HCCA's 21st Annual Compliance Institute
March 26-29, 2017 in National Harbor, MD
P01: P01: Large Hospital Systems
P02: Compliance Program Start Up: What Are the Basics Needed for Your Infrastructure?
P04: HIPAA Compliance That Addresses the Risks of Today and Will Grow with You in the Future
P05: Navigating the Physician Acquisition Experience
P06: False Claims Act Developments
P08: EMR, CTMS and Clinical Trial Billing Audits: How These Tools Can Help You As An Internal Auditor
P09: Strategies to Build An Effective Compliance and Ethics Program
P10: Drug Diversion Enforcement Trends, Investigation, and Prevention
P11: Minimizing Stark Law Execution Risks
P12: A Case Study: How to Conduct an Effective and Compliant Internal Investigation
P13: Laboratory Compliance-Maintaining Compliance in an Uncertain and Changing Environment
P15: Leveraging DMAIC and Active Management for Sustainable Quality Improvements
P16: Compliance Investigations 101: CO Toolbox Essentials
P17: CMS Final Rule: Reform of Requirements for Long Term Care Facilities
P18: Is Your Security Incident a Data Breach? Uncle Sam Wants to Know
P19: Compliant Physician Documentation and Coding in an Electronic Medical Record
P20: Anatomy of a False Claims Act Case: Investigation, Litigation, Negotiation, Resolution
P21: Achieving 340B Program Integrity
P22: Auditing Emerging Compliance Risk Areas
P23: Enabling Compliance Across the Organization--Toolkits for Operational Compliance
P26: Fighting for Survival: DMEPOS
P27: Academic Medical Center Compliance: Tips, Traps, and Emerging Best Practices
101: 340B Compliance: Life after a HRSA Audit and Implementing a Corrective Action Plan
102: Latest Policy & Regulatory Changes to the Medicare Appeals Process
105: The Best Approach to Design Effective Corrective Action Plans (CAP)
106: Telemedicine: Hot Compliance Issues for 2017
107: Elements of a Successful Corporate Integrity Agreement
108: Leveraging Internal Audit to Improve Quality of Care Metrics
109: Top 10 Things a Compliance Professional Needs to Know About Coding
110: Behavioral Health Compliance: It Doesn't Need to be a Mystery
111: The Former Ameritox Whistleblower and the Ameritox Compliance Officer, Together
201: Compliance Today, Effectiveness Tomorrow: The Necessary Steps to Success
202: The OIG's New CIA Form: How Your Compliance Program Can Benefit
203: Dealing with a Worthless Services Allegation
204: Successfully Resolving a Multi-Year OCR Investigation
205: Cleaning Up the Low Hanging Fruit to Protect Your Physician Practices
207: Implementing Drug Diversion Risk Rounds
208: Sampling 101: A Primer for Conducting Self Disclosure and Internal Audits
209: Yeah, but What's in It for Me? Making training and communications Impactful, Relevant and Fun!
210: Conflicts of Interest and Big Data: What Can We Learn from Large Databases of Provider Disclosures?
211: Audit Log Demands During Litigation: Response Conundrums from a Compliance Perspective
301: Compliance Challenges in the Yates Memo Era
302: The Blame Game: Accountability in Healthcare Compliance
304: Managing the Business Associate Relationship: From Onboarding to Breaches
305: Split Shared/Consulting Services...to Split Share or Consult is the Question
306: Advice of Counsel and Good Faith Reliance: Best Practices in a Risky Environment
307: Physician Arrangements: Conducting the Audit & Ensuring a Resolution
308: Auditing Compliance for Clinical Documentation and Coding: Collaboration is Key!
309: Risk: A Fundamental 4 Letter World for Compliance Professionals
401: Down the Rabbit Hole: Compliance Investigations, Corrective Action Planning, and Self-Disclosure
403: Mitigating Hot Button Risk Areas in Home Health & Hospice
404: Mobile Health (mHealth) Applications in a Health Care Environment
405: Making Compliance Work in Physician Practices
406: Federal Administrative Sanctions: Exclusion and Civil Money Penalties
407: Research Risks Assessments: What Must be Considered and Why
408: Dynamic Board Reports: What Do They Really Want to Know?
411: The Business of Health Care Fraud Enforcement:A Pragmatic Discussion and Assessment
501: Data Dashboards: What Should You be Tracking
502: Navigating Medical Necessity Denials Management for All Payers
503: Bundled Payments and Other Risk Arrangements for Post-Acute Care Providers
504: Medical Device Security: The Transition from Patient Privacy to Patient Safety
505: Physician Engagement in the Compliance Process
506: Managed Care Fraud: Enforcement and Compliance
507: Sampling and Statistical Methods for Compliance Professionals
508: The How and When of Leveraging Internal Audit
509: How to Keep Your Head Above Water in a Sea of Change
511: Investigative Interviewing: What Researchers Have Found Works and Doesn't Work
601: Compliance, The C-Suite, and The Board Of Directors: What To Report And How?
603: Are You Billing the New PT and OT Evaluation Codes Properly?
604: Study of 1000 Vendor Security Practices
605: How to Develop Benchmarking Scorecards to Transition to Risk-Based Physician Auditing/Monitoring
606: Self-Disclosure: Obligations, Options, Outcomes
608: How to Get Audit-Ready in 7 Steps
609: Building Your Healthcare Compliance Resume
701: Helpful Tips for Value Based Payment (VBP) Compliance Programs
702: Strategic Considerations in Resolving Voluntary Disclosures to CMS, OIG, and DOJ
703: Cybersecurity in the Post-Acute Arena
704: Bored with Your Board's Lack of Interest?
706: Kickback and Stark Law Developments
707: Creating a Vendor Oversight & Monitoring Program in 10 Steps
708: Conducting an Internal Compliance Investigation When the Government Claims You Have False Claims
709: Strategies for Professionalism When Tantrums Aren't an Option
710: Challenges for Academic Medical Centers
711: OIG Panel
W01: Decrypting a Ransomware Strategy
W03: 340B Drug Pricing Self-Disclosures and Repayments: Success Stories and Lessons Learned
W04: How to Navigate and Survive a Mega Breach
W08: Monitoring and Auditing HIPAA Compliance
W09: STRESS Makes You Distracted, Distraught, Dumb & Dead!
W11: Building Your Toolbox to Manage Conflict of Interest: Sunshine, Open Payments, and Investigations
W13: Medicare Overpayment 60-Day Rule: What Your Compliance and Auditing Departments Need to Know
W15: Privacy Officer Roundtable
W16: Pay for Performance 2017: Meeting New Physician Quality Reporting and Payment Requirements
W17: Compound Pharmacy Prosecutions: Past Lessons and Future Trends
W18: Effective Auditing Program for Managed Care Plans
W19: MIPS, APMS, QRUR, and CMS Data: How Do Your Physicians Compare?
W20: Mergers and Acquisitions for Compliance Professionals
W22: Do You Know What Your Business Associates' Subcontractors & Vendors are Doing with Your PHI & ePHI?