Telemedicine Fraud and Abuse Under the Microscope

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Telemedicine Fraud and Abuse Under the Microscope Session 232, February 14, 2019 Douglas Grimm, Esq., Arent Fox LLP Hillary Stemple, Esq., Arent Fox LLP 1

Conflicts of Interest Douglas Grimm, Esq. Has no real or apparent conflicts of interest to report. Hillary Stemple, Esq. Has no real or apparent conflicts of interest to report. 2

Agenda Fraud and Abuse Rules of the Road Implications for: Direct to Consumer (i.e., cash pay) Commercial Payers Federal Payers (e.g., Medicare, Medicaid, Tricare) Recent Enforcement Trends and Actions 3

Learning Objectives Identify federal and state laws that pose regulatory risk to telehealth arrangements Discuss telehealth arrangements that could implicate federal and state fraud and abuse laws Analyze OIG guidance regarding telehealth arrangements and implications for other telehealth providers Analyze how telehealth arrangements can comply with federal and state laws and the risks associated with non-compliance Assess current enforcement trends and what telehealth providers should take from these trends 4

Rules of the Road An overview of the fraud and abuse rules governing telemedicine 5

Federal Laws Stark Law (42 U.S.C. 1395nn) Prohibits a physician from referring Medicare or Medicaid patients for designated health services ( DHS ) to an entity with which the physician (or immediate family member) has a financial relationship, unless an exception applies Prohibits the entity from submitting claims to Medicare or Medicaid for services resulting from a prohibited referral Strict liability statute must meet all elements of an exception or the statute has been violated 6

Federal Laws Stark Law Civil Liability (not criminal) Potential Penalties Overpayment/refund obligation False Claims Act liability Civil Monetary Penalties Exclusion Government interpretation of the law is evolving HHS vs. DOJ 7

Federal Laws Stark Law Physician (or immediate family member) Financial relationship DHS entity Referrals by physician for Medicare or Medicaid services Strict liability 8

Federal Laws Stark Law Different exceptions for ownership and/or compensation arrangements; common exceptions for telemedicine include: Employment relationships Personal services arrangements Space and equipment leasing arrangements Fair market value ( FMV ) compensation arrangements In-office ancillary services Indirect compensation arrangements Electronic prescribing and electronic health records items and services 9

Federal Laws Stark Law Exceptions generally require: Signed, written agreement Commercially reasonable, FMV compensation Compensation does not reflect the volume/value of referrals 10

Federal Laws Stark Law Example of arrangement implicating the Stark law: Hospital engages a physician (or physician group) to provide on-call telestroke services Arrangement includes compensation for physician s services and equipment to facilitate the telestroke assessment Any referrals by physician to the hospital for DHS implicate the Stark law (whether or not related to telestroke services) HIPAA-secure transmission? Encryption? 11

Federal Laws Anti-Kickback Statute (42 U.S.C. 1320a-7b(b)) Prohibits the knowing and willful offer or payment of or the solicitation or receipt of "remuneration" to induce or reward patient referrals or the generation of business involving any item or service payable by the Federal health care programs (e.g., drugs, supplies, or health care services for Medicare or Medicaid patients) 12

Federal Laws Anti-Kickback Statute Criminal law Applies to payers and recipients of kickbacks Each party's intent is a key element of their liability under the AKS only one purpose needs to be to induce the purchase of a product or service or to reward referrals Certain safe harbor protections (42 C.F.R. 1001.952) Penalties include criminal (jail) and civil (monetary) penalties, and FCA liability 13

Federal Laws Anti-Kickback Statute Elements of an AKS violation Remuneration Offered, paid, solicited, received To induce or reward referrals of Federal health care programs Medicare, Medicaid, and TRICARE Knowingly and willfully One-Purpose test 14

Federal Laws Anti-Kickback Statute Remuneration Cash Free equipment Excessive compensation for medical directorships or consultancies or compensation where no legitimate services are provided Provision of office assistance Certain reimbursement services Free rent Expensive hotel stays, meals, travel, etc. 15

Federal Laws Anti-Kickback Statute AKS Safe Harbors No liability if all elements of safe harbor are met Not an automatic violation if activities do not fit squarely in a safe harbor The closer an activity or arrangement comes to satisfying the requirements of a safe harbor, the safer the activity or arrangement 16

Federal Laws Anti-Kickback Statute Examples of common AKS Safe Harbors for Telemedicine: Bona fide employment Personal services agreements Leases for space or equipment Electronic prescribing and electronic health records items and services 17

Federal Laws Anti-Kickback Statute Safe Harbor General Requirements Agreement covers all services to be provided by one party to another Aggregate services provided do not exceed those which are reasonably necessary to accomplish the commercially reasonable business purpose Aggregate compensation, set in advance, consistent with FMV, not determined in a manner that takes into account the volume or value of referrals or other business generated 18

