decisionhealth Newsletters, Coder Pink Sheets - 2018 Issue 6 (June)
APCPS briefs: Point-of-care test cups cost $40,000
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Article Overview
This article covers a healthcare compliance settlement involving allegations under the federal anti-kickback statute and the Stark physician self-referral rule. It is relevant to providers, compliance staff, auditors, and legal professionals who monitor referral relationships, remuneration issues, and enforcement actions involving designated health services. The piece summarizes the enforcement context, the parties involved, and the source of the public action without providing detailed coding guidance.
Why This Topic Matters
Enforcement actions like this highlight compliance risks around financial relationships, referrals, and claims submission practices. Readers tracking regulatory exposure, internal controls, and fraud-and-abuse issues may use the article as a quick alert about current government enforcement priorities.
What You Will Learn
- The type of compliance issue involved in the settlement
- Which federal fraud-and-abuse frameworks were implicated
- How a public enforcement announcement can signal provider compliance risk
- The general role of HHS OIG in these matters
Who Should Read This
- Healthcare compliance professionals
- Medical practice administrators
- Physicians and group practice managers
- Healthcare attorneys
- Auditors and revenue integrity staff
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