Compliance Fraud & Abuse Hospitals & Health Systems News Flash Stark Law US Health Care Stark Law Comes under Loper Bright Spotlight By Samantha Groden and Christopher Janney
Compliance Fraud & Abuse Managed Care Medicaid Medicare CMS Proposes New Overpayment Rule, Addressing Both “Identified” Definition and Six-Month Investigation Period By Ramy Fayed and Christopher Janney
Compliance Corporate Hospitals & Health Systems Medicare Government Continues Focus on Private Equity’s Role in Healthcare By Joanna Borman
Anti-Kickback Statute Compliance Fraud & Abuse Seventh Circuit Weighs in on AKS Causation Standard – Sort of By Samantha Groden
Anti-Kickback Statute Compliance Fraud & Abuse Fifth Circuit Suggests AKS “Recommendation” Prong Has “Undue Influence” Element By Christopher Janney
Anti-Kickback Statute Compliance Fraud & Abuse Second Circuit Interprets AKS Scienter Standard to Protect Inadvertent Violations By Margo Smith
Compliance Health Care IT Hospitals & Health Systems Managed Care Medicaid Privacy & Security Reimbursement Medicaid Final Rules Add to HHS Regulatory Flurry By Charles Luband, Janice Ziegler, Claire Bornstein, and Callan Smith
Compliance Corporate Hospitals & Health Systems Prepare for Impact: How the FTC’s Final Rule Banning Non-Competes Might Affect Health Care Providers By Marci Borenstein and Callan Smith
Compliance Digital Health Health Care IT Privacy & Security US Health Care HHS-OCR Offers Insights Regarding HIPAA Compliance & Breaches of Unsecured PHI By Stephanie Murtagh and Janice Ziegler
Compliance Fraud & Abuse Managed Care Medicaid “Identifying” an Overpayment: The Long and (Still) Winding Road By Christopher Janney
Compliance Corporate Hospitals & Health Systems Managed Care Transaction Trends: States Increase Oversight of Healthcare Dealmaking By Michael Montgomery
Compliance Fraud & Abuse Managed Care Medicaid HHS-OIG Announces First Round of Industry Segment-Specific Compliance Program Guidance By Stephanie Murtagh