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2/3/2012 1 Independent Licensee of the Blue Cross and Blue Shield Association 1 GR-P11-322/1.PPT (1/6/2012) Fraud, Waste, and Abuse The Whys, the Whats, and the Hows February 13, 2012 2 Independent Licensee of the Blue Cross and Blue Shield Association GR-P11-322/2.PPT (1/6/2012) Fraud, Waste, and Abuse 1. United States Federal Sentencing Guidelines (USFSG) Focus on ethical behavior Focus on Board engagement Require Board understanding of the elements of an effective compliance program Why does our Board care?

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Page 1: Fraud, Waste, and Abuse - HCCA's Official Site · GR-P11-322/11.PPT (1/6/2012) Fraud, Waste, and Abuse 3. Training and education – Compliance and Ethics Department • Members —

2/3/2012

1

Independent Licensee of the Blue Cross and Blue Shield Association

1GR-P11-322/1.PPT (1/6/2012)

Fraud, Waste, and AbuseThe Whys, the Whats, and the Hows

February 13, 2012

2Independent Licensee of the Blue Cross and Blue Shield Association

GR-P11-322/2.PPT (1/6/2012)

Fraud, Waste, and Abuse

1. United States Federal Sentencing Guidelines (USFSG)

– Focus on ethical behavior

– Focus on Board engagement

– Require Board understanding of the elements of an effective

compliance program

Why does our Board care?

Page 2: Fraud, Waste, and Abuse - HCCA's Official Site · GR-P11-322/11.PPT (1/6/2012) Fraud, Waste, and Abuse 3. Training and education – Compliance and Ethics Department • Members —

2/3/2012

2

3Independent Licensee of the Blue Cross and Blue Shield Association

GR-P11-322/3.PPT (1/6/2012)

Fraud, Waste, and Abuse

2. Centers for Medicare and Medicaid Services (CMS)

– Chapter (9) — Fraud, Waste, and Abuse (FWA) requirements

• Elements of an “effective” compliance program

– Noticeable expansion of enforcement

• CMS regulations

• False Claims Act

• Increased penalties — Corporate Integrity Agreements (CIA) and civil monetary penalties

• Enrollment suspension

Why does our Board care? (continued)

4Independent Licensee of the Blue Cross and Blue Shield Association

GR-P11-322/4.PPT (1/6/2012)

Fraud, Waste, and Abuse

3. CMS’ Medicare Compliance Program audits

– Detect “print, post, and pray” programs

– Substantiate knowledgeable governing body

– Verify reasonable Board oversight of compliance program

Why does our Board care? (continued)

Page 3: Fraud, Waste, and Abuse - HCCA's Official Site · GR-P11-322/11.PPT (1/6/2012) Fraud, Waste, and Abuse 3. Training and education – Compliance and Ethics Department • Members —

2/3/2012

3

5Independent Licensee of the Blue Cross and Blue Shield Association

GR-P11-322/5.PPT (1/6/2012)

Fraud, Waste, and Abuse

4. BlueCross BlueShield Association

– Revised licensure standards reflect revisions to USFSG

– Emphasis on compliance education and training for

Board members

Why does our Board care? (continued)

6Independent Licensee of the Blue Cross and Blue Shield Association

GR-P11-322/6.PPT (1/6/2012)

Fraud, Waste, and Abuse

5. Health and Human Services — program integrity

– Increased enforcement efforts and funding

– The Patient Protection and Affordable Care Act (PPACA) and

Health Care Reform contains many FWA-related sections

– Recovery critical for funding Health Care Reform

Why does our Board care? (continued)

Page 4: Fraud, Waste, and Abuse - HCCA's Official Site · GR-P11-322/11.PPT (1/6/2012) Fraud, Waste, and Abuse 3. Training and education – Compliance and Ethics Department • Members —

2/3/2012

4

7Independent Licensee of the Blue Cross and Blue Shield Association

GR-P11-322/7.PPT (1/6/2012)

These ten individuals have allegedly defrauded taxpayers of more than $124 million.In all, we are seeking more than 170 fugitives on charges related to health care fraud and abuse.

$110 MILLION Miami, FL: These brothers submitted false and fraudulent

claims to Medicare, purportedly for HIV infusion therapy.

Charged with drug

possession, fraudulent

Internet marketing, and

child endangerment.

100’s of 1000’s OF $$False and fraudulent Durable

Medical Equipment (DME) claims

that were medically unnecessary.

4.3 MILLION (1.9 million in false claims)

Michigan: Dearborn Medical and Rehabilitation Center

(DMRC), an infusion therapy clinic.

17.1 MILLIONCalifornia: Home Health

Agency — Billed Medicare

for unlicensed nursing staff.

1.1 MILLIONCalifornia: Fraudulent DME

claims — motorized

wheelchairs, scooters, and

hospital beds

U.S. Department of Health and Human Services

Office of Inspector General (OIG)

8Independent Licensee of the Blue Cross and Blue Shield Association

GR-P11-322/8.PPT (1/6/2012)

Fraud, Waste, and Abuse

Comprehensive plan to detect, correct, and prevent FWA

• Written polices and procedures/standards of conduct

• Compliance officer and compliance committee

• Training and education

• Effective lines of communication

• Enforcement of standards/publicized disciplinary guidelines

• Monitoring and auditing

• Corrective action procedures

• Comprehensive fraud and abuse plan

What are the requirements?

Page 5: Fraud, Waste, and Abuse - HCCA's Official Site · GR-P11-322/11.PPT (1/6/2012) Fraud, Waste, and Abuse 3. Training and education – Compliance and Ethics Department • Members —

2/3/2012

5

9Independent Licensee of the Blue Cross and Blue Shield Association

GR-P11-322/9.PPT (1/6/2012)

Fraud, Waste, and Abuse

1. Policies and procedures/standards of conduct

– Compliance and Ethics Department — policies/procedures

– Operational areas — policies/procedures

– Code of Conduct

Specifications:

– Written, producible policies/procedures

– Up-to-date

– Comply with CMS regulations

How do we comply?

