Telehealth Billing Code Checker
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67 payers covered All 50 states + DC Medicaid Verified April 2026
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    Telehealth Billing

    Telehealth Billing Codes 2026: Complete Guide to Modifiers, POS Codes & CPT Codes

    Sarah Callahan
    Healthcare Revenue Cycle Specialist — CureAdvantage
    Updated April 17, 2026 16 min read YMYL Verified

    Professional disclaimer: Telehealth billing policies change frequently. The information in this guide reflects CMS guidance, payer policies, and CPT code updates as of April 2026. Always verify modifier requirements, Place of Service codes, and covered service lists directly with your specific payer contract and the current CMS Physician Fee Schedule before submitting claims. This guide does not constitute legal or billing compliance advice. For complex billing situations, consult a certified professional coder (CPC) or healthcare billing attorney.

    Telehealth billing is one of the fastest-moving areas in medical revenue cycle management. Since the COVID-19 public health emergency (PHE) ended in May 2023, providers have had to navigate a patchwork of temporary extensions, permanent policy changes, and payer-specific rules that vary wildly — sometimes even within the same insurance company across different states.

    This guide cuts through the confusion. Whether you are billing Medicare, a state Medicaid program, or a commercial payer, you will find the exact modifier, Place of Service code, and CPT code you need — plus the documentation requirements to protect against denials.

    Use the free Telehealth Billing Code Checker above to get instant, payer-specific answers for your specific situation. The guide below explains the reasoning behind every result the tool produces.

    What is telehealth billing and why does it matter in 2026?

    Telehealth billing refers to the process of submitting insurance claims for medical services delivered remotely — via video, telephone, or secure patient portal — rather than in person. The claim process itself is largely the same as in-person billing, but requires specific modifiers, Place of Service codes, and sometimes entirely different CPT codes depending on the payer and service type.

    In 2026, telehealth billing matters more than ever for three reasons:

    • Medicare coverage is extended, not permanent. Congress extended telehealth flexibilities through December 31, 2027 via the Consolidated Appropriations Act (CAA). Without another extension, many flexibilities revert after that date. Providers billing telehealth need to track these deadlines.
    • Payer policies have diverged significantly post-PHE. What Medicare covers does not automatically apply to commercial payers or state Medicaid programs. Each payer has developed its own telehealth policy, creating a complex, fragmented billing landscape.
    • Telehealth claim denials are rising. According to industry data, telehealth claims are denied at a significantly higher rate than in-person claims — primarily due to incorrect modifiers, wrong POS codes, missing documentation, and services not on a payer’s covered telehealth code list.
    Key 2026 update
    CPT code 98016 permanently replaced HCPCS code G2012 for virtual check-ins as of January 1, 2025. If you are still using G2012 on claims, update your billing immediately — claims with G2012 are being denied.

    Telehealth modifiers explained: 95, 93, and GT

    Modifiers are two-digit codes appended to CPT codes on a claim to provide additional context about how or where a service was delivered. For telehealth, three modifiers are in active use in 2026:

    Modifier Meaning When to use Payers
    95 Synchronous telemedicine service rendered via real-time interactive audio and video telecommunications Audio + video telehealth visits Medicare, most commercial, CMS-aligned Medicaid states
    93 Synchronous telemedicine service rendered via telephone or other real-time interactive audio-only telecommunications Audio-only (telephone) telehealth visits when patient lacks video or declines Medicare, most commercial, 95-states Medicaid
    GT Via interactive audio and video telecommunication systems (legacy CMS modifier) All telehealth (audio or video) — for payers still requiring this modifier 19+ state Medicaid programs, some legacy payer contracts

    Modifier 95: the standard audio-video telehealth modifier

    Modifier 95 is the primary telehealth modifier recognized by CMS, the AMA, and the majority of commercial payers. It tells the payer that the billed service was delivered via a real-time, two-way audio-video connection — such as Zoom for Healthcare, Doxy.me, or an EHR-integrated telehealth platform like Epic MyChart. Modifier 95 should never be used for telephone-only visits.

    Modifier 93: audio-only telehealth

    Modifier 93 was introduced by the AMA in 2022 to create a distinct billing pathway for telephone-only services. Under Medicare, modifier 93 is covered only when the patient lacks video capability or explicitly declines video — and you must document the specific reason. It cannot be used as a routine alternative to modifier 95 simply because it is more convenient. Under UHC, modifier 93 is only permitted on CPT codes specifically listed in CPT Appendix T.

    Modifier GT: the legacy modifier

    Modifier GT predates the 95/93 system and is still required by approximately 19 state Medicaid programs as of 2026. Using modifier 95 on a claim for a state that requires GT will result in an automatic denial. States including Alabama, Arkansas, Florida, Georgia, Kentucky, Louisiana, Mississippi, Missouri, Montana, North Dakota, Oklahoma, South Carolina, South Dakota, Tennessee, Texas, West Virginia, and Wyoming still require modifier GT. Use the payer search tool above to identify which modifier your specific state Medicaid program requires.

    Common denial cause
    Using modifier 95 on a state Medicaid claim that requires GT is one of the most common and easily preventable telehealth denials. The tool above automatically flags GT-state claims with a denial warning.

