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The Stark Law: A
Proactive Practical
Approach to
Internal Audit
January 25, 2017
The Plan for Today
• Stark Law Refresher
– Overview on the Stark law
– Recent changes to the Stark law
• Internal audits
– Tips for identifying potential Stark law
violations
– Discussion of Stark audit checklist
• What to do if an audit identifies potential
Stark law violations?
Stark Law Refresher
4
Stark Physician Self-Referral Law
• 42 U.S.C. § 1395nn; 42 C.F.R. § 411.350 et
seq.
• Basic Prohibition: Physicians may not make
referrals for certain designated health services
(DHS) payable by Medicare to an entity with
which the physician or an immediate family
member has a financial relationship….
UNLESS AN EXCEPTION APPLIES!!
• Strict liability – no bad intent needed
Four Part Analysis
• There is a four part analysis to determine
whether an arrangement violates the
Stark Law.
• If the answer to each of the four
questions is "yes," the Stark law is
violated, unless an exception applies.
Four Part Analysis
1) Is there a financial relationship
between the referring physician and DHS
Entity?
– Financial Relationships:
• Ownership (stock, LLC membership, secured
debt, etc.)
• Compensation (any form of remuneration or
value)
– Direct or indirect
Examples of Financial Relationships
• Professional Courtesy
• Perks to Medical Staff
Physicians
• Equipment Rentals
• Discounts or Freebies
to Physicians
• EHR Arrangements
• Employment or
Independent
Contractor
Agreements
• Medical Director
Agreements
• Leases
• Call Coverage
Payments
• Recruitment Packages
• CME Offerings
• Physician/Hospital
Joint Ventures
Four Part Analysis
1) Is there a financial relationship between the
referring physician and DHS Entity?
(continued)
– Physician:
• Doctor of Medicine or Osteopathy
• Doctor of Dental Surgery (DDS) or Dental Medicine (DMD)
• Podiatrist
• Doctor of Optometry
• Chiropractor
Four Part Analysis
1) Is there a financial relationship between the
referring physician and DHS Entity?
(continued)
– Relationship with physician's immediate family
members also count:
• husband or wife (including same-sex spouse)
• birth or adoptive parent
• child or sibling
• step relative (parent, child, brother, sister)
• in-laws (father/mother, son/daughter, brother/ sister)
• grandparent or grandchild and spouse of a grandparent or
grandchild
Four Part Analysis
1) Is there a financial relationship between the
referring physician and DHS Entity?
(continued)
• An “entity” is the person or organization that
“furnishes” DHS Entity means:
– A physician’s medical practice
– A practice of multiple physicians
– Any organization (or person) furnishing DHS
• Furnishing DHS – performing the DHS or presenting
the claim to Medicare for DHS even if the right to
payment has been reassigned
• Examples: Hospitals, Group Practices, Clinical Labs
Four Part Analysis
2) Did the physician make a referral for DHS?
– Broadly defined
– Request, Order, Plan of Care, Cert, Recert, Consult
– Includes anticipated referrals
– The physician cannot ask another physician to refer
for him/her
– A referral by a physician for DHS that is performed
or provided by the referring physician is NOT a
referral
Four Part Analysis
3) Is the referral for DHS?
– 11 categories (next slide)
– Remember that everything billed by a
hospital = DHS
Designated Health Services
(DHS)
1. clinical laboratory services
2. occupational therapy
services
3. radiation therapy services
and supplies
4. parenteral and enteral
nutrients
5. equipment and supplies,
home health services
6. inpatient and outpatient
hospital services
7. physical therapy services
8. radiology services
9. durable medical
equipment and supplies
10. prosthetics, orthotics and
prosthetic devices and
supplies
11. outpatient prescription
drugs
Four Part Analysis
4) Is the DHS payable by Medicare?
What About Medicaid?
• There is room for argument about whether violation of
the Stark Law directly renders claims to Medicaid
illegal.
• There were once CMS proposed rules to cause Stark
to apply to Medicaid payment but they were never
finalized.
• Many states have a “mini-Stark Law” that mimics the
Stark Law for Medicaid.
