Stipulated Penalties Review. Notwithstanding any provision of Title 42 of the United States Code or Title 42 of the Code of Federal Regulations, the only issues in a proceeding for Stipulated Penalties under this IA shall be: (a) whether Practitioner was in full and timely compliance with the requirements of this IA for which OIG demands payment and (b) the period of noncompliance. Practitioner shall have the burden of proving its full and timely compliance. If the ALJ upholds the OIG’s determination that Practitioner has breached this IA and orders Practitioner to pay Stipulated Penalties, Practitioner must (a) come into compliance with the requirement(s) that resulted in the OIG imposing Stipulated Penalties and (b) pay the Stipulated Penalties within 20 days after the ALJ issues a decision, unless Practitioner properly and timely requests review of the ALJ decision by the DAB. If the ALJ decision is properly and timely appealed to the DAB and the DAB upholds the determination of OIG, Practitioner must (a) come into compliance with the requirement(s) that resulted in the OIG imposing Stipulated Penalties and (b) pay the Stipulated Penalties within 20 days after the DAB issues its decision.
Appears in 1 contract
Samples: Integrity Agreement
Stipulated Penalties Review. Notwithstanding any provision of Title 42 of the United States Code or Title 42 of the Code of Federal Regulations, the only issues in a proceeding for Stipulated Penalties under this IA CIA shall be: :
(a) whether Practitioner Flower Mound was in full full and timely compliance with the requirements of this IA CIA for which OIG demands payment payment; and (b) the period of noncompliance. Practitioner Flower Mound shall have the burden of proving its full and timely compliance. If the ALJ upholds the OIG’s determination that Practitioner Flower Mound has breached this IA CIA and orders Practitioner Flower Mound to pay Stipulated Penalties, Practitioner Flower Mound must (a) come into compliance with the requirement(s) of this CIA that resulted in the OIG imposing Stipulated Penalties and (b) pay the Stipulated Penalties within 20 days after the ALJ issues a decision, unless Practitioner Flower Mound properly and timely requests review of the ALJ decision by the DAB. If the ALJ decision is properly and timely appealed to the DAB and the DAB upholds the determination of OIG, Practitioner must
Flower Mound must (a) come into compliance with the requirement(s) that resulted in the OIG imposing Stipulated Penalties and (b) pay the Stipulated Penalties within 20 days after the DAB issues its decision.decision.
Appears in 1 contract
Samples: Corporate Integrity Agreement
Stipulated Penalties Review. Notwithstanding any provision of Title 42 of the United States Code or Title 42 of the Code of Federal Regulations, the only issues in a proceeding for Stipulated Penalties under this IA CIA shall be: :
(a) whether Practitioner Rite Aid was in full full and timely compliance with the requirements of this IA CIA for which OIG demands payment and (b) the period of noncompliance. Practitioner Rite Aid shall have the burden of proving its full and timely compliance. If the ALJ upholds the OIG’s determination that Practitioner Rite Aid has breached this IA CIA and orders Practitioner Rite Aid to pay Stipulated Penalties, Practitioner Rite Aid must (a) come into compliance with the requirement(s) that resulted in the OIG imposing Stipulated Penalties and (b) pay the Stipulated Penalties within 20 days after the ALJ issues a decision, unless Practitioner Rite Aid properly and timely requests review of the ALJ decision by the DAB. If the ALJ decision is properly and timely appealed to the DAB and the DAB upholds the determination of OIG, Practitioner must
Rite Aid must (a) come into compliance with the requirement(s) that resulted in the OIG imposing Stipulated Penalties and (b) pay the Stipulated Penalties within 20 days after the DAB issues its decision.