    Place of Service codes for telehealth: POS 02 vs. POS 10

    Place of Service (POS) codes tell the payer where the patient was physically located when they received the service. For telehealth, two POS codes are relevant:

    POS Code Name When to use Medicare requirement
    POS 02 Telehealth Provided Other than in Patient’s Home Patient is at a clinic, hospital, or any location other than their home Required when patient is NOT at home
    POS 10 Telehealth Provided in Patient’s Home Patient is receiving telehealth from their own home Required when patient IS at home (since Jan 2022)

    CMS introduced POS 10 in January 2022 specifically to reflect the shift toward patients receiving telehealth from home. The distinction matters because Medicare pays differently for home vs. non-home telehealth in some situations. Most commercial payers have adopted the same POS 02/10 framework, though Aetna commercial is a notable exception — Aetna does not restrict POS codes for telehealth claims and accepts any POS code.

    Provider location reminder
    The POS code refers to where the patient is, not where the provider is. A provider seeing a patient via video while the patient is at home should use POS 10 — regardless of where the provider is physically located during the call.

    CPT codes for telehealth visits in 2026

    The CPT codes used for telehealth depend on the type of service. The table below covers the most commonly billed telehealth codes in 2026:

    Service type CPT / HCPCS codes Description Modifier needed
    E/M Office Visit (new patient) 99202–99205 Office or outpatient E/M, new patient, level 1–5 95 or 93 or GT
    E/M Office Visit (established patient) 99211–99215 Office or outpatient E/M, established patient, level 1–5 95 or 93 or GT
    Mental health (initial) 90791 Psychiatric diagnostic evaluation 95 or 93 or GT
    Mental health (psychotherapy) 90834, 90837, 90847 Individual / family psychotherapy 95 or 93 or GT
    E-visit (patient portal) 99421, 99422, 99423 Online patient portal visit (5–10 / 11–20 / 21+ min) None
    Virtual check-in 98016 Brief patient-initiated virtual check-in (5–10 min). Replaced G2012 on Jan 1, 2025 None
    RPM — setup 99453, 99454 Initial setup and patient education; device supply per 30 days None
    RPM — management 99457, 99458 Remote physiologic monitoring treatment management (first / additional 20 min) None
    AMA telehealth codes (commercial) 98000–98015 New AMA audio-video telehealth E/M codes, adopted by Aetna and Cigna for commercial plans Varies by payer
    Medicare AMA codes alert
    CMS does not recognize AMA codes 98000–98015 for Medicare. Continue using standard E/M codes 99202–99215 with modifier 95 for Medicare telehealth visits. The 98000-series codes are only accepted by certain commercial payers including Aetna and Cigna.

    Medicare telehealth coverage in 2026

    Medicare remains the most important payer to understand for telehealth billing. The Consolidated Appropriations Act (CAA) extended Medicare telehealth flexibilities through December 31, 2027. Key Medicare telehealth coverage facts for 2026:

    • Audio-video E/M visits (99202–99215 with modifier 95) are fully covered from the patient’s home (POS 10) or other locations (POS 02).
    • Audio-only E/M visits (99202–99215 with modifier 93) are covered only when the patient lacks video capability or explicitly declines video. The specific reason must be documented in the medical record.
    • Mental health telehealth is covered, but Medicare requires a documented in-person visit within 6 months of initiating mental health telehealth services, and annually thereafter. Missing this documentation is the number-one cause of mental health telehealth claim denials under Medicare.
    • Virtual check-ins (98016) are covered for established patients only. The check-in must be patient-initiated and must not relate to a visit within 7 days or lead to a visit within 24 hours.
    • E-visits (99421–99423) are covered for established patients communicating via a secure HIPAA-compliant portal.
    • Railroad Medicare (administered by Palmetto GBA) mirrors Medicare Part B telehealth rules exactly.
    Medicare mental health in-person requirement
    Before billing your first mental health telehealth visit under Medicare, confirm and document that the patient had an in-person visit within the prior 6 months. This is one of the most frequently missed requirements and results in claim denial after the fact.

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    State Medicaid telehealth: how policies differ

    No two state Medicaid programs handle telehealth identically. The differences fall into three main categories:

    1. Modifier requirement: GT vs. 95

    Approximately half of state Medicaid programs have aligned with CMS and now require modifier 95 for audio-video telehealth. The other half still require the legacy modifier GT. A small number accept both. The tool above automatically identifies which modifier your state requires.

    2. Audio-only coverage

    This is where state Medicaid policies diverge most dramatically. Some states — including California (Medi-Cal), Washington (Apple Health), New York, Illinois, Massachusetts, and Oregon — have permanently and broadly authorized audio-only telehealth for all covered services under state law. Others, like Texas (SB 670), Mississippi, South Dakota, and Wyoming, do not broadly cover audio-only E/M and restrict telephone visits primarily or entirely to mental health services.

    3. Prior authorization for telehealth

    Some state Medicaid programs require prior authorization for specific telehealth service types — particularly remote patient monitoring (RPM). Always verify PA requirements for your state before initiating an RPM program.

