Regulatory Control of Providers Financial Relationships Civil False Claims The Act.

Slides:



Advertisements
Similar presentations
Physicians Regulatory Insurance Program Presenter: Jay Lynch President Presenter: Jay Lynch President.
Advertisements

The Deficit Reduction Act, Deficit Reduction Act of 2005 In the Deficit Reduction Act of 2005 (DRA) Congress, for the first time, has mandated healthcare.
Our Goals Today To help you feel comfortable with asking questions.
What Every Physician Needs To Know About Fraud And Abuse Laws (But Is Afraid To Ask) Steven H. Cohen Cohen Law Group an affiliate of the Whistleblower.
© 2009 Cengage Learning. All Rights Reserved. Healthcare Fraud and Abuse.
 - Group Project  Class work 35min  - HC Youtube  - Practice Test  - Hospital Privileges  - Stark versus Antikickback  - Break-Even Analysis.
2011 FRAUD & ABUSE UPDATE John Hellow Hooper, Lundy & Bookman, PC All views expressed in the seminar materials and.
Sales & Marketing Compliance Training
Medicare Parts C and D Fraud, Waste, and Abuse Compliance Training
1 FRAUD AND ABUSE FUNDAMENTALS By Lori Nomura May 3, 2006 Association of Washington Public Hospital Districts Retreat for CEOs and Administrators “Leading.
Lori K. Nomura | AWPHD Administrator’s Only Retreat Trends in Hospital/Physician Relations and Corporate Compliance May 22-24,
2005 FPMP Compliance Training: Physician/Hospital Financial Arrangements Presented by: Brigid M. Maloney, Esq. Brigid M. Maloney, Esq. U.B. Associates.
Aligning Physician Compensation with Growth Strategies and Governmental Regulations Mid-Atlantic Physician Recruiter Alliance Annual Educational Conference.
Chapter 10 White-Collar and Organized Crime. Introduction ► White-collar crimes – criminal offenses committed by people in upper socioeconomic strata.
Pediatric Grand Rounds: Case Studies in Stark July 21, 2006 Presented by: Brigid M. Maloney, Esq. U.B. Associates, Inc.
SUNY Buffalo School of Medicine & Biomedical Sciences Graduate Medical Education Resident Compliance Training Brigid M. Maloney, J.D Compliance Officer.
Maryland State Bar Association Health Law Section Understanding Medicare Billing Issues: Anti-Markup Rules, Independent Diagnostic Testing Facility Rules,
Fraud, Waste & Abuse DEFICIT REDUCTION ACT OF 2005 Presented by: MARCH Vision Care, 2013.
FRAUD, WASTE & ABUSE TRAINING
15th Annual Cardiovascular & Medicine Symposium 15th Annual Cardiovascular & Medicine Symposium St. Augustine, Florida – May 15, 2014 Rick M. Reznicsek,
DIVISION OF HEALTH SCIENCES OFFICE OF INSTITUTIONAL INTEGRITY Protecting Yourself and Your Practice.
Healthcare Referral Sources Legal Issues & Policy Recommendations Health Care Compliance Association Compliance Institute Anne M. Haule New Orleans, Louisiana.
Program Integrity. The Cost of Fraud, Waste, and Abuse Between July 2012 and January 2013, the North Carolina Division of Medical Assistance collected.
Violations of the False Claims Act and The Importance of a Timely and Proper Response to Whistleblower Allegations Thomas J. Finn Paula Cruz Cedillo.
© 2009 The McGraw-Hill Companies, Inc. All rights reserved. 1 McGraw-Hill Chapter 5 HIPAA Enforcement HIPAA for Allied Health Careers.
Copyright © 2008 Delmar Learning. All rights reserved. Chapter 5 Legal and Regulatory Issues.
Medicare Advantage & Part D Compliance Training 2009.
Copyright© 2011 WeComply, Inc. All rights reserved. 9/6/2015 Whistleblowing.
THE BRODY SCHOOL OF MEDICINE NEW EMPLOYEE ORIENTATION COMMITMENT TO COMPLIANCE: INTRODUCTION TO THE BSOM COMPLIANCE PROGRAM Joan A. Kavuru, JD, RN Director.
