Below are some resources about the OIG Self-Disclosure Protocol, in the event you deem it necessary to self-disclose:
- http://oig.hhs.gov/compliance/self-disclosure-info/files/Provider-Self-Disclosure-Protocol.pdf
- https://forms.oig.hhs.gov/selfdisclosure/Self-Disc-Form-protocol.aspx?AspxAutoDetectCookieSupport=1
If you have billed CMS for services rendered by a provider while he/she was excluded, then you should consider self-disclosing in order to reduce the potential penalities and fines. The documents above address this from the perspective of the OIG.
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