10Independent Licensee of the Blue Cross and Blue Shield Association

GR-P11-322/10.PPT (1/6/2012)

Fraud, Waste, and Abuse

2. Compliance officer and compliance committee

– Chief Compliance Officer

– Corporate Compliance Committee

– Medicare Compliance Committee

– Executive Compliance Committee

– Governance Committee of the Board

– Compliance and Ethics Department staff

How do we comply? (continued)

Page 6: Fraud, Waste, and Abuse - HCCA's Official Site · GR-P11-322/11.PPT (1/6/2012) Fraud, Waste, and Abuse 3. Training and education – Compliance and Ethics Department • Members —

2/3/2012

6

11Independent Licensee of the Blue Cross and Blue Shield Association

GR-P11-322/11.PPT (1/6/2012)

Fraud, Waste, and Abuse

3. Training and education

– Compliance and Ethics Department

• Members — new members and annual

– Specialized training in operational areas

– Training must include:

• Regulations that apply to their jobs

• How to report compliance and ethical concerns

• How to identify FWA

• Non-Retaliation policy

How do we comply? (continued)

12Independent Licensee of the Blue Cross and Blue Shield Association

GR-P11-322/12.PPT (1/6/2012)

Fraud, Waste, and Abuse

4. Effective lines of communication

– Employ various avenues to inform employees of:

• Reporting mechanisms (including anonymous options)

• Responsibility to report concerns

• Non-retaliation/confidentiality

How do we comply? (continued)

Page 7: Fraud, Waste, and Abuse - HCCA's Official Site · GR-P11-322/11.PPT (1/6/2012) Fraud, Waste, and Abuse 3. Training and education – Compliance and Ethics Department • Members —

2/3/2012

7

13Independent Licensee of the Blue Cross and Blue Shield Association

GR-P11-322/13.PPT (1/6/2012)

Fraud, Waste, and Abuse

5. Enforcement of standards/publicized disciplinary

guidelines

– Referral of Human Resources (HR)-related inquiries to the HR

department

– New management orientation

– Review of monthly compliance-related corrective action report

How do we comply? (continued)

14Independent Licensee of the Blue Cross and Blue Shield Association

GR-P11-322/14.PPT (1/6/2012)

Fraud, Waste, and Abuse

6. Monitoring and auditing

– Monitor over 600 high-risk or regulatory activities

– Review internal and external audit reports

– Require documentation of department-specific monitoring,

auditing, and quality checks throughout the company

7. Corrective action procedures (CAP)

– Oversee CAPs from external entities

– Identify, establish, and track internal CAPs

How do we comply? (continued)

Page 8: Fraud, Waste, and Abuse - HCCA's Official Site · GR-P11-322/11.PPT (1/6/2012) Fraud, Waste, and Abuse 3. Training and education – Compliance and Ethics Department • Members —

2/3/2012

8

15Independent Licensee of the Blue Cross and Blue Shield Association

GR-P11-322/15.PPT (1/6/2012)

Fraud, Waste, and Abuse

8. Comprehensive fraud and abuse plan

– Chapter 9 regulations

– Now applies to both Medicare Advantage and Part D programs

– “Shoulds” equal “Musts”

– Critical areas (Customer Service, Claims, Pharmacy Services,

Pharmacy Benefit Manager)

• Training

• Reporting

How do we comply? (continued)

16Independent Licensee of the Blue Cross and Blue Shield Association

GR-P11-322/16.PPT (1/6/2012)

Fraud, Waste, and Abuse

8. Comprehensive fraud and abuse plan (continued)

– Delegated entity oversight

• 2011 OIG work plan

• Regular compliance oversight (on-site reviews and audits, teleconferences, attestations, review of codes, FWA training, methods of reporting, etc.)

– Internal Delegated Oversight Committee

• Health Services and Vendor Management audits

• Compliance review of all quarterly audit reports

How do we comply? (continued)

Page 9: Fraud, Waste, and Abuse - HCCA's Official Site · GR-P11-322/11.PPT (1/6/2012) Fraud, Waste, and Abuse 3. Training and education – Compliance and Ethics Department • Members —

2/3/2012

9

17Independent Licensee of the Blue Cross and Blue Shield Association

GR-P11-322/17.PPT (1/6/2012)

Fraud, Waste, and Abuse

8. Comprehensive fraud and abuse plan (continued)

– Special Investigation Units (SIU)

• Unit dedicated to detecting FWA

• STARSentinelTM software detects aberrant behavior

• Internet and Intranet fraud hotline

How do we comply? (continued)

18Independent Licensee of the Blue Cross and Blue Shield Association

GR-P11-322/18.PPT (1/6/2012)

Fraud, Waste, and Abuse

8. Comprehensive fraud and abuse plan (continued)

– Capital BlueCross — Fraud and Abuse Committee

• Monthly meetings

• SIU, Compliance, and Legal representation

• Recoupment of all government programs’ monies

– Dominion Dental Services, Inc. — Quality Assurance Committee

• Quarterly meetings

• SIU, Compliance, and Legal representation

• Recoupment of all government programs’ monies

How do we comply? (continued)

Page 10: Fraud, Waste, and Abuse - HCCA's Official Site · GR-P11-322/11.PPT (1/6/2012) Fraud, Waste, and Abuse 3. Training and education – Compliance and Ethics Department • Members —

2/3/2012

10

Independent Licensee of the Blue Cross and Blue Shield Association

19GR-P11-322/19.PPT (1/6/2012)

Thank You