© 2010 Cengage Learning. All Rights Reserved. May not be scanned, copied or duplicated, or posted to a publicly accessible website, in whole or in part.
Presented by Claudia Schlosberg, Partner Blank Rome, LLP 600 New Hampshire Avenue, N.W. Washington, D.C
Restrictions on Referrals v Federal law prohibits referrals among providers that have tainted financial relationships v Any arrangement that confers an.
Overview of Health Care Legal Issues Bruce D. Armon, Esq., Partner Business Department Saul Ewing LLP Telephone: , ext
Legal Issues in Hospital- Hospice (and Other) Partnerships Brooke Bumpers, Esq. Hogan & Hartson, LLP Washington, D.C. October 12, 2002.
Copyright © 2005 Thomson Delmar Learning. ALL RIGHTS RESERVED.1 This product was funded by a grant awarded under the President’s Community-Based Job Training.
COMPLIANCE PROGRAM. Agenda  Initial Scenarios  Review of General Compliance Information  Review UCP’s Compliance Program  Questions and Discussion.
Blue Cross of Idaho Medicare Advantage Provider Fraud, Waste and Abuse Training Fall 2009.
Son of Stark III -Is it soup yet? Presentation to CBA Healthcare Section “Brown Bag” Series By Jody Kepler Son of Stark III -Is it soup yet?
Fraud and Abuse in Dentistry. Definition Fraud is the intentional perversion of truth in order to induce another to part with something of value, or surrender.
STARK II PHASE II AWPHD BOARD RETREAT AUGUST 12, 2004 By Lori K. Nomura.
RISK MANAGEMENT IN THE TREATMENT OF OPIOID DEPENDENCE Presented by: Barbara A. M. Maloney, Esq.
1 VIEW ON FRAUD AND ABUSE David E. Matyas Epstein Becker & Green Washington, DC.
Negotiating Fraud Settlements Pharma Compliance Congress Philadelphia, PA November 14, 2002 Stuart S. Kurlander, Partner Latham & Watkins Washington, D.C.
Welcome General Compliance Training.  To inform you who to contact to ask questions  To let you know that you are responsible to disclose  To share.
Flowers Hospital General Compliance Training-Students 2013.
STARK II PHASE II NORTHWEST HOSPITAL COUNCIL SEPTEMBER 17, 2004 By Bradley J. Berg.
GSBlaw.com 1 Don’t Forget to Follow the MONEY: Stark and Anti-Kickback Analysis for Healthcare Transactions SANDRA T. JOHNSON, ESQ.
Best Practices in Navigating Emerging ASC Legal Challenges Carol K. Lucas, Esq
 Primary enforcement laws:  False Claims Act  Physician Self-Referral Law (Stark)  Anti-Kickback Statute  Civil Monetary Penalty Law  Exclusion.
Stay Out of Jail: Managing Your Risk Georgia Association for Healthcare Facility Managers 2016 Annual Conference Thursday, June 9, 2016 Richard D. Sanders.
© 2016 McGraw-Hill Education. All rights reserved. Ch 8 Privacy, Security and Fraud.
Ann Williams Investigator Eastern District of Texas.
Compliance and Enforcement Roundtable Discussion
General Compliance Training
Thomas J. Finn Paula Cruz Cedillo
RISK MANAGEMENT IN THE TREATMENT OF OPIOID DEPENDENCE
FRAUD, WASTE, & ABUSE (FWA) 2012
REGULATORY CONCERNS IN TRANSITIONAL CARE
Stark Exceptions The Stark exceptions are mandatory. That is, if an arrangement falls within the scope of Stark and an exception does not apply – the.
FCA Enforcement: United States Department of Justice
Compliance Program 2018.
Training Objectives What is the Signature Partners MSSP ACO?
Medical Device Industry Update Overview of the Stark Laws
Tread carefully when using Stark voluntary disclosure protocol
Northern Michigan Regional Entity Region 2
Division of Health Sciences Office of Institutional Integrity
COMPLIANCE PROGRAM.
Brussels, June 6, 2007 Paul E. Kalb, M.D., J.D.
"AVOIDING MEDICARE AND MEDICAID FRAUD AND ABUSE"
Annual Compliance Training
Presentation transcript:

