CMS Releases 2016 Physician Fee Schedule


Major changes to Stark law are ahead, including new exceptions for timeshare arrangements and employment of NPPs.

The Centers for Medicare & Medicaid Services (CMS) released a proposed rule on July 8 for the 2016 Physician Fee Schedule. This annual compilation of revisions to the Medicare Physician Fee Schedule and other Part B payment rules often contains significant policy changes, and this year appears to be no different. Chief among CMS’s programmatic alterations are considerable amendments and new exceptions to the Stark law that recognize the changing face of medicine and promote additional integration between physicians and the entities to which they refer.

Generally, the Stark law prohibits physicians who have financial relationships with entities from referring to those entities for the provision of designated health services (DHS) unless the arrangement meets an exception.  These exceptions have been substantially expanded over the last two decades as the Medicare program (and the healthcare industry as a whole) has evolved. In its proposed changes to the regulations implementing the law, CMS seeks to further this evolution with the following changes to the physician self-referral law:

We encourage providers that may be affected by these proposed changes to make their views known through the CMS comment process. The agency has solicited comments on a number of areas, particularly as they relate to alternative delivery models, and ACOs and other entities engaging in coordinated care activities should take this opportunity to provide input.


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National Law Review, Volume V, Number 190