Director, Revenue Cycle Management

MedvidiSan Jose, CA
Remote

About The Position

At MEDvidi, we are transforming access to mental healthcare across the United States. Our telehealth platform connects patients with licensed medical providers in over 30 states, delivering high-quality care for ADHD, anxiety, depression, insomnia, and related conditions. The Director of Revenue Cycle Management will design, build, and operationalize MEDvidi's end-to-end commercial insurance revenue cycle, beginning with Florida and California in 2026 and expanding to additional states thereafter. This role owns every stage of the revenue cycle from eligibility verification through payment posting, denial management, and payer performance reporting. This is a role for someone who has built the revenue cycle from the ground up in a behavioral health telehealth environment, and has the hands-on technical depth.

Requirements

  • Minimum seven years of progressive revenue cycle experience in a behavioral health, psychiatric, or substance use disorder practice or health system environment, this is a non-negotiable requirement
  • Demonstrated experience building or significantly rebuilding a revenue cycle operation from early-stage infrastructure, not solely managing an inherited program
  • Deep working knowledge of behavioral health CPT coding, including psychiatric evaluation codes, medication management E/M codes, and psychotherapy add-on codes
  • Hands-on experience with commercial payer credentialing and enrollment in a multi-provider, multi-state environment
  • Practical familiarity with MHPAEA requirements and the application of parity arguments in payer appeals
  • Working knowledge of telehealth billing regulations, including place-of-service requirements and interstate licensure considerations for telehealth claims
  • Experience selecting and implementing practice management, billing, and clearinghouse platforms in a behavioral health setting
  • Strong proficiency in denial management, root-cause analysis, and appeals processes specific to behavioral health payer denials
  • Demonstrated ability to develop provider documentation standards that support coding accuracy and audit defensibility
  • Strong working knowledge of HIPAA Privacy and Security Rule requirements as applied to billing and revenue cycle operations
  • U.S.-based with a dedicated, HIPAA-appropriate remote workspace

Nice To Haves

  • Experience in a multi-state telehealth or digital health practice environment
  • Familiarity with 42 CFR Part 2 and its application to billing and records workflows for substance use disorder treatment
  • Experience with credentialing platforms such as Medallion, Verifiable, or equivalent
  • CPC, CCS, or CPMA certification from AAPC or AHIMA
  • Background in healthcare finance, including US GAAP as applied to revenue recognition and AR management
  • Experience working in a clinically integrated model alongside a CMO or physician leadership team

Responsibilities

  • Design and implement end-to-end RCM workflows for a multi-state behavioral health telehealth practice, starting with commercial payer launch in Florida and California
  • Select, configure, and own the practice management and billing platform, including integration with the organization's EHR and CRM
  • Establish clearinghouse relationships, claims submission workflows, and electronic remittance and ERA posting processes
  • Develop and maintain the denial management taxonomy, root-cause analysis workflow, and resubmission processes by payer
  • Build cash flow forecasting models for the insurance ramp, including DSO assumptions by payer, denial rate benchmarks, and receivables aging
  • Own payer credentialing and enrollment for all providers across target commercial payers in each state, using a credentialing platform such as Medallion or equivalent
  • Establish and maintain CAQH profiles for all providers and ensure 90-day attestation cadence is met without lapse
  • Manage supervising physician co-credentialing in supervision states, coordinating with the CMO to ensure coverage is in place before claims are submitted
  • Track credentialing status, re-credentialing cycles, and payer contract effective dates in a system of record, distinguishing credentialing from contracting as separate workflows
  • Ensure accurate and defensible use of behavioral health CPT codes: psychiatric evaluation codes (90791, 90792), E/M codes for medication management (99213 through 99215), and add-on psychotherapy codes (90833, 90836, 90838) per AMA guidelines and payer-specific billing rules
  • Develop and enforce provider documentation standards supporting submitted codes, including DSM-criterion documentation, validated screening tools (PHQ-9, GAD-7), and telehealth-specific encounter requirements
  • Oversee certified coder pre-submission review of all claims, ensuring E/M level accuracy and appropriate ICD-10-CM diagnosis coding
  • Monitor OIG Work Plan priorities for behavioral health and telehealth and adjust internal audit protocols accordingly
  • Understand and apply MHPAEA (29 CFR Part 2590.712) requirements when appealing disproportionate payer denials or prior authorization practices
  • Conduct state-level payer analysis identifying the top commercial payers by covered lives and align target payer selection with the organization's insurance launch strategy
  • Lead payer contracting conversations in collaboration with the CMO and General Counsel, tracking negotiated rates, contract terms, and effective dates
  • Develop and maintain a payer performance dashboard tracking denial rates, DSO, reimbursement rates, and appeals outcomes by payer
  • Monitor telehealth billing rules by state and payer, including place-of-service code requirements (POS 02, POS 10) and originating site rules
  • Define staffing requirements for the RCM function and lead hiring of billing specialist, medical coder, and coding auditor as volume warrants
  • Establish performance standards, workflow accountability, and quality review cadence for direct reports
  • Serve as the organization's behavioral health revenue cycle subject matter expert, educating providers and clinical leadership on documentation requirements, coding expectations, and payer-specific rules
  • Maintain audit-ready credentialing files and claim documentation that can withstand payer, state, or federal review
  • Monitor and apply HIPAA (45 CFR Parts 160 and 164), CMS telehealth billing guidance, and, where applicable, 42 CFR Part 2 for substance use disorder patient records
  • Coordinate with General Counsel on payer audit responses, RAC audit preparation, and any compliance investigations involving billing or coding practices
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