
In any event, the decision to institute a corporate compliance program is a relatively simple one. In view of the ambiguity surrounding certain fraud and abuse provisions, and the corporate "death sentence" that may result from program exclusion, a compliance program is always sound corporate policy. To be sure, if the compliance program is administered improperly, it can actually increase the likelihood of whistleblower actions and create a body of potentially hurtful documentation. But these dangers can be minimized by structuring the program to protect the self-evaluative process through relevant privileges. The risks also pale in comparison to the exposure to criminal or exclusionary sanctions when improper conduct goes undetected by an organization.
Insurance Claim Reporting, Medicaid, Fraud, Liability, Legal, Pilot Projects, Medicare, Truth Disclosure, Organizational Policy, United States, Home Care Agencies, Durable Medical Equipment, United States Dept. of Health and Human Services, Skilled Nursing Facilities
Insurance Claim Reporting, Medicaid, Fraud, Liability, Legal, Pilot Projects, Medicare, Truth Disclosure, Organizational Policy, United States, Home Care Agencies, Durable Medical Equipment, United States Dept. of Health and Human Services, Skilled Nursing Facilities
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