Appears in 1 contract
Samples: Corporate Integrity Agreement
Stipulated Penalties Review. Notwithstanding any provision of Title 42 of the United States Code or Title 42 of the Code of Federal Regulations, the only issues in a proceeding for Stipulated Penalties under this IA CIA shall be: (a) whether Practitioner Radeas was in full full and timely compliance with the requirements of this IA CIA for which OIG demands payment payment; and (b) the period of noncompliance. Practitioner Radeas shall have the burden of proving its full and timely compliance. If the ALJ upholds the OIG’s determination that Practitioner Radeas has breached this IA CIA and orders Practitioner Radeas to pay Stipulated Penalties, Practitioner Radeas must (a) come into compliance with the requirement(s) of this CIA that resulted in the OIG imposing Stipulated Penalties and (b) pay the Stipulated Penalties within 20 days after the ALJ issues a decision, unless Practitioner Radeas properly and timely requests review of the ALJ decision by the DAB. If the ALJ decision is properly and timely appealed to the DAB and the DAB upholds the determination of OIG, Practitioner must
Radeas must (a) come into compliance with the requirement(s) that resulted in the OIG imposing Stipulated Penalties and (b) pay the Stipulated Penalties within 20 days after the DAB issues its decision.
Appears in 1 contract
Samples: Corporate Integrity Agreement
Stipulated Penalties Review. Notwithstanding any provision of Title 42 of the United States Code or Title 42 of the Code of Federal Regulations, the only issues in a proceeding for Stipulated Penalties under this IA CIA shall be: (a) whether Practitioner Essilor was in full full and timely compliance with the requirements of this IA CIA for which OIG demands payment payment; and (b) the period of noncompliance. Practitioner Essilor shall have the burden of proving its full and timely compliance. If the ALJ upholds the OIG’s determination that Practitioner Essilor has breached this IA CIA and orders Practitioner Essilor to pay Stipulated Penalties, Practitioner Essilor must (a) come into compliance with the requirement(s) of this CIA that resulted in the OIG imposing Stipulated Penalties Penalties, and (b) pay the Stipulated Penalties within 20 days after the ALJ issues a decision, unless Practitioner Essilor properly and timely requests review of the ALJ decision by the DAB. If the ALJ decision is properly and timely appealed to the DAB and the DAB upholds the determination of OIG, Practitioner must
Essilor must (a) come into compliance with the requirement(s) of this CIA that resulted in the the OIG imposing Stipulated Penalties Penalties, and (b) pay the Stipulated Penalties within 20 days after the DAB issues its decision.
Appears in 1 contract
Samples: Corporate Integrity Agreement
Stipulated Penalties Review. Notwithstanding any provision of Title 42 of the United States Code or Title 42 of the Code of Federal Regulations, the only issues in a proceeding for Stipulated Penalties under this IA CIA shall be: (a) whether Practitioner Respironics was in full full and timely compliance with the requirements of this IA CIA for which OIG demands payment payment; and (b) the period of noncompliance. Practitioner Respironics shall have the burden of proving its full and timely compliance. If the ALJ upholds the OIG’s determination that Practitioner Respironics has breached this IA CIA and orders Practitioner Respironics to pay Stipulated Penalties, Practitioner Respironics must (a) come into compliance with the requirement(s) of this CIA that resulted in the OIG imposing Stipulated Penalties Penalties, and (b) pay the Stipulated Penalties within 20 days after the ALJ issues a decision, unless Practitioner Respironics properly and timely requests review of the ALJ decision by the DAB. If the ALJ decision is properly and timely appealed to the DAB and the DAB upholds the determination of OIG, Practitioner must
Respironics must (a) come into compliance with the requirement(s) of this CIA that resulted in the OIG imposing Stipulated Penalties Penalties, and (b) pay the Stipulated Penalties within 20 days after the DAB issues its decision.decision.
Appears in 1 contract
Samples: Corporate Integrity Agreement
Stipulated Penalties Review. Notwithstanding any provision of Title 42 of the United States Code or Title 42 of the Code of Federal Regulations, the only issues in a proceeding for Stipulated Penalties under this IA shall be: (a) whether Practitioner was in full full and timely compliance with the requirements of this IA for which OIG demands payment payment; and (b) the period of noncompliance. Practitioner shall have the burden of proving its full and timely compliance. If the ALJ upholds the OIG’s determination that Practitioner has breached this IA and orders Practitioner to pay Stipulated Penalties, Practitioner must (a) come into compliance with the requirement(s) that resulted in the OIG imposing Stipulated Penalties and (b) pay the Stipulated Penalties within 20 days after the ALJ issues a decision, unless Practitioner properly and timely requests review of the ALJ decision by the DAB. If the ALJ decision is properly and timely appealed to the DAB and the DAB upholds the determination of OIG, Practitioner must
must (a) come into compliance with the requirement(s) that resulted in the OIG imposing Stipulated Penalties and (b) pay the Stipulated Penalties within 20 days after the DAB issues its decision.decision.