    State Modifier Audio-only E/M Audio-only Mental Health
    California (Medi-Cal)95CoveredCovered
    New York MedicaidGT or 95CoveredCovered
    Washington (Apple Health)95CoveredCovered
    Florida MedicaidGTLimitedCovered
    Texas MedicaidGTNot coveredCovered
    Mississippi MedicaidGTNot coveredLimited
    Illinois Medicaid95CoveredCovered
    Georgia MedicaidGTLimitedLimited

    For the complete list of all 50 states + DC, use the payer search in the billing code checker above and select your specific state Medicaid program.

    Commercial payer telehealth policies

    Commercial payers have diverged significantly from Medicare in their telehealth policies since the PHE ended. Here are the key distinctions for the major national payers:

    UnitedHealthcare (UHC)

    UHC follows Medicare telehealth policy for most plans. However, for audio-only visits, UHC does not allow modifier 93 on standard 992XX E/M codes. Instead, you must use telephone E/M codes 99441–99443 for audio-only visits where covered. UHC only allows modifier 93 on codes specifically listed in CPT Appendix T.

    Aetna (Commercial)

    Aetna commercial does not cover audio-only E/M visits at all — claims submitted with modifier 93 for audio-only E/M will be denied. Aetna is notably adopting the new AMA 98000-series telehealth codes for commercial plans and does not restrict POS codes, accepting any POS on telehealth claims.

    Cigna

    Cigna restricts audio-only reimbursement to behavioral health and specific chronic disease management scenarios. Billed CPT codes must appear on Cigna’s eligible virtual care code list. Cigna does broadly cover audio-only behavioral health telehealth with modifier 93 — one of the few categories where it allows audio-only broadly.

    BCBS and Anthem

    Both Anthem BCBS and local BCBS plans generally follow Medicare telehealth policy with modifier 95 for audio-video. Audio-only mental health is broadly covered, but general E/M audio-only varies significantly by state plan. Horizon BCBS (NJ) explicitly covers audio-only with modifier 93.

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    Audio-only telehealth billing: what you need to know

    Audio-only telehealth (telephone visits) is the most contentious area of telehealth billing in 2026. The fundamental rules are:

    • Under Medicare: Audio-only is covered with modifier 93, but only when the patient lacks video capability or explicitly declines video. You must document the specific reason in the chart — a blanket statement like “patient prefers phone” is insufficient and will not survive an audit.
    • Under most commercial payers: Audio-only E/M coverage is limited or unavailable for general medical visits. It is more broadly available for mental and behavioral health services.
    • Under state Medicaid: Coverage ranges from comprehensive (California, Washington, New York) to completely unavailable for E/M (Texas, Mississippi, Wyoming). Verify before billing.

    When audio-only is not covered for E/M, consider whether the patient qualifies for a virtual check-in (98016) instead — which is covered audio-only under Medicare and most major payers.

    Documentation requirements for telehealth claims

    Telehealth claims fail audits and post-payment reviews when documentation is incomplete. The following elements must be in the medical record for every telehealth claim:

    1. Patient verbal consent for telehealth, documented in the chart (most payers require this for every visit, not just the first)
    2. Provider’s physical location — city and state — at the time of service
    3. Patient’s physical location — city and state — at the time of service (this determines the correct POS code)
    4. Technology used — confirm the platform is HIPAA-compliant (e.g., Zoom for Healthcare, Doxy.me, Teladoc, Epic MyChart) and that it was two-way, real-time audio-video for modifier 95 visits
    5. For modifier 93 visits: the specific documented reason video was not used
    6. Clinical documentation supporting medical necessity and the level of service billed — this is the same standard as in-person visits
    7. For Medicare mental health telehealth: the date of the most recent in-person visit (required within 6 months of initiation and annually)
    Audit risk
    Medicare has identified telehealth documentation as a key audit target in 2026. A post-payment review that finds missing consent documentation, missing provider location, or an undocumented audio-only reason can result in recoupment of all claims reviewed — not just the deficient ones.

    Common telehealth claim denials and how to prevent them

    Denial reason Root cause Prevention
    Wrong modifier Using 95 instead of GT for a state Medicaid program that requires GT, or vice versa Verify modifier per payer before billing; use the tool above
    Wrong POS code Using POS 02 when patient was at home (should be POS 10) or missing POS entirely Document patient location at every visit and map POS accordingly
    Code not on telehealth list Billed CPT code is not on the payer’s eligible telehealth code list (common with Cigna, UHC) Verify each billed code against payer’s telehealth code list each plan year
    Audio-only not covered Submitted modifier 93 for a payer or state that does not cover audio-only E/M Check audio-only coverage before scheduling; consider virtual check-in (98016) as alternative
    Missing in-person visit (mental health) Medicare mental health telehealth billed without documented in-person visit within prior 6 months Track in-person visit dates in your telehealth eligibility workflow; document in every chart
    G2012 used instead of 98016 Virtual check-in billed with outdated HCPCS code G2012 (retired January 1, 2025) Update billing system to 98016 immediately; G2012 claims are being automatically denied
    New patient e-visit E-visit (99421–99423) billed for a new patient (not allowed) E-visits and virtual check-ins are for established patients only; restrict access accordingly

    For a comprehensive denial resolution guide, visit our Denial Code Lookup tool, which covers all CARC codes with specific resolution steps. You can also use our Revenue Leakage Calculator to estimate how much telehealth billing errors are costing your practice each month.

