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Healthcare Referral Sources Legal Issues & Policy Recommendations

Learn about healthcare referral sources and the laws that govern their relationships. Understand the Anti-Kickback Statute, penalties, and safe harbors. Get insights into fraud alerts and compliance recommendations.

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Healthcare Referral Sources Legal Issues & Policy Recommendations

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  1. Healthcare Referral SourcesLegal Issues &Policy Recommendations Health Care Compliance Association Compliance Institute Anne M. Haule New Orleans, Louisiana September 27, 2000

  2. What is a Healthcare Referral Source? • Person or entity that refers patients to providers or suppliers for healthcare services

  3. Physicians Podiatrists Oral Surgeons Nursing Homes Ambulance Companies Psychologists Physical Therapists Police Mental Health Agencies Who is a Referral Source to a Hospital?

  4. To Whom is the Hospital a Referral Source? • Nursing Home • Home Health Agency • Clinical Laboratory • Hospice • Durable Medical Equipment Company • Hospital-Based Physicians (Radiology, Pathology, Anesthesiology)

  5. Why are There Laws Regarding Healthcare Referral Source Relationships? • To protect public health • Overutilization • Underutilization • Inappropriate provider/supplier • To decrease cost of care • To promote patient choice • To promote competition

  6. What Laws Govern Healthcare Referral Source Relationships? • Anti-Kickback Statute (Fraud & Abuse) • Self-Referral Statute (Stark II) • State Healthcare Self-Referral Acts • IRS Intermediate Sanctions

  7. What is the Anti-Kickback Statute? • Federal Criminal Law • Criminal Penalties against any individual or entity that: Knowingly and willingly offers or pays any remuneration (including any kickback, bribe, or rebate) directly or indirectly, overtly or covertly, in cash or in kind to any person to induce such person— (continued)

  8. What is the Anti-Kickback Statute?(continued) (a) to refer an individual to a person for the furnishing or arranging for the furnishing of any item of service for which payment may be made in whole or in part under [Medicare, Medicaid or other federal health care program], or (b) to purchase, lease, order or arrange for or recommend purchasing, leasing, or ordering any good, facility, service, or item for which payment may be made in whole or in part under [Medicare or a state health care program]

  9. Anti-Kickback • Applies to Medicare, Medicaid, and other Federal Program Payors • Applies to both sides of a transaction (i.e. Physician and Hospital)

  10. Anti-Kickback • Penalties include prison, fines and exclusion from Medicare/Medicaid • Standard of Proof • Beyond a reasonable doubt • Knowing and Willful Violation • Circumstantial Evidence of Intent

  11. Safe Harbors: Limited Investment Interests Space Rental Equipment Rental Personal Services and Management Contracts Sale of a Practice Referral Services Warrants Discounts Employees Group Purchasing Organizations Waiver of Co-Pays and Deductibles Managed Care Anti-Kickback

  12. Safe Harbors: Investment in Underserved Areas Sales of Physician Practices Practitioner Recruitment OB Malpractice Insurance Subsidies Investments in Group Practice Cooperative Hospital Service Organization Ambulatory Surgical Center Referral Agreements for Specialty Services Anti-Kickback

  13. Anti-Kickback • Fraud Alerts Regarding Referral Source Arrangements • Hospital Incentives to Referring Physicians • Medical Services to Nursing Homes • Arrangements for the Provision of Clinical Lab Services • Nursing Home Arrangements with Hospices • Home Health Fraud • Joint Venture Relationships • Routine Waiver of Part B Co-Payments/Deductibles

  14. Anti-Kickback • Advisory Opinion Process: • OIG (Fraud & Abuse) Opinions--6 in 1997, 18 in 1998, 14 in 1999, 5 in 2000 (as of July) • HCFA (Stark) Opinions--2

  15. Anti-Kickback • Compliance Guidance • Physician Practices (Draft) • Nursing Facilities • Hospices • Medicare + Choice Organizations • Third Party Billing Companies • DME • Home Health • Clinical Labs • Hospitals

  16. Anti-Kickback • Fraud Alert on Hospital Incentives to Physicians • Payment of any sort of incentive by the hospital each time a physician refers a patient to the hospital • The use of free or significantly discounted office space or equipment (in facilities usually located close to the hospital)

  17. Anti-Kickback • Provision of free or significantly discounted billing, nursing, or other staff services • Free training for a physician’s office staff in areas such as management techniques, CPT coding, and laboratory techniques • Guarantees which provide that, if the physician’s income fails to reach a predetermined level, the hospital will supplement the remainder up to a certain amount

