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In prior issues of Shorts, we highlighted corporate compliance issues based on our work with the American Health Care Association to revise and update the Association’s 2002 Corporate Compliance Guidance to nursing homes across the country. This month, we’re focusing on nursing facilities’ roles and responsibilities under the federal Medicare Part D program. This article is based on a national webinar held in March 2009 and related materials published at www.ahca.org as part of that national project. In our March 2009 webinar, we explained how to approach the auditing and monitoring aspects of an "effective" compliance program, using the Medicare Part D program as an example. The Part D program is one of the new risk areas identified by the OIG as an area of concern in its 2008 Supplemental Compliance Guidance for Nursing Facilities. We’ve based this "primer" on Medicare Part D and nursing facilities on the OIG’s 2008 Supplemental Compliance Guidance (73 Federal Register 56832 at pages 56846-56847). This document and the OIG’s advisory opinions, fraud alerts and similar publications published at www.oig.hhs.gov are a great source for identifying the risk areas that the OIG is especially concerned about with nursing facilities (along with each company’s specific risk areas, as identified by internal auditing and monitoring systems). With respect to Medicare Part D in nursing facilities, the OIG has pointed out that:
Monitoring compliance with a facility’s Part D obligations isn’t necessarily difficult, but it does involve an array of facility staff, management, contractors, consultants (such as consulting pharmacists), pharmacies and Part D plans. For more information on how to set up an auditing and monitoring plan for Part D, and to see a sample audit program, visit www.ahca.org, roll over "Facility Operations" in the orange tool bar and then select "Compliance Program" from the bottom of the drop-down box.
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