Regulatory Updates to Physician Self-Referral and Anti-Kickback Statute
January 11, 2021
by Sean Weiss, Partner & VP of Compliance
On Dec 2, 2020, the regulatory updates to the Physician Self-Referral and Anti-Kickback Statute (AKS) were published in the Federal Register. Health and Human Services (HHS) and sub-agencies are proposing significant updates to the fraud and abuse programs. There is a 1-year period (until January 2022) before the majority of provisions of the final rule become effective.
The Stark Regulations saw significant updates and clarifications. In reviewing the Stark and AKS, you’ll note similar changes between them. The most apparent is the Safe Harbors for value-based care arrangements. There had to be collaboration at the sub regulatory agency level the way some of these read!
Providers and their compliance consiglieres must examine relationship(s) with referral sources. In the coming weeks I’ll break down aspects of the complex rules:
- New Value-Based Arrangements Exceptions (Stark) and Safe Harbors (AKS)
- Stark Law Rules on Group Practice Compensation Methodologies
- Changes to Stark Law Terminology – 3 Notable Changes
- Clarifications/Revisions of Stark Concepts
- Exceptions and Safe Harbors Stark and AKS
- Other “new” Exceptions (Stark) and Safe Harbors (AKS)
What to do next…
- If you need help with an audit appeal or regulatory compliance concern, contact us at (800) 635-4040 or via email at email@example.com.
- Read more about our: Total Compliance Solution
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