The Health Care Compliance Association s 16th Annual Compliance Institute. April, 29 May 2, 2012

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A Practical Approach to Conducting Stark Audits of Hospital-Physician Arrangements The Health Care Compliance Association s 16th Annual Compliance Institute April, 29 May 2, 2012 Gary W. Herschman, Esq. Chair, Health Care Practice Group The Legal Center One Riverfront Plaza Newark, NJ 07102 (973) 643-5097 gherschman@sillscummis.com Overview 1. Brief summary of key Stark exceptions 2. Why conduct an audit of physician arrangements? Enforcement initiatives Impact of the Health Care Reform Law Other compliance-related issues 3. Pre-audit considerations 1 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 1 1

Overview (Cont d) 4. The process and strategy for audits Attorney-Client privilege? Hospital managers and internal politics Audit priorities Audit steps and plan of action 5. Common issues found and possible solutions (lessons learned; war stories) 6. Recommended process for avoiding compliance issues 2 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 2 Summary of Key Exceptions Threshold issues: Is there a physician referral to the hospital? (if so, almost always = Medicare/Medicaid DHS) Does the physician have a financial relationship with the hospital? Ownership interest Compensation arrangement both ways: Items/services provided by physician to hospital Items/services provided by hospital to physician 3 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 3 2

Overview of Common Exceptions If ownership by physicians different exceptions and analysis Key exceptions for compensation type financial arrangements: Rental of Office Space/Equipment Personal Service Arrangements FMV Compensation Indirect Compensation Arrangements 4 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 4 Stark Exceptions: Common Requirements 1. In writing, signed by the parties, and specifies services or property covered 2. Compensation is set in advance and consistent with FMV 3. Does not take into account the volume or value of referrals or other business generated between the parties 4. Would be commercially reasonable even if no referrals were made between the parties 5 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 5 3

Is there an Indirect Compensation Arrangement? Does it vary based on physician referrals to the hospital? Physician Ownership & Compensation Physician Group Compensation HOSPITAL Physician as Owner of Group 6 Presentation Title 6 Is there an Indirect Compensation Arrangement? Does it vary based on physician referrals to the hospital? Physician Employment Compensation Physician Group Compensation HOSPITAL Physician as Employee (Non-Owner) 7 Presentation Title 7 4

Indirect Compensation Exception Stand in the Shoes Doctrine: A physician owner is deemed to stand in the shoes of his medical group if the only entity between the physician and the hospital is the group Effective: December 2007 Result: physicians that previously relied on the absence of indirect compensation (or meeting the indirect exception) may now need to rely on a direct compensation exception 8 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 8 Why Conduct an Audit? Recent Enforcement Activity 1. Halifax Hospital Medical Center http://www.justice.gov/opa/pr/2011/september/11-civ-1162.html 2. Cayuga Medical Center http://www.justice.gov/usao/nyn/news/1561-3073-2777472.pdf 3. Detroit Medical Center http://www.justice.gov/opa/pr/2010/december/10-civ-1484.html 4. Select Medical Corporation http://oig.hhs.gov/fraud/cia/agreements/select_medical_corporation_0831201 1.pdf 5. Rush University Medical Center http://www.justice.gov/opa/pr/2010/march/10-civ-240.html 9 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 9 5

1. Halifax Hospital Medical Center United States partially intervened in False Claims Act suit against Halifax Hospital Medical Center Alleges contracts with nine physicians violated Stark Law Six medical oncologists were paid kickbacks in the form of incentive compensation pool (profit sharing) Three neurosurgeons compensation above FMV/commercially unreasonable Qui tam plaintiff (Director of physician services) Suit pending (November 2011 DOJ intervention complaint) 10 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 10 2. Cayuga Medical Center Entered into improper physician recruitment agreements with various medical practices Paid for unpermitted expenses Improperly extended a recruitment agreement Voluntarily disclosed additional improper recruitment agreements Qui tam plaintiff (Plastic surgeon from Ithaca) Settlement = $3.57 million ($560k to relator) 11 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 11 6

3. Detroit Medical Center Voluntary disclosure to United States in connection with sale to Vanguard Health Systems Entered into improper financial arrangements with physicians Failed to have written, fully executed leases Failed to have written, fully executed financial arrangements Financial arrangements not FMV/commercially reasonable. Provided impermissible business courtesies to physicians Provided signage and/or advertising and biographical materials not FMV/commercially reasonable Used improper billing codes Settlement = $30 million (determined based on ability to pay) 12 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 12 4. Select Medical Corporation Paid physicians for no-show medical directorships Settlement = $7.5 million ($1.3 million to relator) Quit tam plaintiff (former regional director of provider relations) Five year Corporate Integrity Agreement 13 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 13 7

