Commenter:
Mindy Carlin, Virginia Association of Community-Based Providers (VACBP)
Comments on CPST Billing Requirements
The following summarizes feedback regarding the "Billing Requirements" section received from our members since the draft policy was released:
Monthly Unit Cap Concerns
The 504-unit monthly cap for non-licensed staff is viewed as too restrictive and will limit service delivery capacity, especially in programs with high client needs.
This cap could shift excessive workload to LMHPs, increasing their caseload burden and reducing supervision quality.
Tracking and Enforcement Challenges
It is unclear how the 504-unit cap will be monitored or enforced, particularly since staff often work for multiple agencies.
Agencies have no mechanism to know when an employee’s total units across employers exceed the cap, creating compliance and audit risks.
Implementation and Readiness Issues
Providers cannot build electronic health record (EHR) templates or prepare billing processes until DMAS finalizes provider type/specialty codes and DBHDS completes the service definition.
The lack of finalized guidance delays operational readiness; providers request billing guides and test-claim scenarios to ensure correct implementation.