basis.
Direct Billing - a process whereby the dentist bills a patient directly for his or her services.
Downloading - transferring information received over a communications network to a software program so that it can be printed out or processed at an individual workstation.
Effective Date - the date the coverage goes into effect and from which time benefits are afforded. The group effective date can be different from the patient's effective date.
Elective - having a choice; not mandatory or required.
Eligible Individual - a person entitled to benefits under a dental plan.
Exclusion - dental services not provided under a dental plan.
Expiration Date - the date on which the dental benefit contract expires; the date an individual ceases to be eligible for benefits.
Extension of Benefits - extension of eligibility for benefits for covered services, usually designed to ensure completion of treatment commenced prior to the expiration date. Duration is generally expressed in terms of days.
Family Deductible - a deductible that is satisfied by combined expenses of all covered family members. For example, a program that has a $50 deductible may limit its application to a maximum of three deductibles or $125 per family, regardless of the number of family members.
Fee Filing - the participating dentist's usual fees for procedures common to the practice, reported most frequently on dental claims. It includes the dentist's signed agreement that the fees are the usual fees to the majority of the practice and represents the dentist's agreement to accept those fees as payment in full for covered services rendered to members or subscribers.
FICA - Federal Insurance Contributions Act - also known as the Social Security tax.
GIGO - "garbage in, garbage out"; a phrase that means if what is input into a computer is wrong, what comes out will also be wrong.
HIPAA - the Health Insurance Portability and Accountability Act of 1996 requires that the transactions of all patient healthcare information be formatted in a standardized electronic style. In addition to protecting the privacy and security of patient information, HIPAA includes legislation on the formation of medical savings accounts, the authorization of a fraud and abuse control program, the easy transport of health insurance coverage, and the simplification of administrative terms and conditions.
Maximum Benefit - the maximum dollar amount a dental plan will pay toward the cost of dental care incurred by an individual or family in a specified period, whether a calendar year or a contract year.
Member - the employee who represents the family unit in relation to the prepayment plan.
Nonparticipating Dentist - a dentist who has not entered into an agreement with a service corporation, commercial carrier, or agency and has not agreed to rules and regulations as promulgated by a given board of directors.
Open Enrollment - the annual period in which employees can select from a choice of benefit programs.
Participating Dentist - any duly licensed dentist with whom the dental plan has an agreement to render care to beneficiaries under rules and regulations promulgated by a board of directors or agency.
PHI - this acronym stands for protected health information.
Pre-Authorization/Pre-Determination - a recommended treatment plan submitted for verification of eligibility and identification of covered benefits and plan allowances, limitations, and exclusions. Preauthorization usually implies an obligation to pay, even if the patient loses eligibility.
Pre-existing Condition - oral health condition of an enrollee that existed before his or her enrollment in a dental program.
Premium- the amount charged by the dental benefit organization for coverage of a level of benefits for a specified time.
Primary carrier - the plan covering the patient as the employee or the plan that covers the dependent of the parent whose birthday occurs earlier in the calendar year than the other parent's.
Productivity - the amount of income generated, minus expenses, per unit of time.
Professional Courtesy - a discount the provider gives the patient.
Secondary Carrier - the plan covering the patient as a dependent when the patient is the spouse or dependent child of the parent whose birthday occurs later in the calendar year.
Subscriber - the employee who represents the family unit in relation to the prepayment plan.
Table of allowances - a list of specified amounts that will be paid toward the cost of dental services rendered. In most cases, the patient pays the difference between the allowance and the actual cost of service.
Usual, customary, and reasonable fee - a participating dentist in this type of plan must file UCR fees with the carrier. Payment is based on the percentage covered by the group. In some states, a small research and development charge is deducted from the total payment to participating dentists; in some areas of the country this may be noted as usual and customary, without the word reasonable, because a reasonable fee is often difficult to define for a special situation.
Virus - a damaging computer program that can produce copies of itself and spread to other computers and networks. A virus can quickly spread throughout the Internet, causing serious damage to computers, programs, and files.
Andujo, Emily. Dental Assistant: Program Review and Exam Preparation (PREP). Stamford, CT: Appleton and Lange, 1997.
Bird, Doni, and Robinson, Debbie. Torres and Ehrlich Modern Dental Assisting. 8th ed., St. Louis: Elsevier Saunders, 2005.
Department of the Treasury. Circular E: Employer's Tax Guide, 2009, Internal Revenue Service.
Finkbeiner, Betty L. "Basic Concepts of Dental Practice Management". American Dental Assistants Association, 2006.
