Healthcare reform is bringing a new wave of focus on risk management and regulatory compliance. In addition to the new mandatory requirement to implement a compliance plan, regulators are raising the stakes by asking the next logical question – “Can you prove that your compliance program is working?” CMS is shifting from a focus on policies, procedures and retrospective audits, to a proactive focus on compliance program effectiveness and measuring the quality of outcomes.
This change in focus is creating many new challenges for healthcare providers as they seek to quantifiably measure and report on the effectiveness of their compliance programs.
Join us for this presentation with Leah Guidry of Huron Consulting Group as she examines these new requirements and offers practical, hands-on guidance for measuring and proving the effectiveness of your compliance program. The presentation will focus on:
- Overview of the new CMS requirements and the burden of proof of compliance program effectiveness
- Likely consequences of not being able to demonstrate program effectiveness
- Typical measures – those that work and those that don’t
- Recommendations for implementing a robust measurement program
- Real world examples will be used to illustrate the key points and recommendations
Who Should Attend
- Hospitals and other Healthcare Providers
- CFO, CEO
- Chief Compliance Officer
- Chief Risk Officer
- Chief Security Officer
- General Counsel
About the Presenter
Leah Guidry, Managing Director with Huron Consulting has 20 years of experience working with healthcare systems, hospitals, academic medical centers, physician groups, group purchasing organizations, and pharmaceutical and device manufacturers. She advises clients on complex compliance issues and assists with government disclosure determinations, development and implementation of the infrastructure necessary to appropriately bill Medicare for research items and services, and staff training.
Leah works extensively with legal counsel to defend institutions under government investigation, conducting internal reviews from commencement to settlement assessments, and educating clients on the implementation of compliant processes and infrastructure.
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