Title: Debbie Troklus
1COMPLIANCE 101
- Debbie Troklus
- University of Louisville
- School of Medicine
- Greg Warner
- Mayo Clinic
2ExpectationsGoalsIssues
3Why Compliance Programs Are Essential
- Communicate Organizations Commitment
- Raise Awareness
- Mitigating Factor
- Avoid CIA
- Reduce Threat of Qui-Tams
4Compliance ProgramsHow Comprehensive Should They
Be?
- Medicare Billing Compliance
- Employment/Labor Law
- EMTALA
- Safety
- HIPAA
- Research
- Other Federal /or State Laws
5How to Prevent Qui Tam Suits
- Create an atmosphere that encourages compliance
- Set up a hotline
- Listen to employees
6A Compliance Program Provides
- Education
- Prevention
- Early Detection
- Collaboration
- Enforcement
7What Is a Compliance Program?
- Recommended by the Government
- Ethical and proper way to do business
- Commitment
- Encourage problems to be reported
- A process with constant monitoring
8Who Needs a Compliance Program?
- Physician Practices
- Hospitals
- Laboratories
- Teaching Institutions
- DME Distributors
- Home Health Agencies/ Hospices
- Others
9Organizational Steps to an Effective Compliance
Program
10Gain Support / Commitment
- Board
- Management
- Providers
- Staff
11Financial Support
- Development/Start-up
- Educational Materials
- Staffing
- Ongoing Operations
12Develop Code of Conduct
- Organizations ethical attitude
- Address weak areas
- Letter of endorsement
- Chain of command
13Identify Staffing Needs
- Appoint compliance officer
- Develop job descriptions for staff
- Supply vs. demand
- Oversight Committee
- Counsel
14Conduct Internal Assessment
- What is an assessment?
- Employee interviews
- Identify risk areas
- What is currently occurring?
- Who is responsible?
- What is the information flow?
- What are areas for concern?
15Develop Mission and Goals
- Achievable
- Measurable
- Communicate
16Plan Do Check Act
17Continuous Improvement
18Case Study (30 min)
- You are a new Compliance Officer and charged with
implementing a compliance program over the next
year. Develop a timeline for implementation
along with an organizational chart. - (Regional Health System 450 bed teaching
hospital, two physician practices located within
a 50 mile radius and one nursing home two blocks
from the hospital)
19Tailoring Your Compliance Program
203 Cs of Communication
21Evaluating for Success
- Annual review of written program
- Continual review of policies and procedures
- Are policies being followed
- Continual review
- Awareness
22Measuring Effectiveness
- Structure
- Process
- Outcome
23Organizational Fit
- Code of conduct
- Mission, vision and objectives
- Culture drives program
24Advancing Your Program
- A compliance program is never finished it
should always be a work in progress
25CHANGE
26Case Study (20 min)
- In 4 sentences provide the compliance mission
statement for Regional Health System along with
three achievable goals.
27Government Released Programs
- Laboratory Hospital
- Home Health DME
- Hospice Nursing Facilities
- Medicare Choice
- Physician Offices
- Third Party Billing
28Seven Essential Elements of a Compliance Plan
- Standards and Procedures
- Oversight
- Education and Training
- Monitoring and Auditing
- Reporting
- Enforcement and Discipline
- Response and Prevention
29Standards and Procedures
- Code of Conduct
- Keep It Simple
- Outline specific legal duty
- Attestation
30Oversight
- Compliance Officer
- Oversight Committee
- Other Committees
- Board
31Education and Training
- Communication Process
- Internal Vs. External
- Mandatory Vs. Voluntary
- Web Based Training
- Sanctions
32Monitoring and Auditing
- Program Effectiveness
- Internal Audits
- Compliance Reviews
- Outline Audit Procedures
- Staff Training
33 Reporting and Investigation
- Hotline
- Policies and Procedures
- No Retribution for Reporting
- Privacy and confidentiality
34Enforcement and Discipline
- Sanctions for non-compliant behavior
- Consistency
- Stand firm
- OIG sanctions reviews
35Discipline Case Study
- How to integrate
- Code violations
- Necessary detail
- Alternatives
36Response and Prevention
- Internal Investigation
- Is it really a problem?
- How serious is it?
- Are their enough facts to investigate?
- Contact Counsel
- Interview
- Create Policy
37Relative Importance of Factors for Improving
Ethical ConductArthur Anderson n2800
- Consistency of Policies and Actions .56
- Ethical Behavior Rewarded .54
- Executive Leadership .52
- Unethical Behavior Punished .45
- Open Discussion of Ethics .43
- Formal Reporting Mechanism .32
- Familiarity with Ethics Code .08
- When employees see that a company takes ethics
seriously, and policies are enforced, theyre
more likely to behave ethically - Success Magazine Jan 2000
38OIG Compliance Program Guidance
- Introduction
- Benefits of a Compliance program
- Application of Compliance Program Guidance
- Compliance Program Elements
- Seven Essential Elements
- Written Policies and Procedures
- Risk Areas
39Home Health and Hospice Guidance
40DME Guidance
41Third Party Billing OfficesMedicare Choice
42OIGs Physician Practice Guidance
43Debbie Troklusdctrok01_at_gwise.louisville.eduGreg
Warnergwarner_at_mayo.edu