
Medicare 2026 brings major changes to payment policies, coverage, and compliance. Every healthcare organization must prepare now to stay compliant and financially healthy.
Medicare 2026 Payment Changes: Your Complete Guide is essential reading for every healthcare organization. The Centers for Medicare & Medicaid Services (CMS) has finalized new payment policies, coverage updates, and compliance requirements that will impact hospitals, clinics, private practices, and ambulatory care centers. Understanding these changes is crucial for smooth operations and financial stability. This guide explains the new rules, provides real-world examples, and offers clear steps to help your organization adapt.
Starting January 1, 2026, Medicare will introduce new payment adjustments. The conversion factor for providers in Alternative Payment Models (QPs) will be $33.57, while non-QPs will use $33.40. However, a -2.5% efficiency adjustment will apply to many non-time-based services. This adjustment is designed to reflect technology-driven productivity gains, but it may offset the base rate increase for some specialties. A major shift is happening in how Medicare pays for services based on where they are delivered. Payments will now favor non-facility settings, such as independent medical offices. This means office-based services may see a payment increase, while hospital-based services could see a reduction. The goal is to reward practices that deliver care in lower-cost settings.
The COVID-19 pandemic accelerated the use of telehealth. CMS has now made some of these flexibilities permanent. The definition of direct supervision has changed. Supervising physicians can now be present virtually using real-time audio and video technology. This applies to incident-to, diagnostic, and certain therapy services. This change increases staffing flexibility and improves patient access, allowing organizations to offer services with greater ease.
From 2026, Medicare Part D will cap patient out-of-pocket prescription drug costs at $2,100. This cap provides significant financial relief to patients, especially those with chronic conditions or high medication needs. Additionally, adult vaccines and covered insulin products will have zero or limited cost-sharing. The new Medicare Prescription Payment Plan (MPPP) allows patients to pay out-of-pocket drug costs in monthly installments, making medications more affordable.
Medicare Part A will introduce new scoring methods for the Skilled Nursing Facility Value-Based Purchasing (SNF VBP) Program. Part B will see a fee schedule increase and changes in telehealth coverage. These updates aim to improve care quality and patient outcomes.
Payments for Medicare Advantage plans will increase by 5.06%. There will be revised Star Ratings and improved provider directory data. Part D will see deductible increases but lower average premiums. These changes are designed to enhance plan quality and transparency.
The Quality Payment Program (QPP) will see updates affecting participation for Advanced APM clinicians and others. The Security Risk Assessment remains mandatory. These changes require organizations to stay vigilant and proactive in their compliance efforts.
Compliance is not a one-time task. It must be an active, ongoing program. Weekly staff training and monthly audits are essential. Regular Security Risk Assessments and SAFER Guide assessments are also required. Tools from EPI Compliance can help maintain a dynamic compliance program and ensure adherence to quality and security standards.
To prepare for Medicare 2026, every healthcare organization should:
Imagine a small clinic that primarily offers office-based services. With the new site-of-service payment shift, this clinic could see increased Medicare payments. However, if the clinic also provides non-time-based services, the -2.5% efficiency adjustment may reduce some of those gains. By updating billing systems and training staff on the new rules, the clinic can maximize its reimbursement and stay compliant.
Most changes take effect on January 1, 2026. Audio-only telehealth billing for Rural Health Clinics (RHCs) and Federally Qualified Health Centers (FQHCs) remains in effect through December 31, 2026. Compliance program updates and enforcement actions are ongoing, with regular CMS oversight and audits.
Independent practices should focus on optimizing office-based services, leveraging telehealth, and maintaining robust compliance programs. Hospitals and ambulatory surgical centers should prioritize quality reporting, price transparency, and compliance with new billing and documentation standards. Medicare Advantage and Part D plans must enhance provider directory management, appeals processes, and compliance with cost-sharing and audit requirements.