Remove category corporate-compliance
article thumbnail

How HHS-OIG, Regulators Enforce Vendor Compliance

Provider Trust

What the HHS-OIG says about vendor compliance. If the answer is yes, then the best mechanism for limiting CMP liability is to screen all persons that perform under that contract or that are in that job category. 515,400) World Class Technology Corporation ($43,200) HyperBranch Medical Technology, Inc. Case Study: Joseph C.

article thumbnail

Complexities of Covered Entities and Business Associates 

YouCompli

This article considers the government’s increasing interest in patient rights in relationship to covered entities or business associates and what proactive compliance officers can do to fulfill those obligations through effective monitoring. Definitions and policies from the covered entities vary. The variables are in the details.

Insiders

Sign Up for our Newsletter

This site is protected by reCAPTCHA and the Google Privacy Policy and Terms of Service apply.

article thumbnail

Skilled Nursing Transactions Update: CMS Enhances Scrutiny of Changes of Ownership for Skilled Nursing Facilities

Hall Render

Skilled Nursing Facility Change in Ownership Screening Category Change. SNFs are currently in the “limited-risk” screening category under 42 CFR § 424.518. SNFs that are initially enrolling or undergoing a change in ownership fall within the “high” screening category under 42 CFR § 424.518. New Definitions.

Nurses 40
article thumbnail

The Cobra Effect & Enforcing Compliance Standards

AIHC

Lessons Learned about Consequences & Incentives Submitted by the AIHC Education Department Introduction The Office of Inspector General has released the new General Compliance Program Guidance or “GCPG” in late 2023. This plan, whatever it was set up the perverse incentives by not looking at critical elements to ensure compliance.

article thumbnail

The Cobra Effect & Enforcing Compliance Standards

AIHC

Lessons Learned about Consequences & Incentives Submitted by the AIHC Education Department Introduction The Office of Inspector General has released the new General Compliance Program Guidance or “GCPG” in late 2023. This plan, whatever it was set up the perverse incentives by not looking at critical elements to ensure compliance.

article thumbnail

Deadline for Physicians, Advance Practice Providers and Teaching Hospitals to Review Sunshine Act Data Approaching

Hall Render

in those corporations during the preceding year. This year, however, changes made in 2018 expanding the definition of “Covered Recipient” have gone into effect. New Natures of Payment Categories. CMS has identified 78 different categories, referred to as “natures of payment,” into which reportable transfers of value may fall.

article thumbnail

A quick regulatory guide to telehealth services in Japan

Healthcare IT News - Telehealth

Under this definition, a software to be used for the following purposes is excluded from SaMD: patient education; in-hospital operating support or maintenance; or personal health or exercise check and management by patients/users. engaging a qualified general compliance manager for marketing).

Licensing 157