    Frequently asked questions

    What is the difference between telehealth modifier 95 and modifier 93?
    Modifier 95 is appended to claims for synchronous audio-video telehealth visits — where both provider and patient can see and hear each other in real time. Modifier 93 is used for audio-only (telephone) telehealth visits where video is not used because the patient lacks video capability or declines it. You must document the specific reason video was not used when billing modifier 93. Medicare, most commercial payers, and CMS-aligned Medicaid programs follow this distinction. Some state Medicaid programs still use legacy modifier GT for all telehealth regardless of visit mode.
    POS 02 is used when the patient receives telehealth from a location other than their home — such as a clinic or hospital. POS 10 is used when the patient receives telehealth from their own home. CMS introduced POS 10 in January 2022. Medicare requires POS 10 when the patient is at home and POS 02 for all other telehealth locations. Most commercial payers have adopted the same distinction.
    The primary CPT codes for telehealth E/M visits are 99202–99215 billed with modifier 95 (audio-video) or 93 (audio-only). For asynchronous patient portal communication, use 99421–99423. For virtual check-ins, use 98016 (replaced G2012 on January 1, 2025). For remote patient monitoring, use 99453, 99454, 99457, and 99458. Commercial payers Aetna and Cigna are also beginning to accept the new AMA 98000-series telehealth-specific codes for 2026 — but these are not accepted by Medicare.
    Yes. Medicare telehealth coverage has been extended through December 31, 2027 under the Consolidated Appropriations Act (CAA). This includes audio-video E/M visits (modifier 95), audio-only visits (modifier 93, with documented reason), virtual check-ins (98016), e-visits (99421–99423), remote patient monitoring (99453–99458), and mental health telehealth from the patient’s home. Mental health telehealth requires a documented in-person visit within 6 months of initiation and annually thereafter.
    Modifier GT is a legacy telehealth modifier still required by approximately 19 state Medicaid programs in 2026. States currently requiring GT include Alabama, Arkansas, Florida, Georgia, Idaho, Kansas, Kentucky, Louisiana, Mississippi, Missouri, Montana, North Dakota, Oklahoma, South Carolina, South Dakota, Tennessee, Texas, West Virginia, and Wyoming. Using modifier 95 instead of GT on claims for these states will result in a denial.
    Yes, but coverage varies by payer. Medicare covers audio-only E/M with modifier 93 only when the patient lacks video capability or declines video (and you document the reason). Aetna commercial does not cover audio-only E/M at all. UHC requires telephone E/M codes 99441–99443 for audio-only rather than 992XX with modifier 93. For state Medicaid, audio-only coverage ranges from broad (California, Washington, New York) to restricted to mental health only (Texas, Florida) to very limited (Mississippi, Wyoming).
    Required telehealth documentation includes: (1) Patient verbal consent for telehealth documented in the medical record. (2) Provider’s physical location (city and state) at time of service. (3) Patient’s location (city and state) at time of service. (4) Confirmation that a two-way, real-time, HIPAA-compliant platform was used (for modifier 95 visits). (5) For modifier 93 visits, the specific documented reason video was not used. (6) Clinical documentation supporting medical necessity. (7) For Medicare mental health telehealth, the date of the most recent in-person visit.
    A virtual check-in is a brief, patient-initiated communication with a practitioner to determine whether an in-person visit is needed. It is billed using CPT code 98016 (which replaced G2012 effective January 1, 2025). Duration must be 5–10 minutes. The communication must be patient-initiated, the patient must be established, it must not relate to a visit within the prior 7 days, and it must not lead to an office or telehealth visit within the next 24 hours. No modifier is required. Both audio-video and audio-only virtual check-ins are covered under Medicare.
    Remote Patient Monitoring (RPM) is a device-based service — not a telehealth visit. RPM involves a patient using a monitoring device (blood pressure cuff, glucometer, pulse oximeter, etc.) that transmits physiologic data to the provider’s system. The provider periodically reviews and manages the data. RPM is billed with codes 99453 (initial setup), 99454 (device supply, per 30 days), 99457 (first 20 min of management), and 99458 (additional 20 min). RPM does not require a modifier or a POS 02/10 code — it is billed with POS 11 (provider office). No audio or video connection with the patient is required to bill RPM codes.
    Sarah Callahan
    Healthcare Revenue Cycle Specialist — CureAdvantage
    Sarah Callahan is a healthcare revenue cycle specialist with extensive experience in medical billing, claim denial management, and payer policy analysis. At CureAdvantage, Sarah develops and maintains billing guides, tool documentation, and policy content to help providers navigate the complexity of insurance billing. Her work focuses on translating dense payer policies and CMS guidance into clear, actionable guidance for independent physicians and practice managers. All content reviewed by Sarah reflects current CMS guidance, payer contracts, and CPT editorial updates as of the date of publication.

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    Last verified: April 17, 2026
    Telehealth Billing

    Telehealth Billing Codes 2026: Complete Guide to Modifiers, POS Codes & CPT Codes

    Sarah Callahan
    Healthcare Revenue Cycle Specialist — CureAdvantage
    April 17, 2026 16 min read YMYL Verified

    Professional disclaimer: Telehealth billing policies change frequently. The information in this guide reflects CMS guidance, payer policies, and CPT code updates as of April 2026. Always verify modifier requirements, Place of Service codes, and covered service lists directly with your specific payer contract and the current CMS Physician Fee Schedule before submitting claims. This guide does not constitute legal or billing compliance advice. For complex situations, consult a certified professional coder (CPC) or healthcare attorney.

