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2010 Annual Fraud Awareness Training For Insurance Professionals

2010 Annual Fraud Awareness Training For Insurance Professionals. What Every Insurance Professional Should Know About Insurance Fraud. A Global Leader in Compliance and Investigation Solutions. 2010 Annual Fraud Awareness Training For Insurance Professionals.

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2010 Annual Fraud Awareness Training For Insurance Professionals

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  1. 2010 Annual Fraud Awareness Training For Insurance Professionals What Every Insurance Professional Should Know About Insurance Fraud A Global Leader in Compliance and Investigation Solutions

  2. 2010 Annual Fraud Awareness Training For Insurance Professionals Welcome to the Matrix Absence Management, Inc., Special Investigative Unit’s online training course. This PowerPoint presentation and 10 question test is designed to meet the various state requirements for Annual Anti-Fraud Training. Matrix Absence Management, Inc., has contracted with the national investigative firm of G4S Compliance & Investigations to be the company’s Special Investigations Unit. The person in charge of the outsourced SIU is Cheryl Nordheim, Compliance Manager – Matrix Absence Management, Inc. (408) 361-7219 cheryl.nordheim@matrixcos.com Your program administrator is Valerie Beebe, FCLS SIU Compliance Manager of G4S Compliance & Investigations. Should you have questions, please feel free to call Valerie at (704) 560-6203 or via. email at valerie.beebe@cni.g4s.com A Global Leader in Compliance and Investigation Solutions

  3. 2010 Annual Fraud Awareness Training For Insurance Professionals IMPORTANT REMINDER FOR ALL MATRIX EMPLOYEES: It is critical that we maintain the confidentiality of business records, and the security of our corporate computer network. Login I.D. and password information is provided to employees so that you can access the network to perform the responsibilities of your position. Employees should never compromise the integrity of the network or the company by giving your login and/or password information to anyone else.  This includes persons inside or outside of the company, including a colleague or manager. Additionally, in accordance with our Code of Conduct, if anyone asks you for password information, you should report it to your manager, any officer, Company Counsel or the Ethics Hotline immediately. A Global Leader in Compliance and Investigation Solutions

  4. Training Overview • Part I – General Fraud Awareness • A – Fraud Facts • B – 2009 NICB Statistics • Part 2 – CA SIU Compliance Regulations • Part 3 - G4S SIU Successful Investigations • Part 4 – Defining Insurance Fraud • Part 5 – Emerging Fraud Trends • Part 6 - Insurance Fraud & Red Flag Indicators By Line of Business • A – Workers’ Compensation Fraud • B – General Liability Fraud • C – Auto Fraud • D – Property Fraud • Part 7 – SIU Org Chart • Part 8 – SIU Contact Information A Global Leader in Compliance and Investigation Solutions

  5. Fraud Facts • More than 220 BILLION dollars a year in fraudulent claims in the U.S. • If insurance fraud and auto theft were a business, it would rank in the Top 25 of the Fortune 500. • 13 cents of every premium dollar goes to fraudulent claims. • 15% of all claims are fraudulent or inflated. • 18% of all theft claims are fraudulent or inflated. • 33% of all bodily injury claims for auto accidents contain some fraud – but only 3% are totally fraudulent from deliberate scams such as staged accidents. • 35% of all workers’ compensation claims are fraudulent or inflated. A Global Leader in Compliance and Investigation Solutions

  6. Fraud Facts • These are conservative estimates! • Think about your own claims inventory? A Global Leader in Compliance and Investigation Solutions

  7. Acceptability of Insurance Fraud • The following statistics represent the public’s view of acceptable insurance fraud: • Increase claim to make up for deductible -------------------- 33% Agree • Stay out of work longer than necessary ---------------------- 25% Agree • Increase claim to make up for premium ---------------------- 22% Agree • Deliberately underestimate miles driven -------------------– 18% Agree • Say vehicle is garaged in area to obtain lower rates ----- 15% Agree • Submit bills for treatment never received -------------------- 13% Agree • Fail to list prior accidents, tickets, or claims ----------------– 8% Agree • Add old damage to new claim ----------------------------------- 5% Agree A Global Leader in Compliance and Investigation Solutions

  8. Acceptability of Insurance Fraud An analysis of the National Insurance Crime Bureau (NICB) 2008 and 2009 Questionable Claims (QCs) was performed to compare Property, Casualty, Commercial, Workers’ Compensation, Vehicle, and Miscellaneous referral categories. The 2008 Questionable Claims totaled 74,902 while 2009 Questionable Claims totaled 85,209. All categories showed an increase in referrals in 2009, even though some individual referral reasons showed a decrease. Also, similar to previous Questionable Claims analysis reports, an increase in referrals related to natural disasters can be seen in Property, Vehicle, and Miscellaneous categories. Tables and charts are organized by greatest percent change. NICB 2009 Annual Report A Global Leader in Compliance and Investigation Solutions

