The Office of Inspector General (“OIG”) recently released a report entitled Questionable Billing Patterns of Portable X-Ray Suppliers (“Report”) wherein it identified portable x-ray suppliers with billing patterns associated with inappropriate Medicare payments. As a result of its Report, the OIG made recommendations to the Centers for Medicare and Medicaid…
Articles Posted in Health Law
Professional Component MPPR Will NOT Apply to Group Practices at This Time
As we reported in previous blog entries regarding the 2012 Physician Fee Schedule, the Centers for Medicare and Medicaid Services (“CMS”) will be expanding its application of the Multiple Procedure Payment Reduction (“MPPR”) to the professional component (“PC”) of certain diagnostic imaging procedures. Currently, the MPPR only applies to the…
Moving Forward: HHS to Shift its Focus to Prescription Drug Fraud
In its fight against Medicare fraud, HHS announced that it “will direct all Medicare prescription drug plans to use every tool at their disposal to prevent fraud.” HHS noted the increasing problem of doctor shopping, the abuse of OxyContin and Percocet, and prescription drug fraud. Importantly, HHS announced that it…
OIG Posts HEAT Healthcare Provider Compliance Videos and Audio Podcasts
The Office of Inspector General (“OIG”) has posted its Health Care Fraud Prevention and Enforcement Action Team (“HEAT”) compliance training resources on its website wherein it provides videos and audio podcasts regarding a number of topics, including: An overview of the OIG Overviews of the healthcare fraud and abuse laws;…
Over $2.9 Billion Recovered in Healthcare Fraud in 2011
In a December 13, 2011 press release, the Department of Health and Human Services (“HHS”) announced that the Department of Justice (“DOJ”) has recovered over $5.6 billion in total fraud in 2011, an increase of over 167% since 2008. Of this $5.6 billion recovered in 2011, over $2.9 billion (over…
OIG Views Favorably Online Service Facilitating the Exchange of Information Between Healthcare Practitioners, Providers and Suppliers
On December 7, 2011, the Office of Inspector General (“OIG”) posted a favorable Advisory Opinion 11-18 pertaining to Requestor’s online service that would facilitate the exchange of information between healthcare practitioners, providers and suppliers (“Proposed Arrangement”). Requestor, a publicly traded company, currently provides web-based services that help physicians “achieve faster…
CMS’ Beginner’s Guide to the Medicare EHR Incentive Program for Eligible Professionals Released
The Medicare and Medicaid Electronic Health Record (“EHR”) Programs incentivize the meaningful use of certified EHR technology to achieve health and efficiency goals. Eligible professionals and hospitals that meet certain requirements using certified EHR technology (i.e., satisfy certain “meaningful use” criteria) will be eligible for incentive payments of up to…
CMS Reinstates Previous Rule Regarding Signatures on Requisitions: No Signature Required
In the November 28, 2011 Federal Register, the Centers for Medicare and Medicaid Services (“CMS”) retracted its requirement that physicians or non-physician practitioners (“NPPs”) sign requisitions for clinical laboratory tests paid under the Clinical Laboratory Fee Schedule (“CLFS”). When it was first enacted ten years ago, in 2001, CMS revised…
RAC Part A/B Rebilling Demonstration Call Held
Today, CMS held its Open Door Forum related to the CMS A/B Rebilling Demonstration. General information related to the CMS call is available at http://go.cms.gov/cert-demos. This website includes a Frequently Asked Question document, slides related to the call, and the enrollment application. CMS outlines the process for the rebilling demonstration…
OIG Does Not View Favorably Proposed Arrangement of a Laboratory Management Company Providing Services in PCP Offices
In Advisory Opinion 11-17, the Office of Inspector General (“OIG”) reviewed an arrangement in which a laboratory services management company (“Requestor”) “proposes to provide allergy testing and immunotherapy laboratory services and related items to primary care physicians and physician practices (“Physicians”) within the Physicians’ medical offices. Specifically, Requestor would enter…