Probable Violation of Law. The report to OIG shall include:
a. a complete description of all details relevant to the Reportable Event, including, at a minimum, the types of claims, transactions or other conduct giving rise to the Reportable Event; the period during which the conduct occurred; and the names of individuals and entities believed to be implicated, including an explanation of their roles in the Reportable Event;
b. a statement of the Federal criminal, civil or administrative laws that are probably violated by the Reportable Event;
c. the Federal health care programs affected by the Reportable Event;
d. a description of the steps taken by Provider to identify and quantify any Overpayments; and
e. a description of Provider’s actions taken to correct the Reportable Event and prevent it from recurring. If the Reportable Event involves an Overpayment, within 60 days of identification of the Overpayment, Provider shall repay the Overpayment, in accordance with the requirements of 42 U.S.C. § 1320a-7k(d) and any applicable regulations and CMS guidance, and provide OIG with documentation of the repayment.
Probable Violation of Law. The report to OIG shall include:
a. a complete description of all details relevant to the Reportable Event, including, at a minimum, the types of claims, transactions or other conduct giving rise to the Reportable Event; the period during which the conduct occurred; and the names of individuals and entities believed to be implicated, including an explanation of their roles in the Reportable Event;
b. a statement of the Federal criminal, civil or administrative laws that are probably violated by the Reportable Event;
c. the Federal health care programs affected by the Reportable Event;
d. a description of the steps taken by the Parties to identify and quantify any Overpayments; and
Probable Violation of Law. The report to OIG shall include:
a. a complete description of all details relevant to the Reportable Event, including, at a minimum, the types of claims, transactions or other conduct giving rise to the Reportable Event, the period during which the conduct occurred, and the names of individuals and entities believed to be implicated, including an explanation of their roles in the Reportable Event;
b. a statement of the Federal criminal, civil or administrative laws that are probably violated by the Reportable Event, if any;
c. the Federal health care programs affected by the Reportable Event, if any; and
d. a description of Biotronik’s actions taken to correct the Reportable Event and prevent it from recurring. include:
Probable Violation of Law. The report to OIG shall include:
a. a complete description of all details relevant to the Reportable Event, including, at a minimum, the types of claims, transactions or other conduct giving rise to the Reportable Event; the period during which the conduct occurred; and the names of individuals and entities believed to be implicated, including an explanation of their roles in the Reportable Event;
b. a statement of the Federal criminal, civil or administrative laws that are probably violated by the Reportable Event;
c. the Federal health care programs affected by the Reportable Event;
d. a description of the steps taken by Rockport to identify and quantify any Overpayments; and
e. a description of Rockport’s actions taken to correct the Reportable Event and prevent it from recurring. If the Reportable Event involves an Overpayment, within 60 days of identification of the Overpayment, Rockport shall repay the Overpayment, in accordance with the requirements of 42 U.S.C. § 1320a-7k(d) and any applicable regulations and CMS guidance, and provide OIG with documentation of the repayment.
Probable Violation of Law. The report to OIG shall include:
a. a complete description of all details relevant to the Reportable Event, including, at a minimum, the types of claims, transactions or other conduct giving rise to the Reportable Event; the period during which the conduct occurred; and the names of individuals and entities believed to be implicated, including an explanation of their roles in the Reportable Event;
b. a statement of the Federal criminal, civil or administrative laws that are probably violated by the Reportable Event;
c. the Federal health care programs affected by the Reportable Event;
d. a description of the steps taken by Paksn to identify and quantify any Overpayments; and
e. a description of Paksn’s actions taken to correct the Reportable Event and prevent it from recurring. If the Reportable Event involves an Overpayment, within 60 days of identification of the Overpayment, Paksn shall repay the Overpayment, in accordance with the requirements of 42 U.S.C. § 1320a-7k(d) and any applicable regulations and CMS guidance, and provide OIG with documentation of the repayment.
Probable Violation of Law. The report to OIG shall include:
a. a complete description of all details relevant to the Reportable Event, including, at a minimum, the types of claims, transactions or other conduct giving rise to the Reportable Event; the period during which the conduct occurred; and the names of individuals and entities believed to be implicated, including an explanation of their roles in the Reportable Event;
b. a statement of the Federal criminal, civil or administrative laws that are probably violated by the Reportable Event;
c. the Federal health care programs affected by the Reportable Event;
d. a description of the steps taken by Gold Coast to identify and quantify any Overpayments; and
Probable Violation of Law. The report to OIG shall include:
a. a complete description of all details relevant to the Reportable Event, including, at a minimum, the types of claims, transactions or other conduct giving rise to the Reportable Event; the period during which the conduct occurred; and the names of individuals and entities believed to be implicated, including an explanation of their roles in the Reportable Event;
b. a statement of the Federal criminal, civil or administrative laws that are probably violated by the Reportable Event;
c. the Federal health care programs affected by the Reportable Event;
d. a description of the steps taken by BioTek to identify and quantify any Overpayments; and
e. a description of BioTek’s actions taken to correct the Reportable Event and prevent it from recurring. If the Reportable Event involves an Overpayment, within 60 days of identification of the Overpayment, BioTek shall repay the Overpayment, in accordance with the requirements of 42
Probable Violation of Law. The report to OIG shall include:
a. a complete description of all details relevant to the Reportable Event, including, at a minimum, the types of claims, transactions or other conduct giving rise to the Reportable Event; the period during which the conduct occurred; and the names of individuals and entities believed to be implicated, including an explanation of their roles in the Reportable Event;
b. a statement of the Federal criminal, civil or administrative laws that are probably violated by the Reportable Event;
c. the Federal health care programs affected by the Reportable Event;
d. a description of the steps taken by BioReference to identify and quantify any Overpayments; and
Probable Violation of Law. The report to OIG shall include:
a. a complete description of all details relevant to the Reportable Event, including, at a minimum, the types of claims, transactions or other conduct giving rise to the Reportable Event; the period during which the conduct occurred; and the names of individuals and entities believed to be implicated, including an explanation of their roles in the Reportable Event;
b. a statement of the Federal criminal, civil or administrative laws that are probably violated by the Reportable Event;
c. the Federal health care programs affected by the Reportable Event;
d. a description of the steps taken by Florida Cardiology to identify and quantify any Overpayments; and
e. a description of Florida Cardiology’s actions taken to correct the Reportable Event and prevent it from recurring. If the Reportable Event involves an Overpayment, within 60 days of identification of the Overpayment, Florida Cardiology shall repay the Overpayment, in accordance with the requirements of 42 U.S.C. § 1320a-7k(d) and any applicable regulations and CMS guidance, and provide OIG with documentation of the repayment.
Probable Violation of Law. The report to OIG shall include:
a. a complete description of all details relevant to the Reportable Event, including, at a minimum, the types of claims, transactions or other conduct giving rise to the Reportable Event; the period during which the conduct occurred; and the names of individuals and entities believed to be implicated, including an explanation of their roles in the Reportable Event;
b. a statement of the Federal criminal, civil or administrative laws that are probably violated by the Reportable Event;
c. the Federal health care programs affected by the Reportable Event;
d. a description of the steps taken by Silver Lake to identify and quantify any Overpayments; and
e. a description of Silver Lake’s actions taken to correct the Reportable Event and prevent it from recurring. If the Reportable Event involves an Overpayment, within 60 days of identification of the Overpayment, Silver Lake shall repay the Overpayment, in accordance with the requirements of 42 U.S.C. § 1320a-7k(d) and any applicable regulations and CMS guidance, and provide OIG with documentation of the repayment.