5. Rush University Medical Center Entered into improper office lese arrangments with individual physicians and physician groups Failed to have written, fully executed leases Made rent concessions to physicians Failed to collect rent timely and regularly Qui tam plaintiffs Orthopedic surgeon on medical staff; and Former Director of Real Estate for hospital Settlement = $1.5 million ($270K to plaintiffs) 14 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 14 New Health Care Reform Law Impact on Enforcement Easier to enforce (fewer defenses) Anti-Kickback Statute No specific intent required Kickback violation constitutes a false claim FCA Revised public disclosure/original source provisions More funding Bi-Partisan support for anti-fraud, unlikely repeal 15 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 15 8

New Health Care Reform Law Additional Program Integrity Measures Overpayment liability Must report/return overpayments within 60 days after the overpayment is identified Failure may result in FCA liability Enhanced Penalties Expansion of RAC program Self-Referral Disclosure Protocol 16 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 16 THE BIGGER PICTURE Increased Funding and Success Health Reform $300 million+ FY 2013 Budget Proposal $1.9 Billion Since 1997 $21 Billion Return-on-Investment 5 to 1 RECORD RECOVERY 2011 Recovery $4.1 Billion 17 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 17 9

Other Reasons to Audit Physician Arrangements Demonstrate effectiveness of Compliance Program Long-Term Savings Avoid penalties Avoid overpaying physicians Avoid freebies to physicians Related IRS tax-exempt compliance 18 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 18 Pre-Audit Considerations Cost of Audit Management time (CO, GC, Finance, Mgmt.) Cost of vendors (attorneys, auditors, etc.) Ability to follow through. New procedures? Internal political issues Dealing with physicians 19 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 19 10

The Process of Conducting an Audit of Physician Arrangements Step One: Decide if the audit should be part of an internal investigation at the direction of outside legal counsel Considerations: Protection of Attorney-Client Privilege Cost issues? Hourly vs. flat fee vs. hybrid fee arrangements Internal politics 20 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 20 Audit Process (Cont d) Step Two: Determine Audit Priorities Top Tier ( lowest lying fruit for enforcement) No Written Agreement Ever Free Space/Services; No Show Positions Second Tier ( low lying fruit ) Expired Agreements and Leases Clearly Not FMV/Commercially Reasonable 21 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 21 11

Audit Process (Cont d) Third Tier: Compliance with 2008 Stark changes Per click & percentage-based payments Under arrangement restrictions Physician recruitment requirements 22 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 22 Audit Process (Cont d) Fourth Tier: Compliance with agreement terms Performing all duties? Number of hours? Time logs? Paying as per terms of agreement (increases, etc.)? Physician recruitment - ongoing compliance with terms (e.g., only incremental costs, etc.)? JVs pro rata distributions; 1/3 rules; referral limits? 23 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 23 12

Audit Process (Cont d) Step 3: Gather Facts Gather Contracts & Triage 24 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 24 Audit Process (Cont d) Priority 1.A.: Non-employed physicians (no written agreement; no show positions) Finance Dep t computerized list of 1099 payments to physicians/groups, and accounts payable list of payments to physician groups/entities (time period?) Triage Initial Focus: Was there ever a written agreement? Compare to physician arrangement database Review all agreements and other writings Are there any no show positions? 25 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 25 13

Audit Process (Cont d) Priority 1.B.: No Lease; Free Rent/Staff/Services/Items Obtain from managers a list of any hospital space/equipment and staff/service/items being provided to physicians for private practice Triage Initial Focus: Is hospital space, equipment, staff, services or items being provided to physicians for free/clearly below FMV? Is there a written agreement for each? 26 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 26 Audit Process (Cont d) Priority 2.A.: Expired Agreements; or Clearly not FMV Secondary Focus for 1099s and Leases: Are the contracts expired? Are terms clearly not (no longer) FMV & commercially reasonable? ( Smell Test ) Have the duties/hours changed substantially? Are there overlapping duties? Has the space changed substantially? IRS misclassification initiative Independent Contractor vs. Employee 27 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 27 14

Audit Process (Cont d) Priority 2.B.: Employed Physicians; Clearly not FMV Finance Dep t computerized W-2 run payments to all physician employees (time period?) Triage: Initial focus on part-time employees (then full-time) Are terms clearly not (no longer) FMV ( smell test ) Have the duties/hours changed substantially? Are there overlapping duties? 28 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 28 Audit Process (Cont d) Priority 3: Regulatory Changes Review arrangements for compliance with 2008 Stark law regulatory changes Identify any per click and percentage-based arrangements Identify any under arrangements Review physician recruitment deals Joint Commission (LD 3.50) Monitor and oversee services by outside providers Confirm performance of duties and quality Compliance with DRA requirements 29 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 29 15

