Medical Billing
Maximized claim payouts
Free Revenue Cycle Audit— Discover how much revenue your practice is leaving on the table.
Border-free care. Compliance-focused revenue workflows. Expand your clinical reach across state lines without the friction of complex multi-payer regulations — and capture full reimbursement for every session.

See how Revix MD’s specialized telehealth RCM compares to industry averages across the metrics that matter most to virtual practices.
Matrix
Industry Average
Revix MD Advantage
Telehealth Clean Claim Rate
78%
97.4%
POS 10/02 Application Accuracy
62%
99.4%
Interstate Denial Rate
14.5%
< 1.2%
Audio-Only (FQ/93) Recovery
81%
97.8%

Telehealth billing depends on payer type, patient location, service modality, and coverage rules. Revix MD uses telehealth eligibility checks to confirm benefits, POS requirements, state limitations, and authorization needs before virtual visits move into billing.
We synchronize your virtual care with the latest CMS Physician Fee Schedule and legislative extensions — ensuring you capture full reimbursement regardless of payer mix or patient geography.
Reimbursement rates are driven by the correct application of Place of Service codes. The wrong modifier is a primary cause of technical denials. Our coding engine applies logic based on payer type and technology modality.
Typically reimbursed at the higher Non-Facility rate, equivalent to an in-office visit. We default to POS 10 when documentation confirms the patient’s home as the originating site — maximizing your reimbursement on every session.
Utilized when the patient is at a non-home location. We manage the specific modifiers required to align with payer-specific fee schedules and ensure no revenue is left behind due to misapplied originating-site codes.
Medicare’s in-person visit requirements for behavioral health telehealth services create billing risk when eligibility timelines are missed. Revix MD tracks patient eligibility, POS code accuracy, and behavioral health telehealth billing rules to reduce retroactive recoupments when requirements reactivate.
Synchronous audio-video sessions. Standard for most commercial payers.
Telephone sessions. Required by commercial payers and some Medicaid plans.
The specific Medicare modifier for audio-only behavioral health services.

We manage multi-state billing for providers operating under PSYPACT, the Counseling Compact, and the Social Work Compact. While these provide authority to practice, we handle the secondary step: navigating state-specific payer enrollment and tax ID mapping in the patient’s jurisdiction.
Per the CY 2026 PFS, virtual direct supervision via real-time audio-video is now a permanent standard. We ensure your group practice or residency program bills for supervised associates and residents correctly with the required modifiers reflecting “presence” via technology.
Psychiatrists performing med management must navigate the DEA’s telehealth prescribing rule extensions, allowing remote prescription of controlled substances through December 31, 2026. We ensure your documentation and billing modifiers reflect compliance with ongoing federal flexibilities.
We provide specialized RCM support for newly finalized Digital Mental Health Treatment device codes. Whether your practice uses FDA-cleared devices for ADHD or cognitive-behavioral therapy monitoring, we ensure encounters are coded using the latest CMS-approved frameworks.

We act as your practice’s audit shield — ensuring every telehealth encounter stands up to geographic scrutiny, audio-only audits, and MIPS performance reviews.
We ensure your notes include the mandatory 2026 requirement: documenting that the patient either declined or could not use video for the session.
We verify that telehealth-specific consent forms are digitally signed and timestamped within your EHR, meeting HIPAA and payer-specific audit standards.
For practices exceeding MIPS low-volume thresholds, we manage telehealth-specific quality measures to optimize your payment adjustments and avoid penalties.

Every member of your dedicated Revix MD pod specializes in tele-behavioral health coding, interstate compact billing, and the unique modifier logic of virtual sessions. We don’t treat telehealth as an add-on to traditional RCM — it’s our core competency.
A 6-clinician psychology group expanded into three PSYPACT states. Per-session revenue increased by 14% after our team corrected the POS code remapping and state-specific modifier logic.
We initiated an A/R recovery project for a regional tele-psychiatry group, successfully overturning over $42,000 in previously denied “invalid POS” claims through systematic resubmission.
We’ll identify POS code errors, modifier misapplication, and interstate billing gaps — then show you exactly how much revenue you’re leaving on the table.
No setup fees · No long-term contracts · 100% HIPAA compliant

Medicare telehealth requirements can vary by service type, location, and policy updates. Revix MD reviews documentation, POS codes, audio-only modifiers, and Medicare telehealth billing rules before claims are submitted.
Yes, but the claim must reflect an “audio-only” encounter. For Medicare, this requires Modifier FQ; for most commercial payers, it requires Modifier 93. Your documentation must also state why the video was not used.
We verify the patient’s location at the time of service. If you are licensed in the state where the patient is located, or if a compact applies, we ensure the claim is sent to the correct regional payer according to their local telehealth parity laws.
Absolutely. We manage the billing for residents and associates under the permanent Virtual Direct Supervision guidelines, ensuring the supervising physician’s presence via audio-video is documented according to CMS standards.