Jackson Davis HealthCare
Medicare Audit Defense
& Medicare Appeals
(303) 586-5003
support@cmsaudits.com
CMS Program Integrity Objective - Stop Medicare Fraud & Abuse As mentioned earlier, issues such as fabricated HIV clinics grab the headlines, but don't necessarily have day-to-day implications on honest providers. However, over the past 3 years several cases have been investigated by both the Department of Justice (DOJ) and the Office of the Inspector General (OIG) that can have very real consequences on providers throughout the U.S.. In addition to laying the foundation for Medicare Program Safeguard Contractors (PSC auditors), Medicare Zone Progam Integrity Contractors (ZPIC auditors) and the Medicare Recovery Audit Contractors (RAC auditors), recent adoption of the Medicare Integrity Program has continued to broaden the benefits integrity scope and impact of law enforcement.
The vast majority of providers wholly and unequivocally back aggressive efforts to stop Medicare fraud & abuse. Unfortunately, many providers face extraordinary day-to-day challenges in identifying, understanding and maintaining current reimbursement and medical documentation guidance from CMS. CMS payment criteria has become so dynamic - frequently being updated on a daily basis - that providers simply don't have the resources and budget required to insure 100% CMS compliance.
The Centers for Medicare and Medicaid Services (CMS) and the Obama administration have launched targeted and wide reaching efforts to identify and stop Medicare fraud. With the Medicare program facing imminent insolvency and CMS driving hard to push providers toward evidence-based coverage policies and revamped clinical practices, providers are facing law enforcement efforts on an unprecedented scale.
So, what's the real story with Medicare fraud & abuse - fake HIV clinics, the buying and selling of Medicare numbers or bogus DME claims? No, these are the bizarre headlines associated with crooks - not the real issues facing the nation's healthcare providers today. The real issues (approx. $40 - $60 billion in estimated, annual overpayments) are centered around perceived provider abuse and the CMS mandate to protect Medicare's viability and enforce payment rules, regulations and guidelines.
Clearly, the dynamic nature of the CMS regulatory environment is no excuse for submitting non-compliant claims, but it is a reality. All providers would agree that submitting claims to Medicare and Medicaid without meeting CMS Payment Criteria is both bad business and bad medicine. In addition, being accused of fraud or abuse instantly destroys careers, organizations, families and the taxpayer's underlying trust in the system - there simply are no winners.
To speak directly with one of our experienced Medicare audit defense staff or for questions regarding CMS efforts to stop Medicare fraud, Medicare audits / Medicare appeals, RAC audits, ZPIC audits or MIC audits - please contact us directly at (303) 586-5003 or support@cmsaudits.com.
Jackson Davis Legal Support Services & Recommended Medicare Lawyers
Since 1993, Jackson Davis HealthCare has assisted providers nationwide in proactively addressing potential areas of Medicare fraud & abuse. During that time, we have never encountered a single intentional act of fraud by one of our clients. If we can help you evaluate select Medicare audit focus areas, perform a global CMS Payment Criteria assessment or help in immediately addressing potential Medicare fraud or abuse considerations - please contact us directly at (303) 586-5003.
Jackson Davis clinical documentation auditors and legal support services staff have established relationships with a very select group of Medicare lawyers with extensive law enforcement & CMS compliance backgrounds. These outstanding and well-respected Medicare attorneys work closely with our physicians, nurses, clinical documentation auditors and legal support staff to represent and defend our clients facing Medicare fraud & abuse challenges.
Please contact us directly with confidential inquiries regarding Medicare fraud defense or our recommended Medicare lawyers at (303) 586-5003.
Medicare Fraud & Abuse - Recent DOJ Audit and OIG Audit Cases
Jackson Davis HealthCare has searched the DOJ and OIG archives and we have included several cases below that deserve further review and consideration. For the most part, these cases revolve around both whistleblower actions and adherence to CMS Payment Criteria / Medicare Coverage Criteria:
One Day Stays / 3-Day SNF Acute Stays / Inpatient Only List - Carotid Arteries
Inflating Patient Charges to Receive Enhanced Outlier Payments
Inflating Patient Charges to Receive Enhanced Outlier Payments (11/18/09)
Medical Directorship Contracts & Lease Agreements (10/30/09)
Inpatient Rehabilitation Facilities - Interrupted Stays
Cost Report Issues - Reimbursable v. Non-Reimbursable Costs
Falsified Billing and Medical Records
Infusion Therapy & Chemotherapy Billed Units
Physician Clinic Referrals / Medicare Cost Reports - Stark and Anti-Kickback
Teaching Physicians and Billing for Residents - Orthopedic
Inpatient Only List - Kyphoplasty
Professional Fee Billing - CRNA Services
Medicare Integrity Program (MIP)
CMS Definition - Medicare Fraud
CMS defines Fraud is an intentional representation that an individual knows to be false or does not believe to be true and makes, knowing that the representation could result in some unauthorized benefit to himself/herself or some other person. The most frequent kind of fraud arises from a false statement or representation that is material to entitlement or payment under the Medicare program. The violator may be a practitioner, physician supplier, contractor employee or beneficiary.
Recent developments in whistleblower suits filed in conjunction with the Department of Justice and Office of the Inspector General provide little doubt about the government's absolute intent to crack down on perceived Medicare fraud. Examples of Medicare fraud include, but are not limited to the following:
CMS Definition - Medicare Abuse
CMS defines Abuse as behaviors or practices of providers, physicians, or suppliers of services and equipment that, although normally not considered fraudulent, are inconsistent with accepted sound medical, business, or fiscal practices. The practices may, directly or indirectly, result in unnecessary costs to the program, improper payment, or payment for services that fail to meet professionally recognized standards of care, or which are medically unnecessary.
The majority of provider "errors" fall within the CMS definition of Abuse. As such, significant financial penalties and additional potential exposure to Medicare fraud claims may follow CMS actions in these matters. Examples of abuse include, but are not limited to the following:
Penalties for Medicare Fraud & Abuse
Medicare fraud and abuse cases are routinely referred to the Office of Inspector General (OIG). The OIG has the authority to use civil monetary penalty, criminal penalty, or administrative sanctions in connection with these cases. Civil monetary policies may be imposed in the following cases, but may also be applied to other cases:
Criminal penalties may be imposed in the following cases, but may also be applied to other cases:
Administrative sanctions may be used:
Medicare Fraud Alerts
When a provider has committed Medicare fraud, or a new scam is identified, the Office of Inspector General (OIG) may issue a National OIG Fraud Alert to Medicare carriers and intermediaries, law enforcement, private insurers and other government agencies.
Medicare fraud alerts allow administrative & enforcement agencies to investigate whether the same provider or fraudulent activity is occurring in other jurisdictions. In addition, once the Centers for Medicare & Medicaid Services (CMS) has identified a Medicare fraudulent scheme operating in multiple states, it will issue a CMS Medicare Fraud Alert.
CMS has two levels of fraud alerts - Unrestricted and Restricted. Unrestricted Alerts provide information regarding a scheme, but do not identify specific providers. Restricted Alerts describe the scheme and specify suspected providers and/or entities.