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This article provides an in-depth overview of the key compliance risk areas and recommendations outlined in the ICPG, emphasizing the importance of a proactive approach to compliance and quality assurance.
The following is a guest article by Tom Magnotta, COO & President at Apixio Albert Einstein famously said , “Whoever is careless with the truth in small matters cannot be trusted with important matters.” This reactive model leads to only ~70% of identified overpayments being recovered and/or corrected.
This is why Medicare publishes its rules on their Inpatient Prospective PaymentSystem (IPPS) or its Outpatient Prospective PaymentSystem (OPPS). However, there are certain circumstances when Medicare, for example, will reimburse additional amounts beyond the prospective payment rate.
The Nursing Facility ICPG provides that, even if an entity makes an isolated billing error, the entity still has an obligation to repay the overpayment to the government to avoid False Claims Act liability, as explained in the GCPG. Hall Render blog posts and articles are intended for informational purposes only.
On Friday, June 17, 2022, the Centers for Medicare & Medicaid Services (“CMS”) posted a pre-publication copy of the Calendar Year (“CY”) 2023 Home Health Prospective PaymentSystem Rate Update (“PPS Rule”). CMS states a temporary adjustment is necessary to offset this overpayment. That file may be accessed here.
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