• DOJ and several courts have taken the position that
the Stark Law does apply to Medicaid for the purpose
of False Claims Act allegations.
− In other words, billing Medicaid pursuant to an arrangement that is
illegal under Stark is a false claim to Medicaid.
Basic Stark Law Analysis
• If the answers to all four questions are
YES, then Stark is violated.
• Unless the financial relationship between
the referring physician and DHS entity
meets one of Stark’s exceptions.
Stark Exceptions
• Need to meet the right “category” of exception
• Compensation exceptions (e.g., FMV, PSA, Lease)
generally require:
– FMV, flat-rate payments
– Signed, written arrangement (2016 update - no formal
contract needed)
– At least one year term (2016 update – does not have to be
express)
– Commercially reasonable deal
– Terms that are “set in advance” (no retroactive deals)
• Ownership and Combo exceptions
– In-office ancillary service exception is main one used by
groups
– Rural provider exception for non-metro areas
Common Stark Exceptions
• Fair Market Value Compensation
• Bona Fide Employment Arrangement*
• Physician Recruitment
• Nonmonetary Comp/ MS Incidental Benefits*
• In Office Ancillary Services
• Rental of Office Space or Equipment
• Personal Services Arrangement
• Payments by a Physician*
• Isolated Transactions*
• EHR Donations
* No need for signed, written documents
Stark Penalties
• Good News: No Criminal Penalties
• Bad News: Substantial Civil Penalties
– Denial/Repayment of Prohibited Claims
during Period of Disallowance (see next
slide)
– Civil Monetary Penalties ($15,000/claim for
knowing; $100,000 for circumvention)
– False Claims Act (treble damages)
– Monetary and exclusion for physicians
(knowing violations)
The Period of Disallowance
• The period during which a compensation
arrangement is out of compliance with Stark.
• The period of disallowance begins at the time
the relationship fails to satisfy the requirements
of an exception.
• Period of disallowance continues until:
– The arrangement is brought into compliance.
– Any excess compensation is repaid by physician(s).
– The hospital repays Medicare or discloses under
SRDP.
Recent Changes
to the Stark Law –
Good Ones!
22
Writing Requirement (Softened)
• Most Stark exceptions require the
arrangement to be in a signed writing.
• In 2016, CMS loosened up this
requirement such that lack of a "formal
contract" will not be a problem provided
that there are contemporaneous
documents evidencing the course of
conduct.
• A collection of documents is okay.
Examples of Appropriate
Documents Evidencing a Writing
• Board minutes
• Time sheets
• Emails or handwritten communications between the
parties.
• Fee schedules for specified services.
• Check requests or invoices identifying services, dates
and compensation.
• Call coverage schedules (or similar) evidencing
service coverage.
• Accounts payable or check records for specified items
or services.
Writing - Signature Requirements
• Signature is required on a contemporaneous
writing documenting the arrangement.
• A signed writing must clearly relate to the other
documents in a collection and to the underlying
arrangement.
• Lack of signature okay for 90 days now,
regardless of whether it was "inadvertent"
(every 3 years – per physician).
Writing - Timing
• A document generated or produced after
a referral is made does not provide a
basis for that (previous) referral.
• If the only documents in existence were
created after an arrangement was
created, the parties will not be able to
show that the compensation was "set in
advance."
One Year Term (Softened)
• Used to be required to be in the contract
for certain exceptions (space/ equipment
lease, personal services).
• Now if there is a collection of documents
evidencing that it did last at least one
year, that is sufficient.
Holdovers
• Indefinite holdovers are permitted
– Used to be limited to 6 months
– PSA, Lease, and FMV arrangements
– Terms and conditions cannot change
– Express holdover provision is not required,
but helpful
– Holdover arrangement must continue to
meet all elements of exception, including
FMV
Split Bill Arrangements
• Split bill arrangements do not implicate
Stark
– Hospital’s provision of space, equipment,
etc. to physician is not “remuneration” if
hospital bills TC and physician bills PC
– Global billing does trigger the Stark law
Commentary on Stark vs.