    Telehealth billing is one of the most complex and fast-moving areas in medical revenue cycle management. Since the COVID-19 public health emergency ended in May 2023, providers have navigated a patchwork of temporary extensions, permanent state law changes, and diverging payer-specific rules that vary significantly — sometimes even within the same insurance company across different states.

    This guide cuts through the confusion. Whether you are billing Medicare, a specific state Medicaid program, or a commercial payer like Aetna, Cigna, or UHC, you will find the exact modifier, Place of Service code, and CPT code you need for 2026 — plus documentation requirements to protect against post-payment audits and denials.

    Use the free Telehealth Billing Code Checker above to get instant, payer-specific answers. The guide below explains the reasoning behind every result the tool produces.

    What is telehealth billing and why does it matter in 2026?

    Telehealth billing is the process of submitting insurance claims for medical services delivered remotely — via video, telephone, or secure patient portal — rather than in person. The claim process follows the same general workflow as in-person billing but requires specific modifiers, Place of Service codes, and sometimes entirely different CPT codes depending on the payer and service type.

    In 2026, telehealth billing matters more than ever for three reasons:

    • Medicare coverage is extended, not permanent. Congress extended telehealth flexibilities through December 31, 2027 via the Consolidated Appropriations Act (CAA). Providers billing telehealth need to track these deadlines and watch for further Congressional action.
    • Payer policies have diverged significantly post-PHE. What Medicare covers does not automatically apply to commercial payers or state Medicaid programs. Each payer has developed its own telehealth policy, creating a fragmented billing landscape with real denial risk.
    • Telehealth claim denials are rising. Industry data shows telehealth claims are denied at a significantly higher rate than in-person claims — primarily due to incorrect modifiers, wrong POS codes, missing documentation, and services not on a payer’s covered telehealth code list.
    Key 2026 update
    CPT code 98016 permanently replaced HCPCS code G2012 for virtual check-ins as of January 1, 2025. If you are still using G2012 on any claims, update your billing system immediately. Claims with G2012 are being automatically denied.

    Telehealth modifiers explained: 95, 93, and GT

    Modifiers are two-digit codes appended to CPT codes on a claim to provide additional context about how a service was delivered. For telehealth, three modifiers are in active use in 2026:

    ModifierMeaningWhen to useWho requires it
    95Synchronous telemedicine via real-time interactive audio and videoAudio + video telehealth visitsMedicare, most commercial payers, CMS-aligned Medicaid states
    93Synchronous telemedicine via telephone or audio-only real-time communicationsAudio-only (telephone) visits when patient lacks video or declinesMedicare, most commercial payers (where audio-only is covered)
    GTVia interactive audio and video telecommunications systems (legacy CMS modifier)All telehealth (audio or video) for payers still requiring this modifier19+ state Medicaid programs

    Modifier 95: the standard audio-video telehealth modifier

    Modifier 95 is the primary telehealth modifier recognized by CMS, the AMA, and the majority of commercial payers. It tells the payer that the billed service was delivered via a real-time, two-way audio-video connection — such as Zoom for Healthcare, Doxy.me, or an EHR-integrated telehealth platform. Modifier 95 should never be used for telephone-only visits.

    Modifier 93: audio-only telehealth

    Modifier 93 was introduced by the AMA in 2022 to create a distinct billing pathway for telephone-only services. Under Medicare, modifier 93 is covered only when the patient lacks video capability or explicitly declines video — and you must document the specific reason in the medical record. It cannot be used as a routine alternative to modifier 95 simply because it is more convenient. Under UHC, modifier 93 is only permitted on CPT codes specifically listed in CPT Appendix T.

    Modifier GT: the legacy Medicaid modifier

    Modifier GT predates the 95/93 system and is still required by approximately 19 state Medicaid programs as of 2026. Using modifier 95 on a claim for a state that requires GT will result in an automatic denial. States including Alabama, Arkansas, Florida, Georgia, Kentucky, Louisiana, Mississippi, Missouri, Montana, North Dakota, Oklahoma, South Carolina, South Dakota, Tennessee, Texas, West Virginia, and Wyoming still require modifier GT. Use the payer checker above to identify which modifier your specific state requires.

    Most common denial cause
    Using modifier 95 on a state Medicaid claim that requires GT is one of the most common — and most preventable — telehealth denials. The Billing Code Checker above automatically flags GT-state claims with a warning before you submit.

    Place of Service codes for telehealth: POS 02 vs. POS 10

    Place of Service (POS) codes tell the payer where the patient was physically located when the service was received. For telehealth, two POS codes are relevant in 2026:

    POS CodeNameUse whenMedicare rule
    POS 02Telehealth Provided Other than in Patient’s HomePatient is at a clinic, hospital, or any non-home locationRequired when patient is NOT at home
    POS 10Telehealth Provided in Patient’s HomePatient receives telehealth from their own homeRequired when patient IS at home (since Jan 2022)

    CMS introduced POS 10 in January 2022 to distinguish home-based telehealth from facility-based telehealth. Most commercial payers have adopted the same POS 02/10 framework. Aetna commercial is a notable exception — it does not restrict POS codes and accepts any POS on telehealth claims.