  9. Increase Reported to NICB (Property) NICB 2009 Annual Report A Global Leader in Compliance and Investigation Solutions

  10. Increase Reported to NICB (Casualty) NICB 2009 Annual Report A Global Leader in Compliance and Investigation Solutions

  11. Increase Reported to NICB (Commercial) NICB 2009 Annual Report A Global Leader in Compliance and Investigation Solutions

  12. Increase Reported to NICB (Workers’ Comp) NICB 2009 Annual Report A Global Leader in Compliance and Investigation Solutions

  13. Increase Reported to NICB (Auto) NICB 2009 Annual Report A Global Leader in Compliance and Investigation Solutions

  14. Anti-Fraud Compliance Components of Regulatory Compliance • 21 states have anti-fraud plan requirements • 46 states have mandatory reporting of suspicious claims • 16 states require annual reports • 12 states require an SIU • 27 jurisdictions have a state statute or regulation concerning “Fraud Warnings” which are required on documents used with consumers (i.e. claim forms, proofs of loss, applications for insurance and in some instances - benefit checks). A Global Leader in Compliance and Investigation Solutions

  15. Function/Purpose of Your SIU • Surveillance Claims / Fraud Investigations • International Investigations State Fraud Referrals • Fraud Reviews Documented Fraud Packages • Clinic Inspections Statements/Recorded Interviews • Examinations Under Oath Video Re-enactments of the loss • Scene Diagrams Scene Photographs • Alive & Wellness Checks Continuance of Disability Checks • Fraud Awareness Training SIU Compliance & Reporting • Auditing & Consulting Activity Checks • Neighborhood Canvass Nationwide Background Investigation • Hospital Searches Pharmacy Searches • Driver’s License Searches Skip Tracing (locates) • Criminal Records Check Civil Records Searches • And many more…. A Global Leader in Compliance and Investigation Solutions

  16. Anti-Fraud Compliance CA Department of Insurance Fraud Division Regulatory Compliance A Global Leader in Compliance and Investigation Solutions

  17. CA Code of Regulations:Section 2698.35 Detecting Suspected Insurance Fraud (a) An insurer’s integral anti-fraud personnel are responsible for identifying suspected insurance fraud during the handling of insurance transactions and referring it to the SIU as part of their regular duties. A Global Leader in Compliance and Investigation Solutions

  18. Function/Purpose of Your SIU Investigating Suspected Insurance Fraud in Accordance with the California Regulations Section 2698.36 As your SIU, we shall establish, maintain, distribute and adhere to written procedures for the investigation of possible suspected insurance fraud. An investigation of possible suspected insurance fraud shall include: (1) A thorough analysis of your claim file, application, or insurance transaction. (2) Identification and interviews of potential witnesses who may provide information on the accuracy of the claim or application. (3) Utilization of industry-recognized databases. (4) Preservation of documents and other evidence. (5) Writing a concise and complete summary of the investigation, including the investigator’s findings regarding the suspected insurance fraud and the basis for their findings. A Global Leader in Compliance and Investigation Solutions

  19. Function/Purpose of Your SIU Referral of Suspected Insurance Fraud in Accordance with California Regulations Section 2698.37 G4S Compliance & Investigations shall provide for the referral of acts of suspected insurance fraud to the Fraud Division and, as required, district attorneys. Referrals shall be submitted in any insurance transaction where the facts and circumstances create a reasonable belief that a person or entity may have committed or is committing insurance fraud. All incidents of suspected insurance fraud will be submitted to the Fraud Division within 60 days of reasonable belief. A Global Leader in Compliance and Investigation Solutions

  20. What is Reasonable Suspicion? “Reasonable belief” is a level of belief that an act of insurance fraud may have or might be occurring for which there is an objective justification based on articulable fact(s) and rational inferences there from. California Statutes 2698.30 A Global Leader in Compliance and Investigation Solutions

  21. Reasonable Suspicion To Report Fraud • In Mandatory State Fraud reporting, the claims professional or SIU member should be able to state objective justification based on articulable fact(s) and rational inferences to justify the report to the state or appropriate agency. • A claim meets this requirement if you can answer this question; • I believe this case is fraudulent because…… • If that question can be answered, then the claim meets the mandatory state fraud referral statutes. • Keep in mind that you do not need evidence of insurance fraud to trigger these regulations except in the State of Wisconsin. A Global Leader in Compliance and Investigation Solutions

