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The following is a guest article by Heather Randall, PhD, Chief Compliance Officer at TrustCommerce Regardless of whether the information is clinical, financial, or demographic, patients are increasingly worried about the possibility that their personal data could be compromised.
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Department of Health and Human Services (HHS) issued new Industry Segment-Specific Compliance Program Guidance For Nursing Facilities (Nursing Facility ICPG) for nursing home members of the health care compliance community. Medical Directors in Nursing Homes 42 CFR 483.70(g) 1395nn , is often referred to as the Stark Law. See 42 C.F.R.
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Department of Health and Human Services (“HHS”) issued new Industry Segment-Specific Compliance Program Guidance For Nursing Facilities (“Nursing Facility ICPG”) for nursing home members of the health care compliance community. On November 20, 2024, the Office of Inspector General (“OIG”) for the U.S.
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For more information on filing compliance cost reports, attend the Medicare Cost Report Camp in March 2022 presented by KraftCPAs and sponsored by the American Institute of Healthcare Compliance. LTCHs are paid under the Long-Term Care Hospital Prospective PaymentSystem (LTCH PPS).
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We recommend reading Leadership in a Value-Based Care (VBC) Environment in addition to this article. In 1983 Medicare shifted to the inpatient Prospective PaymentSystem (PPS) and DRGs (Diagnostic Related Groups) and only paying a limited number of days to the hospital regardless of the actual length of stay.
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CMS expects all providers to be in compliance with the requirements for PASARR with all admissions taking place after May 11, 2023. Hall Render blog posts and articles are intended for informational purposes only. The F-Tag associated with this regulation is F-884. The CMS Memo confirmed that this waiver will end at the end of the PHE.
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Hospitals and providers should also verify that their billing systems are not automatically assigning patient balances under circumstances that prohibit it under the No Surprises Act. Lean into the regulations to go above and beyond compliance. About Ogi C. Kwon, JD, MHA. References. anesthesia and radiology).
In June 2024, CMS released a memo that restated to state survey agencies that Plans of Correction are an element of the compliance review but are ultimately no more than an allegation of compliance and signal the providers readiness for revisit. SNF Prospective Payment FY 2025 and Expansion of Authority for Enforcement of CMPs.
The now-venerable Restatement (Second) of Torts §402A (1965), describes “products” as “chattels” or “articles.” The 2005 revisions to Article 2 excludes “information” from the definition of goods and also defines computer software as “information.” Digital files were not “articles,” which must be “material things.” at 1291-92.
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