    Provider location reminder
    The POS code refers to where the patient is, not where the provider is. A provider seeing a patient by video while the patient is home should use POS 10 — regardless of where the provider is physically located during the visit.

    CPT codes for telehealth visits in 2026

    The CPT codes used for telehealth depend on the type of service being delivered. The table below covers the most commonly billed telehealth codes in 2026:

    Service typeCPT / HCPCSDescriptionModifier needed
    E/M — new patient99202–99205Office or outpatient E/M, new patient, level 1–495, 93, or GT
    E/M — established patient99211–99215Office or outpatient E/M, established patient, level 1–595, 93, or GT
    Mental health — initial90791Psychiatric diagnostic evaluation95, 93, or GT
    Mental health — therapy90834, 90837, 90847Individual and family psychotherapy95, 93, or GT
    E-visit (patient portal)99421, 99422, 99423Online patient portal visit: 5–10 min / 11–20 min / 21+ min provider timeNone required
    Virtual check-in98016Brief patient-initiated check-in 5–10 min. Replaced G2012 on Jan 1, 2025None required
    RPM — setup99453, 99454Initial patient setup and education; device supply per 30-day periodNone required
    RPM — management99457, 99458Remote monitoring treatment management: first 20 min / additional 20 minNone required
    AMA telehealth codes (commercial)98000–98015New AMA audio-video telehealth-specific E/M codes, adopted by Aetna and Cigna for commercial plansVaries by payer
    Medicare does not accept AMA 98000-series codes
    CMS does not recognize AMA codes 98000–98015 for Medicare. Continue using standard E/M codes 99202–99215 with modifier 95 for Medicare telehealth. The 98000-series codes are currently only accepted by certain commercial payers, including Aetna and Cigna.

    Medicare telehealth coverage in 2026

    Medicare remains the most important payer to understand for telehealth billing. The Consolidated Appropriations Act (CAA) extended Medicare telehealth flexibilities through December 31, 2027. Key facts for 2026:

    • Audio-video E/M visits (99202–99215 with modifier 95) are fully covered from the patient’s home (POS 10) and other locations (POS 02).
    • Audio-only E/M visits (99202–99215 with modifier 93) are covered only when the patient lacks video capability or explicitly declines video. The specific reason must be documented in the medical record.
    • Mental health telehealth is covered but requires a documented in-person visit within 6 months of initiating mental health telehealth services, and annually thereafter. Missing this documentation is the leading cause of mental health telehealth claim denials under Medicare.
    • Virtual check-ins (98016) are covered for established patients only, must be patient-initiated, and cannot relate to a visit within the prior 7 days or lead to a visit within the next 24 hours.
    • E-visits (99421–99423) are covered for established patients communicating via a HIPAA-compliant patient portal.
    • Railroad Medicare, administered by Palmetto GBA, mirrors Medicare Part B telehealth rules exactly.
    Medicare mental health in-person requirement
    Before billing your first mental health telehealth visit under Medicare, confirm and document that the patient had an in-person visit within the prior 6 months. This is one of the most frequently missed requirements and often results in claim denial discovered only at post-payment review.

    State Medicaid telehealth: how policies differ across all 50 states

    No two state Medicaid programs handle telehealth identically. The differences fall into three main categories: the modifier required, the scope of audio-only coverage, and prior authorization requirements for specific service types.

    Modifier requirement: GT vs. 95

    Approximately half of state Medicaid programs have aligned with CMS and now require modifier 95 for audio-video telehealth. The other half still require the legacy modifier GT. A small number of states — including Arizona (AHCCCS), Iowa, New Mexico, New York, Ohio, and Wisconsin — accept both. The Billing Code Checker above identifies the correct modifier for each state automatically.

    Audio-only coverage varies dramatically by state

    This is where state Medicaid policies diverge most significantly. Some states have permanently and broadly authorized audio-only telehealth for all covered services under state law. Others restrict telephone visits to mental health only, or exclude them altogether. Here is a summary of key states:

    StateProgram nameModifierAudio-only E/MAudio-only Mental Health
    CaliforniaMedi-Cal95CoveredCovered
    New YorkNY MedicaidGT or 95CoveredCovered
    WashingtonApple Health95CoveredCovered
    IllinoisIL Medicaid95CoveredCovered
    MassachusettsMassHealth95CoveredCovered
    FloridaFL MedicaidGTLimitedCovered
    TexasTX MedicaidGTNot coveredCovered
    GeorgiaGA MedicaidGTLimitedLimited
    MississippiMS MedicaidGTNot coveredLimited
    WyomingWY MedicaidGTNot coveredLimited

    For the complete list of all 50 states + DC with full service-level detail, use the payer search in the tool above and select your specific state Medicaid program.

    Commercial payer telehealth policies

    Commercial payers have diverged significantly from Medicare in their telehealth policies. Here are the critical distinctions for the major national payers:

    UnitedHealthcare (UHC)

    UHC follows Medicare telehealth policy for most plans. For audio-only visits, however, UHC does not allow modifier 93 on standard 992XX E/M codes. You must instead use telephone E/M codes 99441–99443 for audio-only visits where covered. Modifier 93 is only permitted on codes listed in CPT Appendix T.