Finkbeiner, Betty L. and Finkbeiner, C.A. Practice Management for the Dental Team, 6th ed., St. Louis, Elsevier Inc., 2006.
Finkbeiner, Betty Ladley, and Johnson, Claudia Sullens. Mosby's Comprehensive Dental Assisting: A Clinical Approach. St. Louis: Mosby, 1995.
Phinney, Donna J., and Haldstead, Judy H. Delmar's Dental Assisting: A Comprehensive Approach. 2nd ed.; Clifton Park, New York. Delmar, 2004
About the Authors
Natalie Kaweckyj, LDARF, CDA, CDPMA, COMSA, COA, CPFDA, CRFDA, MADAA, BA
Natalie Kaweckyj has worked in the dental assisting profession administratively, as a clinician, and as an educator. She is currently a Licensed Dental Assistant in Restorative Functions, Certified Dental Assistant, Certified Dental Practice Management Administrator, Certified Orthodontic Assistant, Certified Oral & Maxillofacial Surgery Assistant, Certified Preventive Functions Dental Assistant, Certified Restorative Functions Dental Assistant, a Master of the American Dental Assistants Association, and holds several expanded function certificates. Natalie graduated from an ADA accredited dental assisting program at ConCorde Career Institute and graduated with a BA in Biology and Psychology from Metropolitan State University. She is currently pursuing her Master's in Public Health with a focus on epidemiology through Independence University. Natalie is currently serving as ADAA President (2017-2018). She has served in many capacities at the local and state levels of her state association, and is a past ADAA President in 2010-2011, past Seventh District Trustee, and past Director to the ADAA Foundation. In addition to her association duties, Natalie is very involved legislatively with her state board of dentistry and state legislature in the expansion of the dental assisting profession, the MN RDA Exam Committee in Expanded Functions, and is an advisory board member to the Century College Hygiene Department. Natalie is also affiliated with OSAP, the National Association of Dental Assistants, and the American Association of Dental Office Managers. She has authored several other courses on a wide variety of topics for the ADAA and is a speaker on dental topics locally and nationally.
Acknowledgement of Contributing Authors
Wendy Frye, CDA, RDA, MADAA, currently lives in St Louis, Missouri where she is a chairside dental assistant and implant treatment coordinator in a periodontal office. She is a Certified Dental Assistant, Registered Dental Assistant and Master of the American Dental Assistants Association. Wendy graduated from the ADA accredited dental assisting program at Kirkwood Community College in Cedar Rapids, Iowa.
Wendy has served in many various capacities on the local and state levels of the Iowa and California Dental Assisting Associations.
Lynda Hilling, CDA, MADAA, lives in Billings, MT. She is a Certified Dental Assistant and has been employed in the private practice of Michael W. Stuart, DDS for the last ten years as a chairside assistant. Lynda began her dental assisting career as an on the job trained assistant and then challenged the CDA exam in 1999. Lynda is a Master in the American Dental Assistants Association. Lynda has served on the Executive Board of the Montana Dental Assistants Association including the Presidency.
Lisa Lovering, CDA, CDPMA, MADAA, is a Certified Dental Assistant and a Certified Dental Practice Administrator and is employed chairside in the private practice of Michael W. Stuart, DDS. Lisa began her dental assisting career as an on the job trained assistant, and then challenged the CDA and CDPMA exams.
As a member of the American Dental Assistants Association, Lisa has received her Mastership. Lisa has served on the Montana Dental Assistants Association Executive Board including the Presidency.
Linette Schmitt, CDA, LDA, MADAA, is a graduate from the ADA accredited dental assisting program at Hibbing Community College. Linette currently works as a chairside assistant in a large group practice. She is a MN Licensed Dental Assistant and a Certified Dental Assistant and is also certified to administer nitrous oxide analgesia and place gingival retraction cord. She is a member of the American Dental Assistants Association and holds an ADAA Mastership.
She has served in many capacities at the local and state levels of her association and has previously served as ADAA Seventh District Trustee. Linette is legislatively involved with the MN Board of Dentistry's Policy Committee.
Wilhemina R. Leeuw, CDA, BS, is a Clinical Assistant Professor of Dental Education at Indiana University Purdue University, Fort Wayne. A DANB Certified Dental Assistant since 1985, she worked in private practice over twelve years before beginning her teaching career in the Dental Assisting Program at IPFW. She is very active in her local and Indiana state dental assisting organizations. Prof. Leeuw's educational background includes dental assisting-both clinical and office management, and she received her baccalaureate degree in Organizational Leadership and Supervision.