Federal Laws Anti-Kickback Statute Example of arrangement implicating the AKS: Pharmacy contracts with group practice to have physicians provide assessments of pharmacy patients via telemedicine as part of pharmacy s expansion into primary care services Pharmacy compensates physicians and provides equipment to facilitate telemedicine consultations Physicians may refer patients to the pharmacy for fulfillment of prescriptions, but referrals aren t required under the terms of the arrangement 19

Federal Laws Anti-Kickback Statute Advisory Opinions Provide guidance on OIG s interpretation of AKS Binding only as to requesting parties, but can provide guidance with respect to similar factual situations OIG approved 5 telemedicine-related opinions AKS implicated by the arrangements, but no sanctions After 7-year lull, a new telemedicine Advisory Opinion was issued on May 24, 2018 20

Advisory Op. 98-18 Facts: Sublease arrangement involving ophthalmologist subleasing equipment to optometrist Optometrist sent images to ophthalmologist for interpretation Ophthalmologist provided free consultations via telemedicine Analysis: Sublease ok all elements of equipment safe harbor were met Free telemedicine consultations were remuneration Arrangement approved because optometrist would not advertise or bill for consults and patients free to choose any ophthalmologist 21

Advisory Op. 04-07 Facts: Health system develops telemedicine program for specialist consultation services for low-income children in rural areas School nurses visit with children and consult with specialists via telemedicine Consults not reimbursable under Medicaid or CHIP Analysis: Remuneration included: free telecomm equipment to the schools; free consults for the patients; additional opportunities for consulting practitioners to earn professional fees (future opportunities) Low risk b/c services not billable Safeguard: students needing follow-up referred to local provider Public benefit in access to services for low-income children 22

Advisory Op. 11-12 Facts: Health system provides emergency telestroke consults to community hospitals System provides: technology, consults, clinical protocols, training, education, and commitment to accept transfers Hospitals provide: communication lines, connectivity, and CT scanners Hospitals are referral source for the health system Analysis: Safeguards include: no required referrals, patient freedom of choice, participating hospitals not included in program based on referral history Medicare is not billed so less risk to federal health care programs Benefits include: improved quality of care and patients receiving treatment sooner (rather than needing to be transferred to health system) 23

Advisory Op. 18-03 Facts: FQHC look-alike to provide county health clinic technology-related equipment and services to facilitate telemedicine encounters with county clinic s patients Items and services paid for using State Department of Health grant Telemedicine items and services used only for encounters related to HIV prevention, including prescription of meds for preexposure and post-exposure prophylaxis County clinic could use telemedicine items to refer to FQHC-like provider or other providers Both parties may submit claims to federal payers Analysis: Safeguards against patient steering, including no referral requirements between parties or to a provider s pharmacy None of the telemedicine technology would limit or restrict compatibility with other technologies Unlikely to increase costs to federal payers because billed items/services would have been provided regardless of the arrangement Increased access to preventative services primarily benefit patients, not the providers 24

Federal Laws False Claims Act (31 U.S.C. 3729 et seq.) Prohibitions include: Knowingly submitting or causing to be submitted false or fraudulent claims Knowingly making, using, or causing to be made or used, false records or statements material to a false or fraudulent claim Penalties Treble damages Penalties currently $11,181 - $22,363 per false claim (adjusted annually) 25

Federal Laws False Claims Act Examples of potential FCA violations related to telemedicine: Referrals made in violation of Stark law or AKS Claims submitted to Medicare where patient was not located at a qualifying originating site Claims submitted to Tricare for prescriptions where doctors did not properly consult with the Tricare beneficiary (Example - consulting with the patient over the telephone rather than via a real-time A/V consult) 26

State Laws State law versions of: Stark Law (prohibition against self-referral) Anti-Kickback Statute (often including prohibitions against fee splitting ) False Claims Act Scope of state laws vary Medicaid-only Medicaid and commercial Commercial All-payer 27

State Laws Telemedicine laws Establishing the requirements for the practice of medicine via telemedicine, including the requirements for a valid telemedicine visit in the state Corporate Practice of Medicine 28

How the Governing Laws Affect Different Telemedicine Models Implications for reimbursement by different payers 29

Direct-to-Consumer Model Federal laws generally not implicated But, companies should take steps to ensure patients aren t submitting claims for reimbursement, which could implicate federal laws State all-payer laws may cover cash-only models Implications if company has an arrangement for services with another company (e.g., pharmacy, DME) 30

Direct-to-Consumer Model Telemedicine laws Board of Medicine administrative sanctions Loss of license Potential reporting to National Practitioner Data Bank Corporate Practice of Medicine laws Penalties are state-specific Criminal, civil, administrative 31

Commercial Payer Model State laws (depending on scope of the laws) Penalties vary by state, but may include criminal, civil, or administrative penalties Potential state FCA liability Network contract requirements Telemedicine reimbursement laws (e.g., state parity laws) Telemedicine laws Corporate Practice of Medicine laws 32

