If a provider is only available via paper or telephone, what is true about incident-to billing?

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When evaluating incident-to billing, it is essential to recognize that this billing method has specific requirements that must be met for it to be compliant with regulations. One key requirement is that the services billed under incident-to must be furnished under the direct supervision of a physician or qualified healthcare professional.

If a provider is only accessible via paper or telephone, it demonstrates a lack of direct supervision in a manner that aligns with standard compliance requirements. This situation complicates the ability to meet necessary criteria for incident-to billing, particularly in ensuring that the physician or qualified healthcare professional can oversee the service directly as required for compliance. As a result, this renders the requirements for incident-to billing unmet, affirming that option regarding requirements not being met is indeed correct.

In summary, the provider's limited availability creates a scenario that does not support the conditions necessary for compliant incident-to billing, making it clear why the assertion that requirements are not met is the accurate choice.

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