HHS-OIG Issues Compliance Guidance for Nursing Facilities
The Office of Inspector General (OIG) and the U.S. Department of Health and Human Services (HHS) announced the Nursing Facility ICPG i.e. an industry-specific compliance program guidance on November 20, 2024. It provides a structure that will help facilities avoid fraud, waste, and abuse while simultaneously encouraging high-quality care and streamlining operations.
This updated guidance supersedes the 2000 and 2008 versions and incorporates current compliance insights and enforcement priorities. It supplements the General Compliance Program Guidance, which was published in November 2023, and applies to all healthcare entities. The ICPG is nonbinding but offers actionable recommendations that can support compliance efforts. The Requirements of Participation, on the other hand, are mandatory by the Centers for Medicare & Medicaid Services.
Key Compliance Risk Areas
The four significant risk areas according to the Nursing Facility ICPG are as follows:
- Quality of Care and Life: Optimal services for residents.
- Medicare and Medicaid Billing: Compliance with strict federal and state billing regulations.
- Federal Anti-Kickback Statute Compliance: Avoiding illegal referral arrangements.
- Other Risks: Addressing Related-Party Transactions, Stark Law Compliance, Anti-supplementation Rules, HIPAA Requirements, and Civil Rights.
Adaptation and Implementation
They will adapt the ICPG recommendations to their specific operation and, therefore, increase their chances of better compliance with regard to better resident care and regulatory risk management.
As not all-inclusive guidance, it is a useful, centralized resource for improving the facility and corporate compliance strategy. By aligning themselves with the ICPG, nursing facilities can be well-positioned to improve the standards of care, manage fewer risks of regulatory action, and thereby improve operational efficiency.