Although the Office of the Inspector General (“OIG”) has previously announced that it would exercise discretion with respect to financial arrangements entered into to facilitate and enhance the availability of COVID-19 testing, the attached Memorandum from the Office of Attorney General also indicates enhanced enforcement scrutiny with respect to fraudulent testing.
April 2020
COVID Impact: HIPAA and Privacy
By Michael Cassidy on
The following are just some random thoughts or curated information regarding the impact the COVID pandemic will have on privacy in general, and health information privacy in particular.
I have attached a link to information issued by HHS explaining that, not only are HHS and OCR specifically advising that the release of patient information regarding…
CMS Issues Blanket Waivers for Stark Physician Self-Referral Law Sanctions
By Michael Cassidy on
Posted in Articles, Fraud - Stark
Attached is a PDF issued by CMS regarding blanket waivers of the Stark Law in order to allow physicians and hospitals to adjust 18 different potential financial relationships in order to deal with the COVID-19 emergency. The waivers were issued on March 30, 2020, with a retroactive effective date of March 1, 2020. They will…