Regulatory Control of Providers Financial Relationships Civil False Claims The Act

Civil liability may occur when a person or corporation Knowingly presents or causes to be presented a false or fraudulent claim for payment to the United States. Knowingly uses a false record or statement to obtain payment on a false or fraudulent claim paid by the United States. Engages in a conspiracy to defraud the United States to obtain allowance for payment of a false or fraudulent claim

What constitutes “knowing” or “knowingly” Having actual knowledge of the falsity of a claim Acting in deliberate ignorance of the truth or falsity of the claim. Acting in reckless disregard of the truth or falsity of the claim. Specific intent to defraud is not required.

Monetary Penalties $5,000 to $10,000 civil monetary penalties, per claim. Treble damages, i.e. three times actual improper payments collected by a provider. A claim is each HCFA 1500 from submitted, not each CPT Code contained on the form. Permissive exclusion from Medicare/Medicaid programs.

Statute of Limitations Six year of statute of limitations Prosecutors often insist on voluntary waiver of the statute of limitations by the provider as a condition of negotiating settlement of a claim.

Regulation of Providers Financial Relationships Civil False Claims Qui Tam or Whistleblower Actions

General Criteria Cases are initiated by a private individual who brings the claim against a provider to the attention of the federal government. The claim or issue must not have been previously disclosed to the public. The Department of Justice has 60 days to investigate or obtain additional.

Quit Tam Actions -- Continued If after investigation, the Department of Justice declines to pursue the claim, the individual whistleblower may do so. The whistleblower may receive from 25 to 30 percent of any recovery if the government does not intervene, 15 to 25 percent if the government does intervene.

Regulation of Providers’ Financial Relations Civil False Claims Enforcement Actions

National Investigations and Initiatives The physician at Teaching Hospitals Audit Program (PATH) DRG Payment Window Recovery Initiative (72 Hour Window Project) Lab Unbundling Project national Discharge/Transfer Claims Recovery Program. Pneumonia Upcoding

National Investigations and Initiatives The physician at Teaching Hospitals Audit Program (PATH) DRG Payment Window Recovery Initiative (72 Hour Window Project) Lab Unbundling Project national Discharge/Transfer Claims Recovery Program. Pneumonia Upcoding

Regulation of Providers’ Financial Relations Medicare/Medicaid Fraud and Abuse The Safe Harbors

Regulation of Providers’ Financial Relations Medicare/Medicaid Fraud and Abuse Civil Money Penalties

Civil Money Penalties Law A civil statute that parallels the antikickback statute, but is more expansive. It prohibits and imposes civil penalties on: –Various types of improperly filed claims –Payments for inducing reduction or limitation of services –The criminal conduct also punished as crimes. Simple negligence standard of proof rather than criminal intent required.

Civil Monetary Penalties Penalties –Fines up to $50,000 –Repayment of up to three times the amount of improper reimbursement paid by the government Exclusion from federal health programs –May be mandatory or permissive, depending on a number of factors

The Stark Law Prohibitions Against Physician Self- Referral

Overview Stark I --The statute generally prohibits a physician form referring Medicare patients to a clinical laboratory in which that physician or a member of that physician’s immediate family has a financial relationship. In addition, the clinical laboratory may not file a Medicare claim for services rendered at the laboratory. Stark II -- Expanded the Stark I referral prohibition to include other designated health services and broadens the self-referral prohibition to Medicaid services.

Designated Health Services Clinical laboratory services Occupational therapy services Radiation therapy services Parenteral and enteral nutrients, equipment and supplies Prosthetics, orthotics and prosthetics devices

Designated Health Services -- Continued Physician therapy services Radiology services Durable medical equipment Outpatient prescription services Home health services Inpatient/outpatient hospital services

Financial Relationship An ownership or investment interest in the entity to which the referrals may be made -- this includes ownership through debt, equity, or similar means. Also includes an interest in an entity that holds an ownership or investment interest in any entity providing the designated health service to which a referral may be made.

Financial Relationship -- Continued A compensation arrangement between the physician (or immediate family member) and the entity is any arrangement involving remuneration between a physician (or immediate family member) and an entity. Remuneration is defined as anything of value, with certain technical exceptions.

General Exceptions to Both Ownership and Compensation Arrangement Prohibitions Ownership in publicly traded securities and mutual funds. Ownership interests in hospitals in Puerto Rico and in rural areas -- The rural area exception requires that substantially all of the services be provided to residents of the rural area.

Exceptions Related to Compensation Arrangements Rental of office space and equipment Bone fide employment Personal services arrangement Physician incentive plan Physician recruitment Group practice arrangements with a hospital Physician payments

Reporting Requirements The Stark Law requires providers to disclose the names and unique physician identification number of physicians who have financial relationships with the entity or family member with such relationships. The reporting requirements may not be implemented until HCFA develops and issues a form and instruction booklet addressing the reporting requirements. The form has not been created in the over half- decade since the law was enacted.