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CMS Medicaid Integrity Program

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Atlanta: Regions 3,4. Dallas: Regions 6,8. Chicago: Regions 5,7. San Francisco: Regions 9,10 ... Fox Systems, Inc., Scottsdale, AZ. Health Integrity, LLC, Easton, MD ... – PowerPoint PPT presentation

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Title: CMS Medicaid Integrity Program


1
CMS MedicaidIntegrity Program
2
Agenda
  • Overview of Medicaid Integrity Program
  • Medicaid Integrity Group
  • Task Orders
  • Program Specifics
  • Questions/Discussion

3
Overview of Medicaid Integrity Program
  • Established via the Deficit Reduction Act of 2005
    (DRA) Section 6034, signed into law February 8,
    2006
  • Directs HHS to enter into contracts to carry out
    programs activities, including
  • Review of actions of individuals or entities
    furnishing items for services for which Medicaid
    payments were made
  • Audit of claims for payment for items or services
    rendered for which a Medicaid payment was made
  • Education of service providers, managed care
    entities and beneficiaries

4
Overview of Medicaid Integrity Program
  • Medicaid Integrity Group (MIG) established under
    the CMSO
  • Substantially increased funding dedicated to
    Medicaid program integrity efforts
  • Provided 255M in mandatory MIP funding (not
    subject to annual appropriations) over 5 years
  • 75M per year after five years
  • Additional 25M annually to HHS OIG

5
Overview of Medicaid Integrity Program
  • Required CMS to hire 100 new employees to help
    protect Medicaid program integrity by providing
    effective support and assistance to states to
    combat provider fraud and abuse
  • 79 FTEs to MIG
  • 21 FTEs to PERM/Medi-Medi Group
  • Gave CMS authority hire contractors to help deal
    with Medicaid fraud and abuse
  • Required CMS to develop Comprehensive Medicaid
    Program Integrity Plan (CMIP) every five years
    and to report on the programs effectiveness
    annually

6
Overview of Medicaid Integrity Program
  • Calls MIP the first national strategy to detect
    and prevent fraud and abuse in the programs
    history
  • Outlines four key principles for carrying out MIP
  • National leadership
  • Accountability for the program integrity
    activities of CMS and its contractors
  • Collaboration with internal/external partners and
    stakeholders
  • Flexibility to deal with the changing nature of
    Medicaid fraud
  • Efforts will yield significant savings to help
    sustain the program

7
Overview of Medicaid Integrity Program
Other DRA Provisions Include
  • National expansion of Medi/Medi program
  • 180M in funding over five years12M in FY06 up
    to 60M in FY11
  • Creates incentives for states to enact FCA laws
    by allocating a larger share of recoveries from
    false claims cases to states

8
Medicaid Integrity Group (MIG)
  • Office of Group Director
  • Oversees activities of the MIG
  • Division of Medicaid Integrity Contracting
  • Oversees procurements, evaluation and oversight
    of MICs
  • Division of Fraud Research and Detection
  • Identifies fraud patterns/trends, reports
    information to MICs and States
  • Division of Field Operations
  • Approx. 40 field staff located in NYC, Chicago,
    Atlanta, Dallas, and San Francisco
  • Conducts PI review of States
  • Provides support and assistance to States related
    to PI matters

9
Medicaid Integrity Contractors (MICs)
  • Three types
  • Review of Provider MICWorking with Division of
    Fraud Research and Detection, uses Medicaid
    claims data to identify potentially fraudulent
    claims and supply leads to Audit MIC
  • Audit MICConduct desk and field audits, identify
    overpayments, fraud referrals. Not involved in
    collection of overpayments
  • Education MICEducation of service providers,
    managed care entities, beneficiaries, and other
    individuals w/r/t program integrity and benefit
    quality assurance issues
  • Review of Provider and Audit MICs umbrella
    contracts (five each) were awarded in December of
    2007
  • Umbrella contracts allow MICs to bid on
    individual task orders

10
MIC Jurisdictions/Regional Offices
Chicago Regions 5,7
San Francisco Regions 9,10
Also CNMI, Guam, American Samoa
New York Regions 1,2
Atlanta Regions 3,4
Dallas Regions 6,8
11
Audit MIC Contractors
  • Health Management Systems, Inc., New York, NY
  • Booz Allen Hamilton Inc, Rockville, MD(awarded
    Task Order 0001)
  • Fox Systems, Inc., Scottsdale, AZ
  • Health Integrity, LLC, Easton, MD
  • Island Peer Review Organization, Lake Success, NY

12
Review of Provider Contractors
  • Safeguard Services, LLC, Plano, TX
  • IMS Government Solutions, Falls Church, VA
  • AdvanceMed Corp, Rockville, MD
  • division of CSC, Inc.
  • The Medstat Group, Inc., Ann Arbor, MI
  • division of Thomson Healthcare
  • ACS Healthcare Analytics, Washington DC
  • division of ACS, Inc.

13
Task Order 0001
  • Awarded in April 2008
  • Audit MIC Awarded to Booze Allen Hamilton
  • Review of Provider MIC Awarded to AdvanceMed

States include Pennsylvania Maryland Delaware Was
hington DC Virginia West Virginia North Carolina
South Carolina Georgia Alabama Mississippi Tenness
ee Florida Kentucky
Approximately 10,000 audits projected
14
Task Order 0002
Awarded to HMS in September 2008
States include Texas New Mexico Oklahoma Arkansas
Louisiana
Colorado Utah North Dakota South
Dakota Wyoming Montana
Approximately 2,500 to 10,000 audits depending
on award level
15
Program Specifics
  • MIC are to enter Joint Operating Agreements with
    States to clearly define respective roles and
    responsibilities of contractors and third
    parties.
  • Audit MIC contractor receives leads from
    CMS/Review of Provider MIC
  • CMS to ensure that no ongoing investigations are
    underway for audit targets
  • Audit MIC contractors make referrals of potential
    fraud to OIG and CMS simultaneously using CMS
    provided form
  • CMS developing case management system for
    contractors to utilize for managing audit
    activity

16
Program Specifics
  • CMS developed detailed Audit Protocols for Audit
    MICs to utilize when conducting audits
  • Includes CMS, state, and provider notification
    instructions and templates
  • Audits will cover all FFS providers no managed
    care/encounter data auditing in the initial
    period
  • Audit targets include

Physicians/ Practitioners Home Health/Skilled
Nursing Hospice Hospital Nursing Facility/
Nursing Home
Renal Dialysis DME Transportation/
Ambulance Labs/ X-ray Pharmacy
17
Program Specifics
  • Audit types include

Focused Desk vast majority Focused
Field Comprehensive Cost Report
  • The MIC will initiate and conduct audit per GAGAS
  • Audit results will be shared with states for
    input before final notice to providers
  • The MIC is to assist states in overpayment
    recovery, including necessary resources for state
    level appeal

16
18
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