Federal Payer Model Federal laws Possible criminal, civil, and administrative FCA liability State laws (including Medicaid) Telemedicine laws Corporate Practice of Medicine laws 33

Recent Enforcement Trends and Actions 34

Enforcement Trends As federal dollars spent on telemedicine increase, enforcement actions will increase Unnecessary prescription of compounded drugs currently is a significant target (Tricare settlements) Pain creams While more enforcement is expected with increasing federal dollars, already seeing enforcement in private sphere touching telemedicine 35

Indictments and Guilty Pleas in $1B Fraud Scheme Involving Telemedicine October 2018 DOJ announcement Telemedicine company, HealthRight LLC and its CEO pleaded guilty to felony conspiracy and wire fraud charges related to a scheme in which the company allegedly fraudulently solicited insurance information and prescriptions for the pain cream from patients across the country Telemedicine physicians approved the prescriptions Charges pending against 7 compounding pharmacies and 4 individuals associated with the pharmacies Scheme also involved significantly marking up the cost of the pain creams, where the elevated costs were then charged to private insurance companies Insurers ultimately paid $174M for prescriptions 36

Fraud Investigations: U.S. v. Jackson et al. (M.D. Fl., Docket. No. 8:16-cr-264) (2016) Defendants (including physician, physician assistant, and pharmacist) operated a call center targeting Tricare beneficiaries for unnecessary compound medications Clinician defendants provided signed prescriptions for Tricare patients without valid provider-patient interactions in exchange for kickbacks Pharmacist defendant (1) provided prescriptions to clinicians to be signed and returned to pharmacy; (2) filled prescriptions and submitted false claims to Tricare; and (3) paid kickbacks to defendants operating the call center in exchange for referrals 37

Other DOJ Settlements Florida pharmacy settlements related to Tricare (2017) Express Plus Pharmacy, LLC: $170K Related to the submission of claims to Tricare for compounded medications such as pain creams Claims were not reimbursable because: Not issued pursuant to a valid physician-patient relationship; Prescriptions were issued after brief telephone calls, which violated applicable telemedicine laws; Prescriptions were medically unnecessary; and Prescriptions were tainted by kickbacks to marketers Resolved allegations related to prescriptions from one physician 38

Tricare and Telemedicine Tricare covers in-person, interactive A/V communications for telemedicine services including: clinical consultations, office visits, telemental health, and services for ESRD Providers must guarantee the patient is appropriate for treatment via telemedicine Home-based telemedicine must be directed through a DoDapproved HIPAA confirmed platform Provider/patient must agree upon back-up plan if communication fails; provider must document 39

Other DOJ Settlements Florida pharmacy settlements related to Tricare (2018) Healthy Meds Pharmacy Corp.: $350K Related to filling prescriptions in violation of Tricare s policy on telemedicine, engaging in unsolicited calls to Tricare beneficiaries, and providing medically unnecessary compound medications to beneficiaries 40

Other DOJ Settlements Anton Fry, M.D. and CPC Associates (2016): $36K Related to claims submitted to Medicare for psychiatric services that were provided via telephone Patients were not located in a HPSA and physician did not use real-time A/V communications for the services 41

Medicare Requirements (Refresher) Generally 5 conditions for coverage under Medicare Beneficiary is located in qualifying rural area (HPSA) Beneficiary is located at a qualifying originating site Services provided by 1 of 10 eligible distant site practitioners Beneficiary and distant site practitioner communicate via interactive, real-time A/V communication CPT/HCPCS code for the service is included on list of covered Medicare telehealth services 42

OIG Review of Medicare Payments for Telehealth Services Added to OIG Work Plan in 2017 OIG Report issued April 2018: CMS Paid Practitioners For Telehealth Services That Did Not Meet Medicare Requirements 43

OIG Review of Medicare Payments for Telehealth Services Findings: 31 out of 100 claims did not meet Medicare requirements 24 claims unallowable because beneficiaries received services at non-rural originating sites 7 claims billed by ineligible institutional providers 3 claims for services to beneficiaries at unauthorized originating sites 2 claims for services provided by unallowable means of communication 1 claim for noncovered service 1 claim for services provided by a physician located outside the U.S. 44

OIG Review of Medicare Payments for Telehealth Services Findings: By extrapolation, improperly paid estimated $3.7 million during the audit period (2014-2015) Dollar amount is relatively low, but accounts for approximately 27% of all Medicare dollars spent on telehealth services during the audit period Compare to 9.51% overall error rate for FY 2017 (July 1, 2015 June 30, 2016) OIG recommended CMS: Conduct periodic postpayment reviews of telehealth services Work with Medicare contractors to implement required telehealth claim edits listed in Claims Processing Manual Offer education and training to practitioners on Medicare telehealth requirements 45

Questions Douglas Grimm douglas.grimm@arentfox.com (202) 857-6370 Washington, D.C. Hillary Stemple hillary.stemple@arentfox.com (202) 350-3638 Washington, D.C. 46