Massachusetts

LLC

Website link to register:
https://www.sec.state.ma.us/cor

Naming conventions
PLLC names must clearly describe the professional service provided. Must include “Limited Liability Company,” “LLC,” or “L.L.C.” PLLC applies to medical professionals.

Licensing Requirements
Members must have licenses from the Massachusetts Board of Registration in Medicine. Malpractice insurance required. Additional permits for lab facilities may apply.

Required documentation for medical practices
Articles of Organization, Lab Facility Permits, Professional Licenses, Malpractice Insurance

Filing Fee: $500

Annual/Biennial Fee: $500

Additional Notes: Annual report due on LLC anniversary date.

Medicaid

Program Name: MassHealth

Official Website: http://mass.gov/topics/masshealth

Legislation: Massachusetts does not have specific DPC legislation; practices operate under general healthcare and insurance laws.

Private Contracting

Permitted; DPC practices should ensure compliance with state insurance regulations to avoid being classified as insurers.

Restrictions

No explicit restrictions for DPC providers; compliance with federal and state regulations is necessary.

Medicaid Program

MassHealth provides Medicaid and CHIP coverage to eligible low-income residents, including children.

Notification Requirements

Notification strongly recommended for Medicaid patient clarity.

Provider Enrollment Requirements

Providers must enroll with MassHealth to serve beneficiaries directly or offer reimbursable services.

Enrollment Options

No "Ordering and Referring Only" status available.

Ordering, Referrals, and Testing

Non-enrolled providers may face challenges with Medicaid recognition for orders and referrals.

Designated PCP Restrictions

DPC physicians cannot act as Medicaid-designated PCPs.

Billing and Reimbursement

DPC practices typically do not bill Medicaid for services covered under private agreements.

Managed Care Plan Exemptions

Not specified.

Billing Clarity

Cannot bill Medicaid patients for covered services unless explicitly outlined.

CMS Guidance

CMS encourages streamlined enrollment for non-billing providers.

Opportunities for Collaboration

Potential collaboration with Medicaid Managed Care Organizations (MCOs) or state programs aimed at increasing primary care access.

State-Specific Notes

Collaboration opportunities exist with MassHealth for expanding access to primary care.

Dispensing Medication

State Licensing

Physicians must register with the Massachusetts Board of Registration in Medicine and the Board of Pharmacy.

Scope of Practice

Dispensing is allowed within a physician’s scope; controlled substances require additional registration.

Inventory Management

Detailed inventory logs and secure storage are required, especially for controlled substances.

Record-Keeping

Records must comply with Massachusetts and federal HIPAA regulations.

Dispensing Standards

Labels must meet state standards, including patient, prescriber, and usage details.

Controlled Substances

DEA registration and reporting to Massachusetts’s PMP are required for controlled substances.

Billing and Reimbursement

Billing practices must follow state-specific regulations and federal anti-kickback laws.

Federal Compliance

Adherence to federal FDA, DEA, and OSHA standards is mandatory.

State Pharmacy Laws

Physicians must comply with Massachusetts Board of Pharmacy regulations for dispensing controlled substances.

Patient Consent

Informed consent is required for all medications dispensed.

Insurance and Liability

Liability insurance must cover risks associated with dispensing.

Training Requirements

Continuing education for dispensing controlled substances is encouraged in Massachusetts.

Audits and Inspections

Inspections by the Massachusetts Board of Pharmacy ensure compliance; non-compliance leads to penalties.

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