Written Standards. Within 120 days after the Effective Date, CHN shall develop and implement written policies and procedures (Policies and Procedures) that address the following: (1) the operation of CHN’s compliance program, including the compliance program requirements outlined in this CIA; (2) CHN’s compliance with Federal health care program requirements, including but not limited to compliance with the Anti-Kickback Statute and the Xxxxx Law, and the regulations and other guidance documents related to these statutes, and business or financial arrangements or contracts that generate unlawful Federal health care program business in violation of the Anti-Kickback Statute or the Xxxxx Law; (3) the requirements set forth in Section III.D below; and (4) the identification, quantification, and repayment of Overpayments. CHN shall enforce its Policies and Procedures and make compliance with its Policies and Procedures an element of evaluating the performance of all Covered Persons. The Policies and Procedures shall be made available to all Covered Persons. The Compliance Committee shall review the Policies and Procedures at least annually and update the Policies and Procedures as necessary. Any revised or new Policies and Procedures shall be made available to all Covered Persons. All Policies and Procedures shall be made available to OIG upon request.
Appears in 2 contracts
Samples: Corporate Integrity Agreement, Corporate Integrity Agreement
Written Standards. Within 120 90 days after the Effective Date, CHN Vision Quest shall develop and implement written policies and procedures (Policies and Procedures) that address the following: (1) the operation of CHNVision Quest’s compliance program, including the compliance program requirements outlined in this CIA; (2) CHNVision Quest’s compliance with Federal health care program requirements, including but not limited to compliance with the Anti-Kickback Statute and the Xxxxx Law, and the regulations and other guidance documents related to these statutes, and business or financial arrangements or contracts that generate unlawful Federal health care program business in violation of the Anti-Kickback Statute or and the Xxxxx Law; (3) the requirements set forth in Section III.D below; and (4) the identification, quantification, and repayment of Overpayments. CHN Vision Quest shall enforce its Policies and Procedures and make compliance with its Policies and Procedures an element of evaluating the performance of all Covered Persons. The Policies and Procedures shall be made available to all Covered Persons. The Compliance Committee shall review the Policies and Procedures at least annually and update the Policies and Procedures as necessary. Any revised or new Policies and Procedures shall be made available to all Covered Persons. All Policies and Procedures shall be made available to OIG upon request.
Appears in 1 contract
Samples: Corporate Integrity Agreement
Written Standards. Within 120 90 days after the Effective Date, CHN Provider shall develop and implement written policies and procedures (Policies and Procedures) that address the following: following:
(1) the operation of CHNProvider’s compliance program, including the compliance program requirements outlined in this CIA; CIA;
(2) CHNProvider’s compliance with Federal health care program requirements, including but not limited to compliance with the Anti-Kickback Statute and the Xxxxx Law, and the regulations and other guidance documents related to these statutes, and business or financial arrangements or contracts that generate unlawful Federal health care program business in violation of the Anti-Kickback Statute or the Xxxxx Law; Law;
(3) the requirements set forth in Section III.D below; and and
(4) the identification, quantification, and repayment of Overpayments. CHN Overpayments. Provider shall enforce its Policies and Procedures and make compliance with its Policies and Procedures an element of evaluating the performance of all Covered Persons. The Policies and Procedures shall be made available to all Covered Persons. The Compliance Committee shall review the Policies and Procedures at least annually and update the Policies and Procedures Procedures, as necessary. Any revised or new Policies and Procedures shall be made available to all Covered Persons. All Policies and Procedures shall be made available to OIG upon request.
Appears in 1 contract
Samples: Corporate Integrity Agreement
Written Standards. Within 120 90 days after the Effective Date, CHN Rockport shall develop and implement written policies and procedures (Policies and Procedures) that address the following: (1) the operation of CHNRockport’s compliance program, including the compliance program requirements outlined in this CIA; (2) CHNRockport’s compliance with Federal health care program requirements, including but not limited to compliance with the Anti-Kickback Statute and the Xxxxx Law, and the regulations and other guidance documents related to these statutes, and business or financial arrangements or contracts that generate unlawful Federal health care program business in violation of the Anti-Kickback Statute or the Xxxxx Law; (3) the requirements set forth in Section III.D below; and (4) the identification, quantification, and repayment of Overpayments. CHN Rockport shall enforce its Policies and Procedures and make compliance with its Policies and Procedures an element of evaluating the performance of all Covered Persons. The Policies and Procedures shall be made available to all Covered Persons. The Compliance Committee shall review the Policies and Procedures at least annually and update the Policies and Procedures Procedures, as necessary. Any revised or new Policies and Procedures shall be made available to all Covered Persons. All Policies and Procedures shall be made available to OIG upon request.
Appears in 1 contract
Samples: Corporate Integrity Agreement
Written Standards. Within 120 90 days after the Effective Date, CHN CII shall develop and implement written policies and procedures (Policies and Procedures) that address the following: :
(1) the operation of CHNCII’s compliance program, including the compliance program requirements outlined in this CIA; (2) CHNCII’s compliance with Federal health care program requirements, including but not limited to compliance with the Anti-Kickback Statute and the Xxxxx Law, and the regulations and other guidance documents related to these statutes, and business or financial arrangements or contracts that generate unlawful Federal health care program business in violation of the Anti-Kickback Statute or the Xxxxx Law; (3) the requirements set forth in Section III.D below; and (4) the identification, quantification, and repayment of Overpayments. CHN CII shall enforce its Policies and Procedures and make compliance with its Policies and Procedures an element of evaluating the performance of all Covered Persons. The Policies and Procedures shall be made available to all Covered Persons. The Compliance Committee shall review the Policies and Procedures at least annually and update the Policies and Procedures Procedures, as necessary. Any revised or new Policies and Procedures shall be made available to all Covered Persons. All Policies and Procedures shall be made available to OIG upon request.
Appears in 1 contract
Samples: Corporate Integrity Agreement