Common use of Reportable Events Involving the Xxxxx Law Clause in Contracts

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner is not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.

Appears in 3 contracts

Samples: Integrity Agreement, Integrity Agreement, Integrity Agreement

AutoNDA by SimpleDocs

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Apria to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Apria identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Apria is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.

Appears in 2 contracts

Samples: Corporate Integrity Agreement (Apria, Inc.), Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Hill-Rom to CMS the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner identifies The requirements of Section III.H.2 that require repayment to the payor of any identified Overpayment within 30 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner that is not required by this Section III.G to submit the Reportable Event disclosed to CMS through pursuant to the SRDP.

Appears in 2 contracts

Samples: Corporate Integrity Agreement, Corporate Integrity Agreement (Hill-Rom Holdings, Inc.)

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Xx. Xxxxxx to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xx. Xxxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Xx. Xxxxxx is not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 2 contracts

Samples: Integrity Agreement, Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Xxxxx to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Xxxxx is not required by this Section III.G III.I to submit the Reportable Event to CMS through the SRDP.

Appears in 2 contracts

Samples: Integrity Agreement, Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Genova to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Genova identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Genova is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.

Appears in 2 contracts

Samples: Corporate Integrity Agreement, Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Arc to CMS the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Arc is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 2 contracts

Samples: Corporate Integrity Agreement, Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner LFAC to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner LFAC identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner LFAC is not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.

Appears in 2 contracts

Samples: Integrity Agreement, Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Northwest ENT to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Northwest ENT identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Northwest ENT is not required by this Section III.G III.I to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Klurfeld to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xxxxxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Klurfeld is not required by this Section III.G III.I to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner EPIPG to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner EPIPG identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner EPIPG is not required by this Section III.G III.I to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner the Practice to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner the Practice identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS CMS‌ contractor, then Practitioner is the Practice is not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Dia-Foot to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Dia-Foot identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Dia-Foot is not required by this Section III.G III.I to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner VirtuOx to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner VirtuOx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner VirtuOx is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Lawlaw) should be submitted by Practitioner Qamar to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xxxxx identifies a probable violation of the Xxxxx Law law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Qamar is not required by this Section III.G III.F to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Xxxxx Xxxxxxxx to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xxxxx Pharmacy identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Xxxxx Pharmacy is not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Princeton Pathology to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Princeton Pathology identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Princeton Pathology is not required by this Section III.G III.I to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner THM to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner THM identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner THM is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Millcreek to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xxxxxxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, contractor,‌ then Practitioner Millcreek is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Bhayani to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Bhayani identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, contractor,‌ then Practitioner Bhayani is not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Diversicare to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Diversicare identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Diversicare is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Walgreens to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Walgreens identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Walgreens is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner OC and Xxxxxx to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner OC and Xxxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner is OC and Xxxxxx are not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner HOK to CMS through the self-referral disclosure disclosure‌ protocol (SRDP), with a copy to the OIG. If Practitioner HOK identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner HOK is not required by this Section III.G III.I to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Xxxx Clinic to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xxxx Clinic identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Xxxx Clinic is not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Banner to CMS the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xxxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Banner is not required by this Section III.G Section‌‌ III.J to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Guardian to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Guardian identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Guardian is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner ION to CMS the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner XXX identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner ION is not required by this Section III.G III.L to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner BMG to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner BMG identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner BMG is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Xxxxxxxx Clinic to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xxxxxxxx Clinic identifies a a‌ probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Xxxxxxxx Clinic is not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Sutter to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Sutter identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Sutter is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner SPI to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner SPI identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner SPI is not required by this Section III.G III.I to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Xx. Xxxxx to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xx. Xxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Xx. Xxxxx is not required by this Section III.G III.H to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner OGCC to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner OGCC identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner OGCC is not required by this Section III.G III.I to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Skyline to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xxxxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Skyline is not required by this Section III.G III.I to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Encore to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Encore identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Encore is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner LHMC to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner LHMC identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner LHMC is not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner DLDC to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner DLDC identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner DLDC is not required by this Section III.G III.I to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Xxxxx Pharmacy to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xxxxx Pharmacy identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Xxxxx Pharmacy is not required by this Section III.G III.I to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Klurfeld to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Klurfeld identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Klurfeld is not required by this Section III.G III.I to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Hospicio to CMS the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xxxxxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Hospicio is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner LCPCC to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner LCPCC identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner LCPCC is not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner CBHA to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner CBHA identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner CBHA is not required by this Section III.G III.I to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Gardi to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Gardi identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Gardi is not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner APS to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner APS identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner APS is not required by this Section III.G III.I to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner PC, Xxxxx, and Bandar to CMS through the self-self- referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner PC, Xxxxx, and Xxxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner is PC, Xxxxx, and Bandar are not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Lawlaw) should be submitted by Practitioner I&L to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner I&L identifies a probable violation of the Xxxxx Law law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner I&L is not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Hospicio to CMS the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Hospicio identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Hospicio is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Xxxxxxx to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xxxxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Xxxxxxx is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Provider to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Provider identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Provider is not required by this Section III.G III.I to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the the‌ Xxxxx Law) should be submitted by Practitioner Xx. Xxxxxxxx to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xx. Xxxxxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Xx. Xxxxxxxx is not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Hanora to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xxxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Xxxxxx is not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.SRDP.‌‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the the‌ Xxxxx Law) should be submitted by Practitioner MPG to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner MPG identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner MPG is not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.SRDP.‌‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Lawlaw) should be submitted by Practitioner Xx. Xxxxxxx to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xx. Xxxxxxx identifies a probable violation of the Xxxxx Law law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Xx. Xxxxxxx is not required by this Section III.G III.F to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Align to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Align is not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Align to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Align identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Align is not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