    Aetna (Commercial)

    Aetna commercial does not cover audio-only E/M visits at all — claims with modifier 93 for audio-only E/M will be denied. Aetna is adopting the new AMA 98000-series telehealth codes for commercial plans and notably does not restrict POS codes on telehealth claims, accepting any POS.

    Cigna

    Cigna restricts audio-only reimbursement to behavioral health and specific chronic disease management scenarios. All billed CPT codes must appear on Cigna’s eligible virtual care code list. Cigna broadly covers audio-only behavioral health telehealth with modifier 93 — one of the few categories where it allows audio-only comprehensively.

    Anthem BCBS and local BCBS plans

    Both Anthem BCBS and local BCBS plans generally follow Medicare telehealth policy with modifier 95 for audio-video. Audio-only mental health is broadly covered, but general E/M audio-only coverage varies by state plan. Horizon BCBS (NJ) explicitly covers audio-only with modifier 93. Always verify with your specific BCBS state plan.

    Kaiser Permanente

    Kaiser has a robust integrated telehealth system, but visits must be conducted through Kaiser’s own HIPAA-compliant platform. Kaiser operates in California, Colorado, DC, Georgia, Hawaii, Maryland, Oregon, Virginia, and Washington. Providers outside the Kaiser network generally cannot bill Kaiser for telehealth services.

    Audio-only telehealth billing: what you need to know

    Audio-only telehealth (telephone visits) is the most contentious area of telehealth billing in 2026. Coverage is inconsistent across payers and has been progressively tightening since the PHE ended. The key rules:

    • Under Medicare: Audio-only is covered with modifier 93, but only when the patient lacks video capability or explicitly declines video. A generic statement like “patient prefers phone” will not survive an audit. You need a specific clinical reason documented in the chart.
    • Under most commercial payers: Audio-only E/M coverage is limited or unavailable for general medical visits. It is more broadly available for mental and behavioral health services across most payers.
    • Under state Medicaid: Coverage ranges from comprehensive (California, Washington, New York, Illinois) to restricted to mental health only (Texas, Florida, Tennessee) to essentially unavailable for E/M (Mississippi, Wyoming, South Dakota).

    When audio-only is not covered for E/M, consider whether the patient qualifies for a virtual check-in (98016) instead — which is covered as audio-only under Medicare and most major commercial payers, and is a legitimate alternative for brief patient-initiated contacts.

    Documentation requirements for telehealth claims

    Telehealth claims fail audits and post-payment reviews when documentation is incomplete. The following elements must be present in the medical record for every telehealth claim:

    1. Patient verbal consent for telehealth, documented in the chart. Most payers require this for every visit, not just the first encounter.
    2. Provider’s physical location — city and state — at the time of service.
    3. Patient’s physical location — city and state — at the time of service. This determines the correct POS code.
    4. Technology confirmation — state the name of the HIPAA-compliant platform used (e.g., “Zoom for Healthcare,” “Doxy.me,” “Epic MyChart video visit”) and confirm it was two-way real-time audio-video for modifier 95 visits.
    5. For modifier 93 visits: the specific documented reason video was not used (“patient does not have a smartphone or computer with camera capability” or “patient declined video and preferred audio-only”).
    6. Clinical documentation supporting medical necessity and the E/M level billed — same standard as in-person visits.
    7. For Medicare mental health telehealth: the specific date of the patient’s most recent in-person visit with your practice.
    Audit risk in 2026
    Medicare has identified telehealth documentation as a key audit target in 2026. A post-payment review that finds missing patient consent documentation, missing provider location, or an undocumented audio-only reason can result in recoupment across all claims reviewed — not only the deficient ones. Build documentation checklists into your telehealth visit workflow.

    Common telehealth claim denials and how to prevent them

    Denial reasonRoot causeHow to prevent it
    Wrong modifierUsing modifier 95 instead of GT for a state Medicaid that requires GT, or vice versaVerify required modifier per payer before billing; use the tool above to check instantly
    Wrong POS codeUsing POS 02 when patient was at home (should be POS 10), or missing POS code entirelyDocument patient location at every telehealth visit and map to correct POS code before claim creation
    Code not on telehealth listBilled CPT code is not on the payer’s eligible telehealth code listVerify each billed code against the payer’s specific telehealth code list at least once per plan year
    Audio-only not coveredSubmitted modifier 93 for a payer or state that does not cover audio-only E/MCheck audio-only coverage before scheduling; consider virtual check-in (98016) as an alternative
    Missing in-person visit (mental health)Medicare mental health telehealth billed without documented in-person visit in the prior 6 monthsTrack in-person visit dates in your telehealth eligibility workflow; document in every mental health telehealth note
    G2012 used instead of 98016Virtual check-in billed with retired HCPCS code G2012 (retired January 1, 2025)Update billing system to CPT 98016 immediately; claims with G2012 are being automatically denied
    New patient e-visitE-visit (99421–99423) or virtual check-in (98016) billed for a new patientE-visits and virtual check-ins are for established patients only; restrict access in your patient portal accordingly
    Non-compliant platformService delivered via a non-HIPAA-compliant platform (FaceTime, standard Zoom, WhatsApp)Use only CMS-approved HIPAA-compliant platforms; document platform name in every telehealth note

    For a comprehensive denial resolution guide covering all CARC and RARC codes, visit the CureAdvantage Denial Code Lookup tool. To estimate the financial impact of telehealth billing errors on your practice, try our Revenue Leakage Calculator. For help selecting the correct CPT code for any clinical scenario, use the CPT Coding Assistant.

