Part B Insider - 2003 Issue 23
Business Arrangements: RADIOLOGIST-HOSPITAL JV CLEARS ANTI-KICKBACK HURDLES
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Article Overview
This article explains an HHS Office of Inspector General advisory opinion involving a hospital and a radiology practice that formed a joint venture to operate an MRI facility. It covers the general anti-kickback context, the factors the OIG considered in its review, and why the arrangement was viewed differently from many other hospital-physician investment structures. The piece is useful for radiology practices, hospitals, compliance teams, and healthcare counsel assessing business arrangements and fraud-and-abuse risk.
Why This Topic Matters
The article helps readers understand how the OIG analyzed a provider joint venture in a specialty where ordering patterns differ from other physician groups, which can affect compliance risk assessments for similar arrangements.
Article Sections
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Other Specialties Could Face Trickier Path
Introduces the joint venture arrangement, the OIG advisory opinion, and the broader compliance context for hospital-physician business relationships. It also notes why the discussion may differ for other specialties.
What You Will Learn
- How an OIG advisory opinion can address a hospital-physician joint venture
- What broad factors may affect fraud-and-abuse risk in provider investment arrangements
- Why specialty referral patterns can matter in compliance analysis
- What kinds of business arrangement issues radiology practices and hospitals may need to review
Who Should Read This
- Radiologists
- Hospitals and health systems
- Healthcare compliance professionals
- Healthcare attorneys
- Medical practice administrators
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