Medicare’s 2025 Physician Fee Schedule Final Rule finalizes steps to permanently allows virtual supervision for specific services, including incident-to procedures and outpatient visits for established patients. This article explains how the rule updates direct supervision requirements, the scenarios it covers, and its implications for healthcare providers.

Tether Supervision
Dec 2, 2024
Medicare’s 2025 Physician Fee Schedule Final Rule introduces a critical update in the definition of direct supervision, allowing it to be satisfied via virtual presence in specific scenarios. For healthcare facilities performing procedures like contrast injections, this update provides a compliant and cost-effective pathway to meet supervision requirements without sacrificing patient safety or regulatory adherence. Below, we outline how Tether Supervision aligns with these rules to deliver compliant virtual supervision.
The Medicare Update: What’s New for Virtual Supervision
The Medicare rule explicitly states:
“We are finalizing, for a certain subset of services that are required to be furnished under the direct supervision of a physician or other supervising practitioner, to permanently adopt a definition of direct supervision that allows the supervising physician or practitioner to provide such supervision via a virtual presence through real-time audio and visual interactive telecommunications.”
This updated definition would make virtual direct supervision a permanent option for certain services, as long as supervising physicians maintain real-time availability through audio and video telecommunication.
Services Covered by the Rule
The rule clarifies the following scenarios where virtual direct supervision is permissible:
1. Services Furnished “Incident To” a Physician’s Professional Service
• Includes procedures involving auxiliary personnel employed by the billing physician or practitioner.
• Applies to HCPCS codes with a PC/TC indicator of ‘5’ (indicating professional and technical components, such as contrast administration).
• Includes services described by CPT code 99211 (basic evaluation and management services provided by auxiliary staff).
2. Office or Outpatient Visits for Established Patients
• Virtual direct supervision is allowed for evaluation and management services provided to established patients who may not require the physical presence of a physician or qualified healthcare professional.
3. Other Incident-To Services (Temporary Provisions Through 2025)
• For all other services requiring direct supervision, virtual supervision via real-time telecommunications is allowed only through December 31, 2025.
How Tether Supervision Aligns with Medicare Requirements
1. Real-Time Virtual Supervision for Contrast Injections
Tether Supervision is designed to meet the requirements of direct supervision by enabling supervising physicians to oversee procedures like contrast injections remotely. Here’s how:
• Real-Time Connectivity: Physicians connect with auxiliary personnel (e.g., radiology technologists) through secure, HIPAA-compliant video and audio platforms.
• Immediate Availability: If a technologist requires guidance or a patient experiences an adverse reaction during a contrast injection, the supervising physician is instantly available to provide instructions or intervene.
• Secure Documentation: All supervision activities are logged, time-stamped, and recorded to create an audit trail for compliance purposes.
Example:
A technologist at an imaging center administers IV contrast for a CT scan. Using Tether’s platform, the supervising radiologist observes the process in real-time from a remote location, ensuring the procedure meets Medicare’s direct supervision standard.
2. Employment of Auxiliary Personnel
Medicare requires that auxiliary personnel performing services under virtual direct supervision be employed by the same billing physician or supervising practitioner. Tether Supervision integrates seamlessly into this structure:
Example:
A hospital employs both radiology technologists and supervising radiologists. The radiologists use Tether to provide virtual direct supervision during contrast injections, maintaining compliance with Medicare’s “incident to” employment requirements.
3. Alignment with PC/TC Indicator ‘5’ Services
The rule explicitly covers services billed under HCPCS codes with a PC/TC indicator of ‘5.’ Contrast administration for imaging studies falls within this category. Tether ensures compliance by:
• Facilitating Virtual Supervision: Supervising physicians observe and oversee procedures remotely.
• Creating Comprehensive Records: The platform generates detailed logs that align with Medicare’s billing and documentation standards.
Example:
During an MRI with contrast, a supervising radiologist remotely guides the technologist, ensuring the procedure is safe and compliant. The interaction is recorded in real-time, meeting Medicare’s documentation requirements for PC/TC indicator ‘5’ services.
Why Tether Supervision Is the Best Solution
1. Compliance Confidence
Tether Supervision is purpose-built to align with Medicare’s updated rules, ensuring that procedures like contrast injections meet direct supervision requirements without ambiguity.
2. Cost Savings and Efficiency: Facilities reduce costs by enabling supervising physicians to oversee multiple locations remotely while maintaining compliance.
3. Enhanced Access to Care: Tether bridges the gap in rural or underserved areas, allowing facilities to perform critical diagnostic procedures without requiring on-site specialists.
Medicare’s 2025 Final Rule redefines how direct supervision can be delivered, allowing for virtual presence in specific scenarios. Tether Supervision provides a solution that is not only compliant but also efficient and scalable, making it easier for healthcare facilities to meet regulatory requirements while optimizing patient care.
With Tether, facilities can confidently navigate these changes, proactively managing compliance with Medicare’s rules while embracing the future of telehealth.
Disclaimer
This article is for informational purposes only and should not be considered legal, regulatory, or medical advice. The information provided is based on a general interpretation of Medicare’s 2025 Physician Fee Schedule Final Rule and may not apply to all situations or jurisdictions. Readers are encouraged to consult with legal counsel, compliance professionals, or Medicare experts to ensure adherence to applicable laws and regulations. Tether Supervision or any referenced entities are not liable for any actions taken based on the content of this article.