    Frequently asked questions

    What is the difference between telehealth modifier 95 and modifier 93?
    Modifier 95 is appended to claims for synchronous audio-video telehealth visits, where both provider and patient can see and hear each other in real time. Modifier 93 is used for audio-only (telephone) telehealth visits where video is not used because the patient lacks video capability or declines it. You must document the specific reason video was not used when billing modifier 93. Some state Medicaid programs still use legacy modifier GT for all telehealth regardless of visit mode.
    POS 02 is used when the patient receives telehealth from a location other than their home, such as a clinic or hospital. POS 10 is used when the patient receives telehealth from their own home. CMS introduced POS 10 in January 2022. Medicare requires POS 10 when the patient is at home and POS 02 for all other telehealth locations. Most commercial payers have adopted the same distinction, though Aetna commercial does not restrict POS codes on telehealth claims.
    The primary CPT codes for telehealth E/M visits are 99202–99215, billed with modifier 95 (audio-video) or modifier 93 (audio-only). For asynchronous patient portal e-visits, use 99421–99423. For virtual check-ins, use 98016 (which replaced G2012 on January 1, 2025). For remote patient monitoring, use 99453, 99454, 99457, and 99458. Some commercial payers, including Aetna and Cigna, also now accept the new AMA 98000-series telehealth-specific codes, but these are not recognized by Medicare.
    Yes. Medicare telehealth coverage is extended through December 31, 2027 under the Consolidated Appropriations Act (CAA). Coverage includes audio-video E/M visits (modifier 95), audio-only visits (modifier 93, with documented reason), virtual check-ins (98016), e-visits (99421–99423), RPM (99453–99458), and mental health telehealth from the patient’s home. Mental health telehealth requires a documented in-person visit within 6 months of initiation and annually thereafter.
    Modifier GT is a legacy telehealth modifier still required by approximately 19 state Medicaid programs in 2026. States currently requiring GT include Alabama, Arkansas, Florida, Georgia, Idaho, Kansas, Kentucky, Louisiana, Mississippi, Missouri, Montana, North Dakota, Oklahoma, South Carolina, South Dakota, Tennessee, Texas, West Virginia, and Wyoming. Using modifier 95 instead of GT on claims for these states will result in a denial. Use the Billing Code Checker above to verify the correct modifier for your state Medicaid program.
    Yes, but coverage varies significantly by payer. Medicare covers audio-only E/M with modifier 93 only when the patient lacks video capability or explicitly declines video, with the reason documented in the chart. Aetna commercial does not cover audio-only E/M at all. UHC requires telephone E/M codes 99441–99443 instead of 992XX codes with modifier 93. For state Medicaid, audio-only E/M coverage ranges from broadly covered (California, Washington, New York, Illinois) to mental health only (Texas, Florida, Louisiana) to not covered at all (Mississippi, Wyoming).
    Required telehealth documentation includes: (1) Patient verbal consent for telehealth documented in the medical record. (2) Provider’s city and state at time of service. (3) Patient’s city and state at time of service. (4) Name of the HIPAA-compliant platform used and confirmation of two-way audio-video for modifier 95 visits. (5) For modifier 93 visits, the specific reason video was not used. (6) Clinical documentation supporting medical necessity and the level of service billed. (7) For Medicare mental health telehealth, the date of the patient’s most recent in-person visit.
    A virtual check-in is a brief, patient-initiated communication billed using CPT code 98016 (which replaced G2012 effective January 1, 2025). The duration must be 5–10 minutes. The contact must be patient-initiated, for an established patient only, not related to a visit within the prior 7 days, and must not lead to an office or telehealth visit within the next 24 hours. No modifier is required. Both audio-video and audio-only virtual check-ins are covered under Medicare and most major commercial payers.
    RPM is a device-based service, not a telehealth visit. It involves a monitoring device transmitting physiologic data to the provider’s system. The provider periodically reviews and manages this data. RPM is billed with 99453 (initial setup), 99454 (device supply, per 30 days), 99457 (first 20 min of management), and 99458 (additional 20 min). RPM does not require a telehealth modifier (95, 93, or GT) and uses POS 11 (provider office). No audio or video connection with the patient is needed to bill RPM management codes.
    Sarah Callahan
    Healthcare Revenue Cycle Specialist — CureAdvantage
    Sarah Callahan is a healthcare revenue cycle specialist with extensive experience in medical billing, claim denial management, and payer policy analysis. At CureAdvantage, Sarah develops billing guides, tool documentation, and policy content to help physicians and practice managers navigate complex insurance billing environments. Her work focuses on translating dense CMS guidance and payer contract language into clear, actionable steps for independent providers. All content published under Sarah’s byline reflects current CMS guidance, CPT editorial updates, and active payer policies as of the stated publication date. Content is reviewed and updated on a rolling basis to reflect policy changes.