Appears in 1 contract
Samples: Integrity Agreement
Stipulated Penalties Review. Notwithstanding any provision of Title 42 of the United States Code or Title 42 of the Code of Federal Regulations, the only issues in a proceeding for Stipulated Penalties under this IA shall be: (a) whether Practitioner Align was in full full and timely compliance with the requirements of this IA for which OIG demands payment payment; and (b) the period of noncompliance. Practitioner Align shall have the burden of proving its full and timely compliance. If the ALJ upholds the OIG’s determination that Practitioner Align has breached this IA and orders Practitioner Align to pay Stipulated Penalties, Practitioner Align must (a) come into compliance with the requirement(s) that resulted in the OIG imposing Stipulated Penalties and (b) pay the Stipulated Penalties within 20 days after the ALJ issues a decision, unless Practitioner Align properly and timely requests review of the ALJ decision by the DAB. If the ALJ decision is properly and timely appealed to the DAB and the DAB upholds the determination of OIG, Practitioner must
Align must (a) come into compliance with the requirement(s) that resulted in the OIG imposing Stipulated Penalties and (b) pay the Stipulated Penalties within 20 days after the DAB issues its decision.decision.
Appears in 1 contract
Samples: Integrity Agreement
Stipulated Penalties Review. Notwithstanding any provision of Title 42 of the United States Code or Title 42 of the Code of Federal Regulations, the only issues in a proceeding for Stipulated Penalties under this IA shall be: (a) whether Practitioner Gonzaga was in full full and timely compliance with the requirements of this IA for which which OIG demands payment payment; and (b) the period of noncompliance. Practitioner Gonzaga shall have the burden of proving its full and timely compliance. If the ALJ upholds the OIG’s determination that Practitioner Gonzaga has breached this IA and orders Practitioner Gonzaga to pay Stipulated Penalties, Practitioner Gonzaga must (a) come into compliance with the requirement(s) that resulted in the OIG imposing Stipulated Penalties and (b) pay the Stipulated Penalties within 20 days after the ALJ issues a decision, unless Practitioner Gonzaga properly and timely requests review of the ALJ decision by the DAB. If the ALJ decision is properly and timely appealed to the DAB and the DAB upholds the determination of OIG, Practitioner must
Gonzaga must (a) come into compliance with the requirement(s) that resulted in the OIG imposing Stipulated Penalties and (b) pay the Stipulated Penalties within 20 days after the DAB issues its decision.
Appears in 1 contract
Samples: Integrity Agreement
Stipulated Penalties Review. Notwithstanding any provision of Title 42 of the United States Code or Title 42 of the Code of Federal Regulations, the only issues in a proceeding for Stipulated Penalties under this IA CIA shall be: (a) whether Practitioner PPOA was in full full and timely compliance with the requirements of this IA CIA for which OIG demands payment payment; and (b) the period of noncompliance. Practitioner PPOA shall have the burden of proving its full and timely compliance. If the ALJ upholds the OIG’s determination that Practitioner PPOA has breached this IA CIA and orders Practitioner PPOA to pay Stipulated Penalties, Practitioner PPOA must (a) come into compliance with the requirement(s) of this CIA that resulted in the OIG imposing Stipulated Penalties Penalties, and (b) pay the Stipulated Penalties within 20 days after the ALJ issues a decision, unless Practitioner PPOA properly and timely requests review of the ALJ decision by the DAB. If the ALJ decision is properly and timely appealed to the DAB and the DAB upholds the determination of OIG, Practitioner must
PPOA must (a) come into compliance with the requirement(s) that resulted in the OIG imposing Stipulated Penalties and (b) pay the Stipulated Penalties within 20 days after the DAB issues its decision.decision.