  22. What is Reasonable Suspicion? • Now that we have agreed on what % of your claims are fraudulent, and gone through what reasonable suspicion is, what % of your claims do you suspect to be fraudulent? • Obviously this number is going to be larger than the 15% we have already agreed were fraudulent or inflated. • Keep in mind the states that have Mandatory Reporting Requirements have set the threshold of “SUSPECTED TO BE FRAUDULENT”. • If you suspect a claim to be fraudulent, you must notify SIU so a State Fraud Referral can be filed and recorded on the Fraud Log. A Global Leader in Compliance and Investigation Solutions

  23. Mandatory Fraud Reporting “Any company licensed to write insurance in this state that believes that a fraudulent claim is being made shall, within 60 days after determination by the insurer that the claim appears to be a fraudulent claim, send to the Bureau of Fraudulent Claims, on a form prescribed by the Department, the information requested by the form and any additional information relative to the factual circumstances of the claims and parties claiming loss or damages that the commissioner may require.” California Insurance Code 1874 A Global Leader in Compliance and Investigation Solutions

  24. Why Should We Comply with Mandatory Reporting? • Several States have sanctions in their statutes that can be used to compel a carrier to comply with the Mandatory Reporting Statute. • The following states can sanction a carrier for not complying with this mandatory reporting statute; • California - $5,000 per claim. • Pennsylvania - $10,000 for not complying with the Anti-Fraud Plan on file with the state. • Florida - $2,000 a day back to the first date the states decides the carrier should have been complying with the fraud regulations and an additional $100,000 at the discretion of the commissioner. • New Jersey - $12,500 per claim. • New York - left to the discretion of the commissioner. • Other states also have sanctions in their arsenal that can be used. A Global Leader in Compliance and Investigation Solutions

  25. Example of Immunity For Reporting California Insurance Code 1872.5 - “No insurer, or the employees or agents of any insurer, shall be subject to civil liability for libel, slander, or an other relevant tort cause of action...” • PROVIDED: • The investigation was conducted in good-faith • There was no malice of forethought • No willful misrepresentation was made • No intentional exclusions of relevant information • No violation of local, state or federal Privacy laws A Global Leader in Compliance and Investigation Solutions

  26. Example of Immunity For Reporting FLORIDA Insurance Code, Title XXXVII. Insurance, Chapter 626.989 Insurance Field Representatives (d) In addition to the immunity granted in paragraph (c), persons identified as designated employees whose responsibilities include the investigation and disposition of claims relating to suspected fraudulent insurance acts may share information relating to persons suspected of committing fraudulent insurance acts with other designated employees employed by the same or other insurers whose responsibilities include the investigation and disposition of claims relating to fraudulent insurance acts, provided the department has been given written notice of the names and job titles of such designated employees prior to such designated employees sharing information… A Global Leader in Compliance and Investigation Solutions

  27. How Do I Report a Suspicious Claim? • Contact G4S Compliance & Investigations as your Special Investigations Unit (SIU) per your company’s written Anti-Fraud Procedures Manual. • G4S CaseTrak has a tab for submitting “State Fraud Referral Assignments”. • Select this tab and submit your assignment. G4S Compliance & Investigations will place your referral report on the proper state form and file with the appropriate State Fraud Bureau as required by regulation or statute. • Upon review, the SIU may contact you for determination of further investigation requirements. • G4S Compliance & Investigations SIU can also be reached at • 1-800-927-0456. A Global Leader in Compliance and Investigation Solutions

  28. Insurer – SIU Training Responsibilities Anti-Fraud Training in Accordance with California Regulation Section 2698.39 Requirements for training provided by and for the SIU shall include: (a) The insurer has established and maintained an ongoing anti-fraud training program, planned and conducted to develop and improve the anti-fraud awareness skills of the integral anti-fraud personnel. (b) The insurer has designated the SIU Compliance Manager to be responsible for coordinating the ongoing anti-fraud training program. (c) The anti-fraud training program shall consist of three (3) levels: (1) All newly- hired employees shall receive an anti-fraud orientation within ninety (90) days of commencing assigned duties. (2) Integral anti-fraud personnel shall receive annual anti-fraud in-service training. (3) The SIU personnel shall receive continuing anti-fraud training. A Global Leader in Compliance and Investigation Solutions

  29. Fraud Warning Language Current research of the anti-fraud compliance laws of the fifty states and the District of Columbia reveals there are twenty-seven [27] jurisdictions that have a state statute or regulations concerning “Fraud Warnings”. The fraud warning language in the state statute MUST be used on all applicable documents in the states of Alaska, California [English & Spanish], Pennsylvania, and Rhode Island. The fraud warning language in the state statute MUST be used on all applicable workers compensation documents in the states of Tennessee and Utah. A Global Leader in Compliance and Investigation Solutions

