Title: Annual Compliance Training
1Annual Compliance Training
- Sweden De Matas
- Federal Compliance Officer
- Mental Health Division
- Updated November 2006
2Please read before proceeding!
- The following training is mandatory and required
by all staff. - Once completed, please print the test and
certificate. - Fill in the required information and send to
Linda Waite at Mail Stop 45320. - Keep a copy for your files.
3Why do we need a Compliance Program?
- The Health Insurance Portability and
Accountability Act of 1996 gave the Department of
Health and Human Services (DHHS) Office of
Inspector General (OIG) and the U.S. Department
of Justice more investigational funding and
authority to increase penalties for health care
fraud. - Using these and other enforcement tools the
government continues to investigate health care
institutions across the country searching for
violations of the False Claims Act and other
Federal laws - Example 2001 - 1.2 billion was recovered by the
government as a result of cases pursued under the
federal False Claims Act.
4What does a Compliance program do?
- Proactive practice that prevents fraudulent
activities - Protects from liability by assessing the
organizations ability to operate within the
rules, regulations and policies set by the
government, insurance programs and payers. - Facilities that are found guilty of violating
federal criminal laws and have a compliance
program may have reduced penalties of up to 70. - Compliance monitors both fiscal and quality of
care issues.
5Elements of a Compliance Program
- Established compliance standards and procedures
- Designation of a compliance officer and committee
- Effective communication
- Education and Training
- Auditing and Monitoring
- Consistent enforcement of standards
- Appropriate response to detected offenses
6Who is policing compliance?
- Department of Health and Human Services (DHHS) -
OIG - US Dept of Justice
- Federal Bureau of Investigation (FBI)
- Centers for Medicare and Medicaid Services (CMS)
- State Medicaid Fraud Units
- Office of Civil Rights
7Why should you care about compliance?
- Compliance affects every member of the
organization. - Compliance helps to increase confidence and
communication. - Provides a mechanism for informed decisions.
8 9Fraud
- A deception deliberately practiced in order to
secure unfair or unlawful gain. - Knowingly and willfully executing or attempting
to execute a scheme to defraud any health care
benefit program or to obtain by means of false or
fraudulent pretenses, representation or promises
any of the money or property owned by or under
the custody of any health care benefit program.
10Abuse
- to use wrongly or improperly
- may result, directly or indirectly, in
unnecessary costs to programs, or - improper payment for services that fail to meet
professionally recognized standards of care - services are medically unnecessary
- involves payment for items or services when there
is no legal entitlement to that payment and the
provider has not knowingly or intentionally
misrepresented facts to obtain payment.
11- Medicare Medicaid Overview
12Medicaid
- Originated in 1965
- Provides healthcare coverage and services for low
income and financially needy people - Administered by states
- Jointly funded by both the federal and state
government - Program benefits and eligibility are defined by
the state - The Medicaid Fraud Control Unit (MFCU)
investigates fraud and abuse issues
13Medicare
- Established in 1965 (Title XVIII of the SSA)
- Federally funded health insurance program for
senior citizens age 65 and older as well as
persons who have a long term disability or end
stage renal disease - Consists of 4 parts
- Part A institutional providers including
inpatient care - Part B services provided by suppliers
- Part C Managed care services that include Parts
A B and also wellness and preventative health
programs - Part D Prescription drug benefit
14Administration Oversight
- Within the Department of Health and Human
Services (HHS), the Center for Medicare
Medicaid Services (CMS) provides operational
direction as well as policy oversight - The Office of the Inspector General (OIG) also
within HHS is charged with investigations of
suspected fraud and abuse.
15- The Deficit Reduction Act (DRA)
16The Deficit Reduction Act (DRA)
- Initiated in 2005
- Affects any employer who receives gt5 million per
year in Medicaid payments - Requires employers to provide information on
- The Federal False Claims Act
- Any Applicable State False Claims Act
- Whistleblower Rights Protection
- Fraud Abuse Policies
17The Federal False Claims Act
- Liability under this act pertains to anyone who
knowingly presents or causes to be presented a
false statement or fraudulent claim for payment - The act does not require proof of a specific
intent to defraud the government - Penalties
- Criminal prosecution
- Exclusion
- Civil penalties of not less than 5,000 and not
more than 11,000 per false claim, plus damages.