Appears in 1 contract
Samples: Corporate Integrity Agreement
Stipulated Penalties Review. Notwithstanding any provision of Title 42 of the United States Code or Title 42 of the Code of Federal Regulations, the only issues in a proceeding for Stipulated Penalties under this IA shall be: (a) whether whether Practitioner was in full full and timely compliance with the requirements of this IA for which OIG demands payment payment; and (b) the period of noncompliance. Practitioner shall have the burden of proving its full and timely compliance. If the ALJ upholds the OIG’s determination that Practitioner has breached this IA and orders Practitioner to pay Stipulated Penalties, Practitioner must (a) come into compliance with the requirement(s) that resulted in the OIG imposing Stipulated Penalties and (b) pay the Stipulated Penalties within 20 days after the ALJ issues a decision, unless Practitioner properly and timely requests review of the ALJ decision by the DAB. If the ALJ decision is properly and timely appealed to the DAB and the DAB upholds the determination of OIG, Practitioner must
must (a) come into compliance with the requirement(s) that resulted in the OIG imposing Stipulated Penalties and (b) pay the Stipulated Penalties within 20 days after the DAB issues its decision.
Appears in 1 contract
Samples: Integrity Agreement
Stipulated Penalties Review. Notwithstanding any provision of Title 42 of the United States Code or Title 42 of the Code of Federal Regulations, the only issues in a proceeding for Stipulated Penalties under this IA CIA shall be: (a) whether Practitioner Arthrex was in full full and timely compliance with the requirements of this IA CIA for which OIG demands payment payment; and (b) the period of noncompliance. Practitioner Arthrex shall have the burden of proving its full and timely compliance. If the ALJ upholds the OIG’s determination that Practitioner Arthrex has breached this IA CIA and orders Practitioner Arthrex to pay Stipulated Penalties, Practitioner Arthrex must (a) come into compliance with the requirement(s) of this CIA that resulted in the OIG imposing Stipulated Penalties Penalties, and (b) pay the Stipulated Penalties within 20 days after the ALJ issues a decision, unless Practitioner Arthrex properly and timely requests review of the ALJ decision by the DAB. If the ALJ decision is properly and timely appealed to the DAB and the DAB upholds the determination of OIG, Practitioner must
Arthrex must (a) come into compliance with the requirement(s) of this CIA that resulted in the OIG imposing Stipulated Penalties Penalties, and (b) pay the Stipulated Penalties within 20 days after the DAB issues its decision.decision.
Appears in 1 contract
Samples: Corporate Integrity Agreement
Stipulated Penalties Review. Notwithstanding any provision of Title 42 of the United States Code or Title 42 of the Code of Federal Regulations, the only issues in a proceeding for Stipulated Penalties under this IA CIA shall be: (a) whether Practitioner VirtuOx was in full full and timely compliance with the requirements of this IA CIA for which OIG demands payment payment; and (b) the period of noncompliance. Practitioner VirtuOx shall have the burden of proving its full and timely compliance. If the ALJ upholds the OIG’s determination that Practitioner VirtuOx has breached this IA CIA and orders Practitioner VirtuOx to pay Stipulated Penalties, Practitioner VirtuOx must (a) come into compliance with the requirement(s) of this CIA that resulted in the OIG imposing Stipulated Penalties Penalties, and (b) pay the Stipulated Penalties within 20 days after the ALJ issues a decision, unless Practitioner VirtuOx properly and timely requests review of the ALJ decision by the DAB. If the ALJ decision is properly and timely appealed to the DAB and the DAB upholds the determination of OIG, Practitioner must
VirtuOx must (a) come into compliance with the requirement(s) that resulted in the OIG imposing Stipulated Penalties and (b) pay the Stipulated Penalties within 20 days after the DAB issues its decision.decision.
Appears in 1 contract
Samples: Corporate Integrity Agreement