Health Reform
• CMS acknowledged disharmony between new
integrated payment/delivery structures (e.g.,
ACOs) and Stark
• Acknowledges industry’s concern that the
Stark law prohibits relationships necessary to
carry out integration necessary for health
reform
• Government is studying issue
New Exceptions
• Assistance To Compensate a Nonphysician
Practitioner
– For FQHCs, RHCs, and hospitals, there is a Stark
law exception for payment to a physician to assist
the physician with compensating a non-physician
practitioner.
• Timeshare Arrangements
– Physicians and hospitals may share space,
equipment and services, e.g., to visiting specialists
on a non-exclusive "as-needed" basis without
violating Stark (rather than traditional formal fixed
lease where "leasehold interest" is conveyed).
Internal Audits for
Potential Stark Law
Violations
32
Conducting Internal Audits
• Issues to consider prior to beginning
an audit
–e.g., attorney involvement, internal
communication/education
Conducting Internal Audits
• Stark Audit Checklist
– How to prioritize
contracts/arrangements/invoices to review
– Discuss list of items to look for when
performing audit
• E.g., does written agreement exist – has it
expired? Or fallen out of fair market value? Are
services / is space still accurately described?
Stark Traps
• Physicians with multiple relationships:
each must meet an exception
• All elements of exception must be met
• No exception for patient convenience or
de minimis payments
• “I didn’t know” or “I didn’t mean to” is not
a defense (strict liability)
Stark Traps
• Watch out for “exclusive use” requirements in
space and equipment lease exceptions
• Anything billed by hospital becomes DHS
• Contracts with no auto-renewal clause
• Long term contracts that do not adjust for FMV
changing over time
Common Stark Violations
• Above FMV transactions - windfalls to physician
• Commercially unreasonable deals
• Undocumented arrangements
• Expired or unsigned contracts (but now certain
holdovers are permitted)
• Compensation tied to referrals (per-click deals; %
compensation)
• Excessive recruitment deals to existing groups
• Deals/payments that do not match paperwork
• Expensive gifts and perks to medical staff physicians
• Retroactive contracts or price adjustments
Steps to Take if You
Identify a Potential
Stark Law Violation
38
Two Basic Response Options to
Suspected Stark Violation
1) Do nothing if no clear violation is found
– Bona fide arguments of compliance?
2) Self report and repay if violation is found
– Directly to Medicare contractor
– To CMS under Stark Self-Referral Disclosure
Protocol
• 60-day “clock” starts once violation is
“identified”
Self-Referral Disclosure Protocol
• The SRDP was established by the ACA.
• The SRDP is essentially a process to enable providers
to self-disclose actual or potential violations of Stark
(only).
• SRDP lists factors that CMS may consider in reducing
the amounts owed by a disclosing party, but states:
“CMS is not obligated to reduce any amounts due and
owing.”
• Benefits of self-disclosure:
– Possibility of reduced penalties.
– Avoidance of exclusion as part of a settlement.
– Potential protection from a viable qui tam whistleblower action.
Self-Referral Disclosure Protocol
– Four year look back (may be changing to 6
years).
– Detailed submission required – with
compliant contracts and estimated
overpayment.
– CMS calculates repayment amount.
– No appeal; open house to regulators.
– Hope, but no promise of reduced
repayment.
– Clearly stops 60 day clock.
After Settlement, You Still Have
More To Do!
– Deal with patient copayments
– Assess Medicaid repayment
– Think about AKS violations
– Think about IRS implications
– Get everything compliant going forward (the
contracts already should be there by the
time of SRDP)
– Communicate with accountants relating to
audited financials/ cost report
Questions?
Sarah E. Coyne
Quarles & Brady LLP
33 E. Main Street
Madison, WI 53703-3095
(608) 283-2435
sarah.coyne@quarles.com
Leah M. McNeely
Quarles & Brady LLP
33 E. Main Street
Madison, WI 53703-3095
(608) 283-2412
leah.mcneely@quarles.com
© 2015 Quarles & Brady LLP - This document provides information of a general nature. None of the
information contained herein is intended as legal advice or opinion relative to specific matters, facts,
situations or issues. Additional facts and information or future developments may affect the subjects
addressed in this document. You should consult with a lawyer about your particular circumstances
before acting on any of this information because it may not be applicable to you or your situation.

