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VHA and VISN 21 Compliance

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VA Palo Alto Health Care System (650) 493-5000 Ext. 63315. Caroline.Chaderjian_at_va.gov ... Coders are responsible for assigning and validating procedural & diagnostic ... – PowerPoint PPT presentation

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Title: VHA and VISN 21 Compliance


1
VHA and VISN 21 Compliance Business Integrity
(CBI) Program
  • Mandatory Training for Contractors

  • Prepared March 2007

2
Compliance Officers
  • Jane Dutton Morris, MHA
  • Compliance Specialist, Sierra Pacific Network
  • (707) 562-8377
  • Jane.Dutton2_at_.va.gov
  • Yvonne Brooks, CCP
  • Compliance Officer
  • VA San Francisco Medical Center
  • (415) 221-4810 Ext. 4398
  • Yvonne.Brooks_at_med.va.gov
  • Caroline Chaderjian, MHA
  • Compliance Officer
  • VA Palo Alto Health Care System
  • (650) 493-5000 Ext. 63315
  • Caroline.Chaderjian_at_va.gov
  • Patty Almond, RHIT, CPC
  • Compliance Officer

3
Compliance Officers- continued
  • Patricia Moran, RHIT CPC
  • Compliance Officer
  • VA Northern California Health Care System
  • (707)437-1905
  • Patricia.Moran_at_va.gov
  • Peggy Ashcraft
  • Compliance Officer
  • VA Sierra Nevada Health Care System
  • (775)328-1212
  • MargaretPeggy.Ashcraft_at_med.va.gov
  • Craig Oswald, MHA
  • VA Pacific Islands Health Care System
  • (808)433-0103
  • Craig Oswald_at_med.va.gov

4
VHA Definition of Compliance
  • Compliance is an oversight process which
    requires employees and contractors to conduct
    administrative and clinical duties in an honest,
    ethical and professional manner.
  • Behavior that is not consistent with ethical
    business practices places Veterans Health
    Administration (VHA) facilities at risk for
    penalties, negative publicity and loss of public
    trust.

5
VHAs Compliance Program
  • Currently the VHAs Compliance Business
  • Integrity program focuses on the
  • REVENUE CYCLE to include the following
  • business operations
  • 1) Patient registration intake
  • 2) Medical documentation
  • 3) Coding for medical procedures visits
  • 4) Billing for services provided
  • 5) Collections from insurance companies

6
Purpose of VHA Compliance Program
  • Ensure business operations comply with relevant
    laws, rules and regulations
  • Promote ethical practices and standards of
    excellence in patient care
  • Help VHA maintain the publics trust.

7
Effective Compliance Program
  • An Effective Compliance Program Has 7 Elements
  • 1. Designating Compliance Officer Committee
  • 2. Written Policies and Procedures
  • 3. Education and Training
  • 4. Auditing and Monitoring
  • 5. Reporting Mechanisms
  • 6. Investigation and Remediation
  • 7. Disciplinary Action

8
Medical Documentation, Coding Billing by
Contractors
  • Physicians or healthcare providers are
    responsible for completely and accurately
    documenting patient care services.
  • Coders are responsible for assigning and
    validating procedural diagnostic codes based on
    provider documentation.
  • Billers are responsible for generating timely,
    accurate and appropriate bills based on veterans
    eligibility and the service provided.
  • Accurate and complete services reduce the
    negative
  • consequences associated with fraud and maximize
  • reimbursement from insurance companies
  • which, in turn, allows
  • VHA to provide more services to our patients.

9
Open Lines of Communication
The VA has a Reporting Mechanism called CBI
Helpline The telephone number for the CBI
Helpline is 1-866-842-4357
10
CBI Helpline- continued
  • The CBI Helpline is available Monday
    through Friday from 800 to 4300, EST. Anyone
    internal or external to the VA (this includes
    employees, patients or contractors) may call the
    CBI Helpline number to report potential
    compliance failures.
  • The caller may remain anonymous.

11
HIGH RISK AREA
  • A high risk area is a clinical or business
    activity that may be
  • unethical, illegal, a conflict of interest or in
    violation of national and
  • local policies procedures.
  • Employees and contractors should
  • Be aware of high risk areas concerning VHA
  • Not engage in fraud or abuse against VHA
  • Take appropriate actions- report all
    potential
  • compliance failures to the VHA
    facility Compliance
  • Officer and/or the CBI Helpline.

12
EXAMPLES of High Risks
  • Fraudulent Coding Up-coding (using higher
    codes) to get higher
  • reimbursement from 3rd party insurance companies.
  • Erroneous Billing Billing for services not
    provided to the patient
  • Billing for Services Provided by Residents
    (physicians in training) without
  • adequate supervision by a credentialed physician.
  • Providing Medically Unnecessary Services
    Providing services that the
  • patient does not need or may cause the harm to
    the patient.
  • Failure to Report a Suspected Compliance
    Violation knowing about a
  • potential compliance failure and not reporting it.

13
EXAMPLES of High Risks (continued)
  • Failure to Exert Due Diligence Contracting with
    individuals or
  • companies that have a propensity to engage in
    illegal activities.
  • Kickback Soliciting or receiving payment / gifts
    in return for referring a
  • patient to another healthcare provider or for
    conducting business with a
  • certain entity.
  • Appearing on the OIG Sanction List Sanctioned
    individuals, entities,
  • contractors listed on the Office of inspector
    Generals (OIG) Exclusionary
  • List Database cannot receive payments from any
    federal healthcare
  • programs for services furnished.

14
Identifying Reporting High Risk Areas
  • STEP 1 Ask yourself some key questions
  • Does the action fit with the organizations
    values?
  • Would you feel good about yourself if you did it?
  • Would you be comfortable discussing this with
    your family and friends?
  • If you answer no to any of these questions, you
    should go to the next step.
  • STEP 2 Discuss your concern with the
    facility Compliance Officer and/or call the CBI
    Help-Line at 1-866-842-4357

15
Federal Employee and Contractor
Responsibilities
  • 1. Contractors should not offer gifts to federal
    employees and federal employees should not accept
    gifts from entities that do business or are
    attempting to do business with the organization
  • 2. Federal employees should excuse themselves
    from activities in which they might have a
    financial interest
  • 3. Federal employees must remain impartial in
    conducting official duties.

16
SUMMARY
  • Compliance is Everybodys Responsibility
  • Know who the Compliance Officers are
  • and how to contact them
  • Follow your own best instincts
  • Do your job ethically legally
  • Be honest in all business transactions/ and
    contracts / awards.
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