18Qui Tam Whistleblower
- Allows a person with actual knowledge of
allegedly false claims to come forward to file a
lawsuit on behalf of the U.S. government - In 2004-2005, 1.1 billion was recovered through
lawsuits initiated by whistleblowers - Affords the person confidentiality and a
financial award if the suit is successful - No retaliation which can include employment
reinstatement, back pay, etc.
19Federal Anti-kickback Statute
- The Social Security Act prohibits the offer,
payment, solicitation, or receipt of any form of
remuneration in return for the referral of
Medicare or Medicaid patients. - Violation is considered a felony, punishable by
fines up to 25,000.00 per violation, plus
imprisonment for up to five years.
20The Physician Self-Referral Law (Stark II)
- Prohibits physicians from making certain Medicare
referrals to entities with which the physician or
his family has a financial relationship. - Sanctions include denial of payment, refund of
payment, civil monetary penalties and exclusion
from Medicare and Medicaid.
21Civil Monetary Penalties Act
- Pertains to providers who knew or had reason to
know that an item or service was not provided as
claimed. - May result in civil monetary penalties of up to
11,000.00 and exclusion.
22Applicable Policies and Rules
- Administrative Policy 8.02 (Client Abuse
Reporting) - Administrative Policy 9.01 (Incident Reporting)
- Administrative Policy 18.61 (Employee Grievance)
- Administrative Policy 18.62 (Allegations of
Employee criminal activity) - Administrative Policy 18.66 ( Discrimination
Harassment Prevention) - Administrative Policy 19.64 (Standards of Ethical
Conduct) - RCW 42.40 (Whistleblower)
- MHD Policy 4.11 (Exclusion)
- MHD Policy 4.08 (Reporting of Fraud Abuse)
23Examples of Healthcare Fraud
- Billing for services not provided
- Falsifying medical necessity
- Unbundling services
- Falsifying treatment plans or medical records
- Failing to report overpayments
- Duplicate billing
- Providing incentives to providers for referrals
- Billing for services provided by unlicensed
individuals
24- Want to provide information but having second
thoughts?
25Anonymous Hotline
- (888) 713-6010 or (360) 902-0885
- The Compliance Hotline is a simple, risk free way
for you to report activities that may involve
violations of the Code of Ethic Conduct or even
Criminal Conduct. - The Hotline is a set of two telephone numbers
established under the Compliance Program.
Callers to the hotline can seek advice about
their own situations and can report suspected
violations by others. - You can report violations of billing
irregularities, coding that misrepresents
services rendered, theft or embezzlement,
conflicts of interest, self-referrals or
kickbacks and any other conduct that may be a
violation of law or ethics. - You do not have to provide your name!
26Other Reporting Avenues
27(No Transcript)
28 29Get Involved!
- Learn how your job is critical to DSHS/MHD
compliance efforts - Double-check policies, ask questions
- Know the DSHS code of conduct
- It is better to ask questions, than leave things
unresolved
30Have a Positive Outlook!
- Regard auditing and monitoring as opportunities
for improvement. - If an audit turns up a weakness, pro-actively
examine how to improve it in the future. - When new policies or procedures are posted, take
the time to study them and incorporate them into
your job. - If you are confused - ask questions.
- Be flexible and know that changes are bound to
occur.
31 Contact Information
- Department of Social and Health Services
- Mental Health Division
- Sweden De Matas,
- Federal Compliance Officer
- P.O. Box 45320
- Olympia, WA 98504-5320
-
- Phone (360) 902-0885
- Phone (888) 713-6010
-
- Fax (360) 902-0809
- Resource www.cms.hhs.gov/MLNGenInfo/
32Last Step
- Thank you for completing this training and DONT
FORGET to print the test and certificate.
Complete the test, sign and date the certificate
then send to the Compliance Officer at Mail Stop
45320.
33Name __________________________________________I
nstructions Match the element with the
definition.
34Department of Social and Health Services Mental
Health Division
___________________________________ Print
Name ___________________________________ Sign
Name _____/_____/____ Date Training Completed
Compliance Training
P.O. Box 45320 Olympia, WA 98504-5320 Phone
(360) 902-0885 Fax (360) 902-0809
Sweden De Matas, Federal Compliance Officer
Nov 06 to Nov 07