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The Stark Law: A Proactive Practical Approach to Internal Audit

  • 1.
  • 2. The Stark Law: A Proactive Practical Approach to Internal Audit January 25, 2017
  • 3. The Plan for Today • Stark Law Refresher – Overview on the Stark law – Recent changes to the Stark law • Internal audits – Tips for identifying potential Stark law violations – Discussion of Stark audit checklist • What to do if an audit identifies potential Stark law violations?
  • 5. Stark Physician Self-Referral Law • 42 U.S.C. § 1395nn; 42 C.F.R. § 411.350 et seq. • Basic Prohibition: Physicians may not make referrals for certain designated health services (DHS) payable by Medicare to an entity with which the physician or an immediate family member has a financial relationship…. UNLESS AN EXCEPTION APPLIES!! • Strict liability – no bad intent needed
  • 6. Four Part Analysis • There is a four part analysis to determine whether an arrangement violates the Stark Law. • If the answer to each of the four questions is "yes," the Stark law is violated, unless an exception applies.
  • 7. Four Part Analysis 1) Is there a financial relationship between the referring physician and DHS Entity? – Financial Relationships: • Ownership (stock, LLC membership, secured debt, etc.) • Compensation (any form of remuneration or value) – Direct or indirect
  • 8. Examples of Financial Relationships • Professional Courtesy • Perks to Medical Staff Physicians • Equipment Rentals • Discounts or Freebies to Physicians • EHR Arrangements • Employment or Independent Contractor Agreements • Medical Director Agreements • Leases • Call Coverage Payments • Recruitment Packages • CME Offerings • Physician/Hospital Joint Ventures
  • 9. Four Part Analysis 1) Is there a financial relationship between the referring physician and DHS Entity? (continued) – Physician: • Doctor of Medicine or Osteopathy • Doctor of Dental Surgery (DDS) or Dental Medicine (DMD) • Podiatrist • Doctor of Optometry • Chiropractor
  • 10. Four Part Analysis 1) Is there a financial relationship between the referring physician and DHS Entity? (continued) – Relationship with physician's immediate family members also count: • husband or wife (including same-sex spouse) • birth or adoptive parent • child or sibling • step relative (parent, child, brother, sister) • in-laws (father/mother, son/daughter, brother/ sister) • grandparent or grandchild and spouse of a grandparent or grandchild
  • 11. Four Part Analysis 1) Is there a financial relationship between the referring physician and DHS Entity? (continued) • An “entity” is the person or organization that “furnishes” DHS Entity means: – A physician’s medical practice – A practice of multiple physicians – Any organization (or person) furnishing DHS • Furnishing DHS – performing the DHS or presenting the claim to Medicare for DHS even if the right to payment has been reassigned • Examples: Hospitals, Group Practices, Clinical Labs
  • 12. Four Part Analysis 2) Did the physician make a referral for DHS? – Broadly defined – Request, Order, Plan of Care, Cert, Recert, Consult – Includes anticipated referrals – The physician cannot ask another physician to refer for him/her – A referral by a physician for DHS that is performed or provided by the referring physician is NOT a referral
  • 13. Four Part Analysis 3) Is the referral for DHS? – 11 categories (next slide) – Remember that everything billed by a hospital = DHS
  • 14. Designated Health Services (DHS) 1. clinical laboratory services 2. occupational therapy services 3. radiation therapy services and supplies 4. parenteral and enteral nutrients 5. equipment and supplies, home health services 6. inpatient and outpatient hospital services 7. physical therapy services 8. radiology services 9. durable medical equipment and supplies 10. prosthetics, orthotics and prosthetic devices and supplies 11. outpatient prescription drugs
  • 15. Four Part Analysis 4) Is the DHS payable by Medicare?