AutoNDA by SimpleDocs

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Norman to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xxxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Xxxxxx is not required by this Section III.G III.I to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner MTC to CMS the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner MTC identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner MTC is not required by this Section III.G Section‌‌ III.J to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Lawlaw) should be submitted by Practitioner Xxxxxx to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xxxxxx identifies a probable violation of the Xxxxx Law law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Xxxxxx is not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner SMMC to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner SMMC identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner SMMC is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Providence to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Providence identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Providence is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner EAP to CMS the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner EAP identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner EAP is not required by this Section III.G Section‌‌ III.J to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Agendia to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Agendia identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Agendia is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner CRC to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner CRC identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner CRC is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner AAMC to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner AAMC identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner AAMC is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Longwood to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xxxxxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Longwood is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner PFH to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner PFH identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner PFH is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner is not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Dr. Uradu and UTC to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner identifies Dr. Uradu and UTC identify a probable violation of the Xxxxx Law and repays repay the applicable Overpayment directly to the CMS contractor, then Practitioner is Dr. Uradu and UTC are not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner UHealth to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner UHealth identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner UHealth is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner PC, Xxxxx, and Bandar to CMS through the self-self- referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner PC, Xxxxx, and Bandar identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner is PC, Xxxxx, and Bandar are not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Gonzaga to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Gonzaga identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Gonzaga is not required by this Section III.G III.I to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Vanguard to CMS the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Vanguard identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Vanguard is not required by this Section III.G III.I to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Lawlaw) should be submitted by Practitioner Xxxxxx to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xxxxxx identifies a probable violation of the Xxxxx Law law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Xxxxxx is not required by this Section III.G III.F to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner the Covered Entities to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner identifies the Covered Entities identify a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner is the Covered Entities are not required by this Section III.G III.I to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner the GIS Parties to CMS the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner identifies the GIS Parties identify a probable violation of the Xxxxx Law and repays repay the applicable Overpayment directly to the CMS contractor, then Practitioner is the GIS Parties are not required by this Section III.G III.K to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Neurosurgical Associates to CMS through the self-self- referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Neurosurgical Associates identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Neurosurgical Associates is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Pentec to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Pentec identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Pentec is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Gamma to CMS the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Gamma identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Gamma is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner GLML to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner GLML identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner GLML is not required by this Section III.G III.I to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Xxxxx Pharmacy to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xxxxx Pharmacy identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Xxxxx Pharmacy is not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Xxxxxx to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xxxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Xxxxxx is not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Lawlaw) should be submitted by Practitioner MMW to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner MMW identifies a probable violation of the Xxxxx Law law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner MMW is not required by this Section III.G III.F to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner SERA to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner SERA identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner SERA is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Saber to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Saber is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner PPOA to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner PPOA identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner PPOA is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Lawlaw) should be submitted by Practitioner Xx. Xxxxxxxxxx-AFAS to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xx. Xxxxxxxxxx-AFAS identifies a probable violation of the Xxxxx Law law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Xx. Xxxxxxxxxx-AFAS is not required by this Section III.G III.F to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Oglethorpe to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Oglethorpe identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Oglethorpe is not required by this Section III.G III.J to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Dakwa and HEAG to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Dakwa or HEAG identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner is Dakwa and HEAG are not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Xxxxxx to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Xxxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Xxxxxx is not required by this Section III.G III.I to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner FHG to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner FHG identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner FHG is not required by this Section III.G III.I to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner Kumar to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner Kumar identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner Kumar is not required by this Section III.G to submit the Reportable Event to CMS through the SRDP.SRDP.‌

Appears in 1 contract

Samples: Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by Practitioner UHS to CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. If Practitioner UHS identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then Practitioner UHS is not required by this Section III.G III.K to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Corporate Integrity Agreement

Draft better contracts in just 5 minutes Get the weekly Law Insider newsletter packed with expert videos, webinars, ebooks, and more!