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CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance
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CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

Dec 26, 2015

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Page 1: CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

CIA’s - The IRO & Shadow Audits

Robert F. Bacon, MHA, DirectorUniversity of Pennsylvania

Health SystemOffice of Billing Compliance

Page 2: CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

Background

• False Claims Act

• Mail Fraud

• Anti-trust Regulations

• Qui-Tam Actions– Private citizens

• Balance Budget Act

Page 3: CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

FBI Health Care Fraud Utilization (FTE’s)

050

100

150

200

250300

350

400

450

500

1992 1993 1994 1995 1996 1997 1998 1999

Page 4: CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

Source: Advance Magazine American Health Information Management (AHIMA)

“It’s everybody’s responsibility now… HELP STOP Medicare/Medicaid Fraud”

• Over $23 billion...lost to waste, fraud & abuse

• ..Person who reports… paid up to 25%..

• If you work with a …health care provider who has committed health care fraud, please call our law firm…”

Page 5: CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

FRAUD HOT LINE

“Who pays? You pay. Report ……. fraud by calling 1-800-447-8477. An example of fraud would be claims for ……... items or services you did not receive. If you have any other questions about your claim,…..”

Page 6: CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

HHS Fraud Line

• Established by HHS in 1995

• HIPAA established incentive program for reporting fraud & abuse– 10% of recovered overpayment or a $1,000

maximum

• Medicare received over 300,000 calls in 1999– 76,000 in 1998

Page 7: CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

Notices From Carriers

• HGSAdministrators (Pa Medicare Claims)– Formerly Xact Medicare Services– Fraud Investigation Unit– Benefit Integrity Unit

• Mutual of Omaha– Benefits Integrity Unit

• Pa Blue Shield– Benefits Utilization Management

Page 8: CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

Operational Concerns

• Organizations state of readiness– Critical need for operational policies to address

organizational response to external notice(s) of investigation(s)

• All members of organization must know what action is required upon receipt of notification

Page 9: CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

Operational Concerns

• No individual or organization PLANS to FAIL; however, they FAIL to PLAN!

Now what ?

Page 10: CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

Operational Concerns

• Identify nature of allegations (if possible)– Physician based (e.g. upcoding, TPNR, etc.)– Hospital based (e.g. DRG’s, 72 hour rule,

transfers, cost report)

• Identify entity that authored investigation notice– Insurance carrier/ FI– OIG

Page 11: CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

Operational Concerns

• Action may differ based upon source & type of notice– Who should be notified & when (e.g. senior

management, compliance officer, legal counsel, etc)?

– Need for IRO

Page 12: CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

Operational Concerns

• Probability investigation could result in CIA &/or other penalties– Recoupment of overpayments– Program exclusions– Civil monetary penalties

Page 13: CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

Operational Concerns

• Burden to organization– Disruption of day-to-day operations– Financial considerations– Harm to reputation

Page 14: CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

Shadow Audit

• What is the subject matter & time period under review?– Attention to date of service vs. applicable

regulations & specific coding requirements– Over 1,000 material changes in CPT for CY’s

1999 & 2000 • 676 in 1999• 320 in 2000

Page 15: CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

Shadow Audit

• Critical need for organization to identify potential deficiencies & liabilities– Potential impact on bond ratings or stock prices

• Organizational & managerial ability to make informed decisions– Influence to expedite settlement negotiations– Relative cost of quick settlement vs. long term

litigation

Page 16: CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

Shadow Audit

• Invoke attorney - client privilege– Protect work papers in discovery phase

• Ability to offer defense– Establish expected error rate & estimated

potential liability– Identify errors that may result in over-payments– Identify & quantify favorable findings such as

missed billings & under-coding

Page 17: CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

Shadow Audit• Should audit be conducted with internal or

external staff?– Level of required expertise– Ability to remain unbiased– Impact on targeted employees/unit– Opportunity cost– Expense of engaging IRO

• Consideration of joint effort with internal staff & IRO

Page 18: CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

Shadow Audit

• Expertise with local rules & regulations required– National (HCFA) vs.

local carrier

• Organization & party conducting review must assess need for specialist

Page 19: CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

Shadow Audit

• Involvement of specialist– Attorney for interpretation of regulations– Medical specialist &/ or board certified

physician to review clinical chart documentation– Accountant with expertise in reimbursement with

respect to cost reports• Required expertise vs. subject matter of

investigation

Page 20: CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

Corporate Integrity Agreement

• Significant increase in number & magnitude of fraud allegations involving federal health care programs

• Represents agreement between US government & health care provider to settle fraud investigation

• 455 CIA’s executed as of July 1, 2000

Page 21: CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

Corporate Integrity Agreement

• Establishes compliance program

• Crucial to acknowledge extensive evolution & specific criteria of agreement– Terms of agreements are unique to each entity

• Management requirement to file annual report with federal government showing compliance with CIA

Page 22: CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

CIA’s & Agreed Upon Procedures

• AICPA issued guidance to practitioners in

conducting & reporting on CIA’s

– Statement of Position 99-1

– Evaluate effectiveness of CIA’s

• Independent assessment to determine

providers compliance with CIA by IRO

Page 23: CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

Agreed Upon Procedures

• Copy of assessment & related findings filed

with annual report to federal government

• SOP stipulates necessity to review major

attributes of compliance plan to include 7

key elements

Page 24: CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

Seven Key Elements of a Compliance Plan

• Establish formal standards & procedures

• Appoint high level person as compliance officer

• Exercise care in delegation of authority

• Implement monitoring, auditing & reporting systems– “HOTLINE”

Page 25: CIA’s - The IRO & Shadow Audits Robert F. Bacon, MHA, Director University of Pennsylvania Health System Office of Billing Compliance.

Seven Key Elements of a Compliance Plan

• Communicate standards & procedures to ALL employees– Mandatory training & education sessions– Written information

• Enforcement of standards with sanctions

• Appropriate response upon detection of offense