  • 16. What About Medicaid? • There is room for argument about whether violation of the Stark Law directly renders claims to Medicaid illegal. • There were once CMS proposed rules to cause Stark to apply to Medicaid payment but they were never finalized. • Many states have a “mini-Stark Law” that mimics the Stark Law for Medicaid. • DOJ and several courts have taken the position that the Stark Law does apply to Medicaid for the purpose of False Claims Act allegations. − In other words, billing Medicaid pursuant to an arrangement that is illegal under Stark is a false claim to Medicaid.
  • 17. Basic Stark Law Analysis • If the answers to all four questions are YES, then Stark is violated. • Unless the financial relationship between the referring physician and DHS entity meets one of Stark’s exceptions.
  • 18. Stark Exceptions • Need to meet the right “category” of exception • Compensation exceptions (e.g., FMV, PSA, Lease) generally require: – FMV, flat-rate payments – Signed, written arrangement (2016 update - no formal contract needed) – At least one year term (2016 update – does not have to be express) – Commercially reasonable deal – Terms that are “set in advance” (no retroactive deals) • Ownership and Combo exceptions – In-office ancillary service exception is main one used by groups – Rural provider exception for non-metro areas
  • 19. Common Stark Exceptions • Fair Market Value Compensation • Bona Fide Employment Arrangement* • Physician Recruitment • Nonmonetary Comp/ MS Incidental Benefits* • In Office Ancillary Services • Rental of Office Space or Equipment • Personal Services Arrangement • Payments by a Physician* • Isolated Transactions* • EHR Donations * No need for signed, written documents
  • 20. Stark Penalties • Good News: No Criminal Penalties • Bad News: Substantial Civil Penalties – Denial/Repayment of Prohibited Claims during Period of Disallowance (see next slide) – Civil Monetary Penalties ($15,000/claim for knowing; $100,000 for circumvention) – False Claims Act (treble damages) – Monetary and exclusion for physicians (knowing violations)
  • 21. The Period of Disallowance • The period during which a compensation arrangement is out of compliance with Stark. • The period of disallowance begins at the time the relationship fails to satisfy the requirements of an exception. • Period of disallowance continues until: – The arrangement is brought into compliance. – Any excess compensation is repaid by physician(s). – The hospital repays Medicare or discloses under SRDP.
  • 22. Recent Changes to the Stark Law – Good Ones! 22
  • 23. Writing Requirement (Softened) • Most Stark exceptions require the arrangement to be in a signed writing. • In 2016, CMS loosened up this requirement such that lack of a "formal contract" will not be a problem provided that there are contemporaneous documents evidencing the course of conduct. • A collection of documents is okay.
  • 24. Examples of Appropriate Documents Evidencing a Writing • Board minutes • Time sheets • Emails or handwritten communications between the parties. • Fee schedules for specified services. • Check requests or invoices identifying services, dates and compensation. • Call coverage schedules (or similar) evidencing service coverage. • Accounts payable or check records for specified items or services.
  • 25. Writing - Signature Requirements • Signature is required on a contemporaneous writing documenting the arrangement. • A signed writing must clearly relate to the other documents in a collection and to the underlying arrangement. • Lack of signature okay for 90 days now, regardless of whether it was "inadvertent" (every 3 years – per physician).
  • 26. Writing - Timing • A document generated or produced after a referral is made does not provide a basis for that (previous) referral. • If the only documents in existence were created after an arrangement was created, the parties will not be able to show that the compensation was "set in advance."
  • 27. One Year Term (Softened) • Used to be required to be in the contract for certain exceptions (space/ equipment lease, personal services). • Now if there is a collection of documents evidencing that it did last at least one year, that is sufficient.
  • 28. Holdovers • Indefinite holdovers are permitted – Used to be limited to 6 months – PSA, Lease, and FMV arrangements – Terms and conditions cannot change – Express holdover provision is not required, but helpful – Holdover arrangement must continue to meet all elements of exception, including FMV
  • 29. Split Bill Arrangements • Split bill arrangements do not implicate Stark – Hospital’s provision of space, equipment, etc. to physician is not “remuneration” if hospital bills TC and physician bills PC – Global billing does trigger the Stark law
  • 30. Commentary on Stark vs. Health Reform • CMS acknowledged disharmony between new integrated payment/delivery structures (e.g., ACOs) and Stark • Acknowledges industry’s concern that the Stark law prohibits relationships necessary to carry out integration necessary for health reform • Government is studying issue
  • 31. New Exceptions • Assistance To Compensate a Nonphysician Practitioner – For FQHCs, RHCs, and hospitals, there is a Stark law exception for payment to a physician to assist the physician with compensating a non-physician practitioner. • Timeshare Arrangements – Physicians and hospitals may share space, equipment and services, e.g., to visiting specialists on a non-exclusive "as-needed" basis without violating Stark (rather than traditional formal fixed lease where "leasehold interest" is conveyed).
