26 Oct Comments on OIG Anti-Kickback Statute RFI
In this letter, the Task Force identifies areas where the HHS Office of the Inspector General can mitigate the impact of the anti-kickback statute regulations on providers and health plans participating in alternative payment models to encourage better care coordination.
Task Force Response Summary
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Create new safe harbors and exceptions for risk-taking alternative payment model participants and disease management and prevention programs
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Define terminology regarding health care delivery and payment reform
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Expand sub-regulatory guidance regarding the applicability of AKS
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Simplify and streamline available waivers in the context of APM arrangements
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Align physician self-referral and anti-kickback statute regulatory definitions with the Quality Payment Program to promote consistency and reduction in regulatory burden on stakeholders
Read the letter here