After the internal audits are completed and if they have identified any risk areas, the next step is to develop a method for dealing with those risk areas through practice standards and procedures. Written standards and procedures are not always a vital component of any compliance program.
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Q8: Which of the following is included in
Q9: The CMS Self-Referral Disclosure Protocol (SRDP) enables
Q10: Medicare defines fraud as an occurrence where
Q11: Medicare abuse is when a supplier or
Q12: The National Benefit Integrity Medicare Drug Integrity
Q13: The False Claims Act (FCA) of the
Q14: The Criminal Health Care Fraud Statute is
Q15: An excluded provider is unable to treat
Q16: If an excluded person violates the imposed
Q18: The OIG understands that the physician practice
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