  18. Anti-Kickback • Low-interest or interest-free loans, or loans which may be “forgiven” if a physician refers patients (or some number of patients) to the hospital • Payment of the cost of a physician’s travel and expenses for conferences • Payment for a physician’s continuing education courses

  19. Anti-Kickback • Coverage on hospital’s group health insurance plans at an inappropriately low cost to the physician • Payment for services (which may include consultations at the hospital) which require few, if any, substantive duties by the physician, or payment for services in excess of the fair market value of services rendered

  20. The Self-Referral Statute (Stark II) • Federal Civil Law (January 1, 1995) • Applies to Physicians and their Financial Relationship with Referral Sources • Prohibits Referrals between Physicians and Entities with which they have Financial Relationships • Prohibits Billing if Prohibited Referral • Sanctions Include Repayment, Fines, Exclusion

  21. Stark II • Covers 11 Designated Health Services: • Clinical Laboratory Services • Physical Therapy Services • Occupational Therapy • Radiology Services (MRI, CT, US) • Radiation Therapy Services • Durable Medical Equipment

  22. Stark II • Parental/Enteral Nutrients, Equipment, Supplies • Prosthetics, Orthotics, and Devices • Home Health Services • Outpatient Prescription Drugs • Inpatient and Outpatient Hospital Services

  23. Stark II • Exceptions to Stark: • Unrelated to Designated Health Services • Rural Facility Treating Rural Residents • Isolated Financial Transactions (one time sale) • Group Practice • In-Office Ancillary Services

  24. Stark II • Exceptions to Stark (continued): • Capitated Health Plans • Investments in Publicly Traded Companies • Office and Equipment Rental • FMV Rent • Term/Minimum One Year • Written Agreement • Unrelated to Referrals • Bona Fide Employment

  25. Stark II • Exceptions to Stark (continued): • Personal Services Arrangements • Written Agreement Specifies Services • Term/Minimum One Year • FMV Compensation • Commercially Reasonable Terms • Managed Care • Physician Recruitment • Relocation to community • Not Tied to Referrals

  26. What Are Intermediate Sanctions? • Federal Tax Law • Imposes penalty excise taxes on (i) disqualified persons (e.g., physicians on a hospital’s medical staff) who receive “excess benefits from tax-exempt organizations (e.g., many hospitals) and (ii) the organization’s managers and board members who participate in such transactions know then to provide excess benefits

  27. What Are Intermediate Sanctions? • Applies to physicians and the officers and directors of a tax-exempt organization, in connection with certain transactions between physicians and organizations

  28. Intermediate Sanctions • Initial penalties include a tax equal to 25% of excess benefit received on each physician, and a tax equal to 10% of the excess benefit conferred (up to $10,000) on each organization manager knowingly involved in setting up excess benefit • Secondary penalties (once the IRS has provided notice of initial penalty) include a tax equal to 200% of the excess benefit on physicians

  29. Intermediate Sanctions • IRS Requirements • Good business judgment, shown through internal documentation (e.g., time records for medical directors) • Documentation focusing on fair market value, reasonableness standards, and arm’s length concepts

  30. Variable Payments No Contract No Lease No Time Records Services Not Necessary Services Not Performed Past Due Rent Loans/Interest/ Repayment Freebies to Referral Sources Lavish Entertainment Numerous arrangements Cross-Town Recruitment Solicitation Problematic Scenarios

  31. Policy Recommendations • Conduct a Comprehensive Legal Audit • Importance of Attorney-Client Privilege • Target all referral source relationships • Review all arrangements involving: • Management Services Agreements • Loans • Entertainment • Gifts • IPA, PHO, MSO • Physician Recruitment • Professional Services Agreements • Leases • Practice Acquisitions • Practice Management

  32. Policy Recommendations (continued) • Publish Rules Governing: • Physician Recruitment • Professional Services Agreements • Leases • Practice Acquisitions • Practice Management • Management Services Agreements • Loans • Entertainment • Gifts • IPA, PHO, MSO arrangements

  33. Policy Recommendations (continued) • Establish Uniform Contracting Process for ALL Referral Source Arrangements • Limit Contracting Authority to CEO • Require CEO to Sign Certification • Use Standard Contract Forms • CFO to Control Payments • No Payments without Contract and Time Records

  34. Policy Recommendations (continued) • All Arrangements with Referral Sources to be Reviewed by Compliance Officer/Legal Counsel • Central Contract Repository • Audit • Discipline

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