Audit Process (Cont d) Priority 4: Compliance with Agreements Require Manager/VP with responsibility to fill out a form annually certifying: they have reviewed the contract all duties are still being performed as required there are no performance problems/issues financial terms are consistent with FMV 30 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 30 Audit Process (Cont d) Priority 4 Auditors to consider: Are all listed duties being performed? Are quality services being provided? Are detailed logs being submitted? Are hours as initially envisioned? Has the FMV of the arrangement been reviewed in the last 2-3 years? 31 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 31 16

Audit Process (Cont d) Priority 4 Auditors to consider (Cont d) Are payments being made as specified? Based on logs/duties? Bonus calculations? Has rent increased as per terms? Are pass-throughs being paid? 32 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 32 Audit Process (Cont d) Priority 4 Auditors to consider (Cont d) Income guaranties (only paying actual incremental costs, etc.) Joint ventures Are key compliance-related terms being followed Pro rata investment & distributions Two one-third rules for ASC safe harbor 40% referral limitations for other safe harbor 33 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 33 17

Audit Process (Cont d) Step 4: Implement a plan of action for arrangements with actual or potential compliance issues 34 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 34 Audit Process (Cont d) Plan of Action: 1. Immediately correct going forward Put terms into signed agreement Sign letter of extension for expired agreements/leases Sign amendment to reflect changed terms Be careful to comply with Stark law guidance regarding amendments Adjust to FMV 35 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 35 18

Audit Process (Cont d) Plan of Action (Cont d) 2. Assess risks and options for what to do about past compliance issues Bona fide arguments of compliance? Pros and cons of self-disclosure? Must report/disclose if clear fraud/violation Very complicated and fact-dependent Overpayments must be reported/returned within 60 days of identification 36 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 36 Common Issues/Solutions - Lessons Learned 1. No signed agreement Threshold issue: Is there an argument that there is no indirect compensation, and that no exception was needed? December 2007 and before if physician owners of a medical practice Maybe beyond if only physician employees of a group are involved 37 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 37 19

Common Issues/Solutions - Lessons Learned No Signed Agreement (Cont d) Else, what documents & signatures exist? Look to State law regarding whether there is a binding agreement? May not need a single document (Villafane) Temporary Noncompliance Very limited 90 days inadvertent 30 days not inadvertent 38 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 38 Common Issues/Solutions - Lessons Learned No Signed Agreement (Cont d) What to look for: Exchange of letters, emails, etc. Job descriptions, reports of services, etc. Invoices, payment requests, check requests, etc. Checks, check stubs, endorsed checks, etc. 39 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 39 20

Common Issues/Solutions - Lessons Learned 2. Expired Contracts and Leases Any argument that there is no indirect compensation? (At least up to 12/07) If not, are there any written indications of extension or continuation of terms? Implied extension based on course of dealing? May depend on State law? Not if new services or terms (Kosenske) May be limited by 6 month holdover provision Possible argument extension of arrangement that is still reflected in a signed writing 40 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 40 Common Issues/Solutions - Lessons Learned 3. New or Changed Duties/Hours Look for anything in writing confirming new or different duties or hours Exchange of letters, emails, etc. Job descriptions Reports of services, etc. Invoices, payment requests, check requests Minutes of meetings Equal swap? Same Hours? Higher value? 41 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 41 21

Common Issues/Solutions - Lessons Learned 4. No FMV Assessment; Stale Assessment Conduct internal assessment or re-assessment to ballpark figures Preferably, use outside FMV consultant $ k or more per year? Extensive/complicated arrangements Cost considerations Letter from local commercial real estate broker regarding space leases Look for bona fide argument that arrangement is FMV 42 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 42 Recommended Process for Avoiding Compliance Issues Adopt a Physician Contracting Policy Implement for all new/renewed agreements Train and hold managers accountable (initial term sheets, no log, no pay, annual manager certifications, etc.) Adopt a Stark Audit Policy Conduct select audits each year based on priorities (Don t try to do it all at once) Implement the policy that is adopted Clean up the past (else repeat issues) Be clean moving forward 43 A Practical Approach to Stark Audits of Hospital-Physician Arrangements 43 22

Questions & Answers A Practical Approach to Conducting Stark Audits of Hospital-Physician Arrangements The Health Care Compliance Association s 16th Annual Compliance Institute April, 29 May 2, 2012 Gary W. Herschman, Esq. Chair, Health Care Practice Group The Legal Center One Riverfront Plaza Newark, NJ 07102 (973) 643-5097 gherschman@sillscummis.com 23