220 likes | 372 Views
2010 Region II Conference Corporate Compliance Panel June 3, 2010. Tamy Skaist, Compliance Officer Ezra Medical Center, Brooklyn, NY 11218. My life before I became the Compliance Officer at Ezra Medical Center. My life after I became the Compliance Officer at Ezra Medical Center. Overview.
E N D
2010 Region II ConferenceCorporate Compliance PanelJune 3, 2010 Tamy Skaist, Compliance Officer Ezra Medical Center, Brooklyn, NY 11218
My life before I became the Compliance Officer at Ezra Medical Center
My life after I became the Compliance Officer at Ezra Medical Center
Overview • Background on Ezra Medical Center • Organization of Compliance Program • Compliance Officer • Compliance Committee of the Board • Board of Directors • Compliance Policy Overview • Compliance Training • Compliance Reporting System • Compliance Auditing • Other Relevant Policies and Procedures
Background on Ezra Medical Center • Located in Brooklyn, NY • State-of-the-art facility built in 2008
Background on Ezra Medical Center • Services offered: • Primary care, adults and pediatrics • Dentistry, adults and pediatrics, Mobile Dental Van • Optometry and vision therapy • Dermatology • Podiatry
Background on Ezra Medical Center • Ezra Medical Center opened its doors in 2001. With minimal resources, the health center created a vital community resource of medical, dental and social service visits for its target population. • During the past 5 years, we’ve seen a growth of over 1,000%. • Currently, we see over 3,000 visits per month.
Organization of Compliance Program • Compliance Officer • Manages Compliance Program • Tracks new developments • Ensures compliance reviews are performed • Conducts compliance training • Responds to reports, complaints and questions • Makes reports to Compliance Committee of the Board
Organization of Compliance Program • Compliance Committee of the Board • Oversees Compliance Program • Receives reports from Compliance Officer • Reviews compliance activities • Addresses specific compliance-related concerns • Makes recommendations for changes
Organization of Compliance Program • Employees • Given periodic compliance training • Front line in detecting potential compliance issues
Compliance Program • Purpose • To ensure that Ezra Medical Center operates in full compliance with all relevant laws, regulations, and guidelines • Particular areas of focus include: • Accuracy of coding • Claims development and submission • Documentation of services rendered • Services are reasonable and necessary • False Claims Act issues • Fraud and abuse (kickbacks/self-referrals)
Compliance Policy Overview • Privacy and security: • Security Officer with responsibility for privacy and security issues • Regular HIPAA training for staff • Workstations are physically secure • Workstations in public areas are protected with privacy filters • Password protected screen savers when workstations unattended for 5 minutes or more • User accounts disabled immediately upon termination of user’s employment
Compliance Training • Bi-annual compliance training for all staff • Review compliance program • Review of staff responsibilities • Discussion of reporting mechanisms • Coding and billing training: • Done upon hire, and two times a year
Compliance Reporting System • Staff are required to report any potential issues to their supervisor, another person in management, or the Compliance Officer • Compliance hotline has been established • Toll-free number • Available 24 hours per day, 7 days per week • Reports are anonymous • Reports go to Compliance Officer and/or the Executive Director
Compliance Auditing • Current and prospective employees are screened against applicable databases, including: • HHS OIG’s List of Excluded Individuals and Entities • GSA’s List of Parties Debarred from Federal Programs • New York State Medicaid Office of Inspector General List of Excluded Individuals and Entities • Regular self-audits • Done on a quarterly basis • Audit of sample charts to ensure that coding and billing accurate • Review by medical records personnel
Responding to Violations • Investigation by Compliance Officer • Ensure that investigation is initiated as soon as reasonably possible. • Identify and review relevant documentation • Identify and interview relevant staff members • Suspension of staff member from job function to protect integrity of investigation, if necessary • Involvement of legal counsel as required • Report to Compliance Committee of the Board • Corrective action • Up to and including termination of staff member(s) involved
Other Relevant Policies and Procedures • Whistleblower Protection Policy • Prohibits retaliation or discrimination against any person for making a complaint, assisting in an investigation, or reporting an incident of suspected illegal or unethical conduct • Subjects anyone engaging in retaliation to appropriate disciplinary action, which may include termination • Conflict of Interest Policy • Establishes policy for handling potential conflicts of interest • Among other things, requires approval of non-conflicted Board members for any transaction involving a conflicted party • Document Retention Policy • Implemented by Compliance Officer • Establishes minimum retention periods for records • Developed in consultation with legal counsel