  • 32. Internal Audits for Potential Stark Law Violations 32
  • 33. Conducting Internal Audits • Issues to consider prior to beginning an audit –e.g., attorney involvement, internal communication/education
  • 34. Conducting Internal Audits • Stark Audit Checklist – How to prioritize contracts/arrangements/invoices to review – Discuss list of items to look for when performing audit • E.g., does written agreement exist – has it expired? Or fallen out of fair market value? Are services / is space still accurately described?
  • 35. Stark Traps • Physicians with multiple relationships: each must meet an exception • All elements of exception must be met • No exception for patient convenience or de minimis payments • “I didn’t know” or “I didn’t mean to” is not a defense (strict liability)
  • 36. Stark Traps • Watch out for “exclusive use” requirements in space and equipment lease exceptions • Anything billed by hospital becomes DHS • Contracts with no auto-renewal clause • Long term contracts that do not adjust for FMV changing over time
  • 37. Common Stark Violations • Above FMV transactions - windfalls to physician • Commercially unreasonable deals • Undocumented arrangements • Expired or unsigned contracts (but now certain holdovers are permitted) • Compensation tied to referrals (per-click deals; % compensation) • Excessive recruitment deals to existing groups • Deals/payments that do not match paperwork • Expensive gifts and perks to medical staff physicians • Retroactive contracts or price adjustments
  • 38. Steps to Take if You Identify a Potential Stark Law Violation 38
  • 39. Two Basic Response Options to Suspected Stark Violation 1) Do nothing if no clear violation is found – Bona fide arguments of compliance? 2) Self report and repay if violation is found – Directly to Medicare contractor – To CMS under Stark Self-Referral Disclosure Protocol • 60-day “clock” starts once violation is “identified”
  • 40. Self-Referral Disclosure Protocol • The SRDP was established by the ACA. • The SRDP is essentially a process to enable providers to self-disclose actual or potential violations of Stark (only). • SRDP lists factors that CMS may consider in reducing the amounts owed by a disclosing party, but states: “CMS is not obligated to reduce any amounts due and owing.” • Benefits of self-disclosure: – Possibility of reduced penalties. – Avoidance of exclusion as part of a settlement. – Potential protection from a viable qui tam whistleblower action.
  • 41. Self-Referral Disclosure Protocol – Four year look back (may be changing to 6 years). – Detailed submission required – with compliant contracts and estimated overpayment. – CMS calculates repayment amount. – No appeal; open house to regulators. – Hope, but no promise of reduced repayment. – Clearly stops 60 day clock.
  • 42. After Settlement, You Still Have More To Do! – Deal with patient copayments – Assess Medicaid repayment – Think about AKS violations – Think about IRS implications – Get everything compliant going forward (the contracts already should be there by the time of SRDP) – Communicate with accountants relating to audited financials/ cost report
  • 43. Questions? Sarah E. Coyne Quarles & Brady LLP 33 E. Main Street Madison, WI 53703-3095 (608) 283-2435 sarah.coyne@quarles.com Leah M. McNeely Quarles & Brady LLP 33 E. Main Street Madison, WI 53703-3095 (608) 283-2412 leah.mcneely@quarles.com
  • 44. © 2015 Quarles & Brady LLP - This document provides information of a general nature. None of the information contained herein is intended as legal advice or opinion relative to specific matters, facts, situations or issues. Additional facts and information or future developments may affect the subjects addressed in this document. You should consult with a lawyer about your particular circumstances before acting on any of this information because it may not be applicable to you or your situation.