Fraud and Abuse Compliance for the Health IT Industry

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Fraud and Abuse Compliance for the Health IT Industry Session 89, March 6, 2018 James A. Cannatti III, Senior Counselor for Health Information Technology, U.S. Department of Health and Human Services (HHS), Office of Inspector General (OIG) Owen C.J. Foster, Assistant U.S. Attorney, U.S. Attorney s Office, District of Vermont 1

Conflict of Interest James A. Cannatti III, J.D. Has no real or apparent conflicts of interest to report. Owen C.J. Foster, J.D. Has no real or apparent conflicts of interest to report. 2

Agenda Learning Objectives Disclaimer What is Fraud, Waste, and Abuse? Why Does It Matter to the Health IT Industry? What are the Fraud, Waste, and Abuse Laws? Overview of Other Criminal Laws Applicable to Health IT Developing a Culture of Compliance 3

Learning Objectives Discuss the Federal health care fraud and abuse laws that apply to those in the health IT industry Analyze the consequences of violating those fraud and abuse laws Examine recent cases involving application of relevant fraud and abuse laws Identify ways to develop a culture of compliance in your health IT organization 4

Disclaimer The views we express are our own, and do not necessarily represent those of the OIG, DOJ, or any other government agency or department. 5

What is Fraud, Waste, and Abuse? 6

Why Does It Matter to the Health IT Industry? 7

Fraud and Abuse Laws False Claims Act Anti-Kickback Statute Physician Self-Referral Statute Civil Monetary Penalties Law Exclusion Statute 8

False Claims Act In a nutshell It s illegal to submit, or cause someone else to submit, a false claim to the Federal Government Statute: 31 U.S.C. 3729-3733 9

False Claims Act Knowingly presenting or causing to be presented a false or fraudulent claim to the Federal Government Qui Tam provisions Penalties: Fines up to 3x the program s loss, plus $21,916 per claim Underlying conduct can also be grounds for civil monetary penalties and exclusion 10

Federal Anti-Kickback Statute In a nutshell It s a crime to buy or sell Federal health care program business Statute: 42 U.S.C. 1320a-7b(b) Safe Harbor Regulations: 42 C.F.R. 1001.952 11

Federal Anti-Kickback Statute Felony, intent based Knowing and willful offer, payment, solicitation, or receipt of remuneration to induce Federal health care program business 12

Federal Anti-Kickback Statute Penalties: Criminal Fines up to $25,000 per violation Up to a 5 year prison term per violation Civil/Administrative False Claims Act liability Civil monetary penalties and exclusion Civil assessments of up to 3x amount of kickback 13

Physician Self-Referral Statute In a nutshell Physicians cannot refer Medicare and Medicaid patients for certain items and services to entities if they have a financial stake in the item or service Statute: 42 U.S.C 1395nn Regulations: 42 C.F.R. 411.350-.389 14

Physician Self-Referral Statute aka the Stark Law ; strict liability law Prohibits physicians from referring patients to receive designated health services payable by Medicare/Medicaid from entities with which the physician or an immediate family member has a financial relationship, unless an exception applies 15

Physician Self-Referral Statute Penalties: Overpayment/refund obligation False Claims Act liability Civil monetary penalties and exclusion for knowing violations Civil assessments of up to 3x the amount claimed 16

17 May 31, 2017

18 December 13, 2017

Civil Monetary Penalties Law In a nutshell OIG can impose money penalties for certain kinds of misconduct, fraud, or substandard care Statute: 42 U.S.C. 1320a-7a Regulations: 42 C.F.R. pt. 1003 19

Civil Monetary Penalties Law Administrative proceedings Numerous grounds for penalties, including: False claims and improper billings Anti-Kickback Statue and Stark violations Substandard Care Beneficiary inducements 20

Civil Monetary Penalties Law Penalties generally range from around $10,000 to $75,000 per violation (updated annually for inflation at 45 CFR Part 102) OIG also has CMP authority for penalties up to $1M per violation for information blocking (42 U.S.C. 300jj-52) 21

Exclusion Statute In a nutshell We don t do business with untrustworthy individuals and entities Statute: 42 U.S.C. 1320a-7, 1320c-5 Regulations: 42 C.F.R. pts 1001 (OIG) and 1002 (State agencies) 22

Exclusion Statute Administrative proceedings Death knell Covers all Federal health care programs Two types: mandatory and permissive 23

Other Applicable Criminal Laws 18 USC 371: Conspiracy to Defraud the United States 18 USC 1001: False Statements 18 USC 1035: False Statements Relating to Health Care Matters 18 USC 1341: Mail Fraud 18 USC 1343: Wire Fraud 18 USC 1347: Health Care Fraud 24

25 June 18, 2015

Cultivating a Culture of Compliance 26

Compliance Building Blocks 1. Prevention 2. Detection 3. Enforcement 27

Questions oig.hhs.gov twitter.com/oigathhs youtube.com/oigathhs 28