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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI is not required by this Section III.J to submit the Reportable Event to CMS through the SRDP.

Appears in 4 contracts

Samples: Corporate Integrity Agreement (Community Health Systems Inc), Corporate Integrity Agreement, Corporate Integrity Agreement (Quorum Health Corp)

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Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves only solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI the Friendship Entities to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.I.3 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only solely the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI identifies the Friendship Entities identify a probable violation of the Xxxxx Law and repays repay the applicable Overpayment directly to the CMS contractor, then CHSI is the Friendship Entities are not required by this Section 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI the Provider to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.H.2 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI the Provider identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI the Provider is not required by this Section III.J III.I 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 solely involves only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI Extendicare to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI Extendicare identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI Extendicare is not required by this Section 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should shall be submitted by CHSI Dignity Health to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.I.3 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI Dignity Health identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI Dignity Health is not required by this Section 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI Rehab to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.I.3 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI Rehab identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI Rehab is not required by this Section 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI KDMC to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.J.2 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI KDMC identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI KDMC is not required by this Section III.J III.K 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI Orbit to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.I.3 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI Orbit identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI Orbit is not required by this Section 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI Ensign Group to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.H.2 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI Ensign Group identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI Ensign Group is not required by this Section III.J III.I to submit the Reportable Event to CMS through the SRDP.

Appears in 2 contracts

Samples: Integrity Agreement (Ensign Group, Inc), Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §§ 1395nn (the Xxxxx Law) should be submitted by CHSI CCH to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.I.3 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI CCH identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI CCH is not required by this Section III.J III.J.8 to submit the Reportable Event to CMS through the SRDP.

Appears in 2 contracts

Samples: Corporate Integrity Agreement (Amedisys Inc), Corporate Integrity Agreement

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves only solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI Home Bound to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.K.3 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only solely the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI Home Bound identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI Home Bound is not required by this Section III.J III.K 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI ICH to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.J.3 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI ICH identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI ICH is not required by this Section III.J to submit the Reportable Event to CMS through the SRDP.Section

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 only solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI Memorial Health to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.J.3 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only solely the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI Memorial Health identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI Memorial Health is not required by this 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI is not required by this Section III.J to submit the Reportable Event to CMS through the SRDP.theSRDP.‌

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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI First Call to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.H.2 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI First Call identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI First Call is not required by this Section III.J 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §§ 1395nn (the Xxxxx Law) should be submitted by CHSI Mid Xxxxxx to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.H.2 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI Mid Xxxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI Mid Xxxxxx is not required by this Section III.J 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §§ 1395nn (the Xxxxx Law) should be submitted by CHSI Tuomey to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.I.3 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI Tuomey identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI Tuomey is not required by this 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI Xxxxxxxx to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI Xxxxxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI Xxxxxxxx is not required by this 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI La Fuente to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.H.2 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI Xx Xxxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI La Fuente is not required by this Section III.J III.H 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 only solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI 21st Century to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.I.3 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only solely the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI 21st Century identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI 21st Century is not required by this Section III.J to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Corporate Integrity Agreement (21st Century Oncology Holdings, Inc.)

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI Xxxxxxxxxx Regional to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.H.2 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI Xxxxxxxxxx Regional identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI Xxxxxxxxxx Regional is not required by this Section III.J 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 only solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI Xxxxx to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.J.3 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only solely the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI Xxxxx identifies a probable violation of the Xxxxx Law and repays the the‌ applicable Overpayment directly to the CMS contractor, then CHSI Xxxxx is not required by this 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI CareMed to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.I.3 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI CareMed identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI CareMed is not required by this Section III.J to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Corporate Integrity Agreement (PharMerica CORP)

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI Orbit to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.I.3 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI Xxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI Orbit is not required by this 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §§ 1395nn (the Xxxxx Law) should be submitted by CHSI Xxxxxx to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.I.3 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI Xxxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI Xxxxxx is not required by this Section III.J to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Corporate Integrity Agreement

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Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves only solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI Xxxxxx to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.J.3 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only solely the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI Xxxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI Balboa is not required by this 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI Family Dermatology to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.I.3 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI Family Dermatology identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI Family Dermatology is not required by this Section III.J 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI HOTC to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.H.2 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI HOTC identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI HOTC is not required by this Section III.J 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI Southern States to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.H.2 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI Southern States identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI Southern States is not required by this Section III.J III.H 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI Amedisys to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI Amedisys identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI Amedisys is not required by this Section III.J to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Corporate Integrity Agreement (Amedisys Inc)

Reportable Events Involving the Xxxxx Law. Notwithstanding the reporting requirements outlined above, any Reportable Event that involves only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI the DIG Entities to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI identifies the DIG Entities identify a probable violation of the Xxxxx Law and repays repay the applicable Overpayment directly to the CMS contractor, then CHSI is the DIG Entities are not required by this 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI Medicus to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.H.2 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI Medicus identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI Medicus is not required by this Section III.J 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI Tri-County to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI Tri-County identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI Tri-County is not required by this Section III.J 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should shall be submitted by CHSI MCCG to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.I.3 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI MCCG identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI MCCG is not required by this 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 only solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI Xx. Xxxxxxxx to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.F.2 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only solely the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI Xx. Xxxxxxxx identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI Xx. Xxxxxxxx is not required by this Section III.J 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI CHN to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.I.3 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI CHN identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI CHN is not required by this 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI Provider to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.I.3 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI Provider identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI Provider is not required by this 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §§ 1395nn (the Xxxxx Law) should be submitted by CHSI USPh to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.I.3 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI USPh identifies a probable violation of only the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI USPh is not required by this 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §§ 1395nn (the Xxxxx Law) should be submitted by CHSI IHS to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.J.3 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI IHS identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI IHS is not required by this Section III.J to submit the Reportable Event to CMS through the SRDP.Section

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 only solely a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI Toccoa to the Centers for Medicare & Medicaid Services (CMS) through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.I.3 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may may‌ result from a probable violation of only solely the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI Toccoa identifies a probable violation of the Xxxxx Law and repays the applicable Overpayment directly to the CMS contractor, then CHSI Toccoa is not required by this Section 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 only a probable violation of section 1877 of the Social Security Act, 42 U.S.C. §1395nn (the Xxxxx Law) should be submitted by CHSI the Providers to the Centers for Medicare & Medicaid Services (CMS) CMS through the self-referral disclosure protocol (SRDP), with a copy to the OIG. The requirements of Section III.I.2 III.H.2 that require repayment to the payor of any identified Overpayment within 60 days shall not apply to any Overpayment that may result from a probable violation of only the Xxxxx Law that is disclosed to CMS pursuant to the SRDP. If CHSI identifies the Providers identify a probable violation of the Xxxxx Law and repays repay the applicable Overpayment directly to the CMS contractor, then CHSI is the Providers are not required by this Section III.J III.H to submit the Reportable Event to CMS through the SRDP.

Appears in 1 contract

Samples: Corporate Integrity Agreement

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