  30. Fraud Warning Language The fraud warning language to be used in applicable documents can be substantiallysimilar to the language in the state statute, and does not have to be exact in the states of Arizona, Arkansas, Colorado, District of Columbia, Florida, Hawaii, Idaho, Indiana, Kentucky, Louisiana, Maine, Minnesota, New Hampshire, New Jersey, New Mexico, Ohio, Oklahoma, Tennessee [for non-work comp claims], and Virginia. Fraud warning must appear on the back of benefit checks in the states of Delaware, New York, Rhode Island, Utah, and in CA on TTD checks in both English and Spanish [or enclosed with ck]. Please make sure that you are using the appropriate fraud warning language in each state. If you wish to receive a complete breakdown by state, please contact the SIU Compliance Manager. A Global Leader in Compliance and Investigation Solutions

  31. CA Code of Regulations: Section 2698.42 - Penalties (a) If the Commissioner acts pursuant to the provisions of California Insurance Code Section 1875.24( c) or (d) and finds that the insurer has failed to comply with the provisions of this article, the Commissioner shall impose a monetary penalty in an amount not to exceed $5,000 for each act of non-compliance. Where the Commissioner determines that an insurer has willfully failed to comply with this article, the Commissioner may impose a monetary penalty in an amount not to exceed $ 10,000 for each willful act of non -compliance. The Commissioner shall consider the factors enumerated at California Code of Regulations Title 10 Chapter 5, Subchapter 3,Section 2591.3 (a)-(f) and determine if any of the enumerated factors are applicable to the insurer's conduct in the establishment and operation of its special investigative unit. If the Commissioner finds such factors are applicable to the insurer's conduct, the Commissioner may reduce the amount of the monetary penalty prescribed in subsection 2698.42(a). A Global Leader in Compliance and Investigation Solutions

  32. CA Code of Regulations: Section 2698.42 - Penalties (b) If the Commissioner acts pursuant to the provisions of California Insurance Code Section 1875.24(c) or (d) and determines that the acts of non-compliance are inadvertent and are solely relative to the maintenance and operation of the special investigative unit of the insurer, then the Commissioner shall consider such violations to be a single act for the purposes of imposition of a monetary penalty that is no greater than $5,000 for that single act. For all other inadvertent acts, the Commissioner shall impose a penalty in the amount of up to $5,000 per inadvertent act that is not in compliance with this article. A Global Leader in Compliance and Investigation Solutions

  33. G4S Compliance & Investigations - SIU G4S Compliance & Investigations 2009 Successes: Arrests……………………………………………………… 167 Convictions ………………………………………………….86 Professional License Revocations ……………………….3 Prosecutions Pending……………………………………...65 Packages Pending ………………………………………….28 Restitution Ordered …………………........... $1,494,526.42 State Fraud Referrals …………………………………..1,390 Warrants/Indictments Pending Arrest ……………………6 A Global Leader in Compliance and Investigation Solutions

  34. G4S Compliance & Investigations - SIU G4S Compliance & Investigations (SIU) conducted interviews with the contractors who provided estimates for the damages to the property to Pleasure Island Shrimp House. These interviews determined that the estimates provided by the insured, Mr. Tran, were fabricated by him. Tran presented a repair estimate in the amount of $119,900. The SIU investigation revealed that there is no such company. This estimate was fabricated by Mr. Tran. Mr. Tran also presented an estimate for the repair of refrigeration equipment in the amount of $347,600.00. SIU interviewed the owner of the company that supposedly wrote the estimate and learned they have not made any repairs to Mr. Tran since 2003. In addition, they do not install any refrigeration equipment. There would never be any labor costs on any of his estimates. His highest billing ever for equipment sold to Tran was under $3000.00. This estimate in the amount of $347,600 was also fabricated by Mr. Tran. Continue on next slide A Global Leader in Compliance and Investigation Solutions

  35. G4S Compliance & Investigations - SIU Victor Tran pled guilty to 1 count of making a false statement and was ordered to pay XL Specialty Insurance Company $500,000.00 in restitution. Victor Tran reimbursed XL a total of $500,000.00 in restitution. A Global Leader in Compliance and Investigation Solutions

  36. G4S Compliance & Investigations - SIU Jose Diaz was hired in February 2006 as a laborer and filed a DWC-1 and an Application for Adjudication of Claim, alleging that sometime in May 2006, while working for the insured, he slipped on water and became injured when he fell landing on his left side. In addition, in June 2006, he filed a DWC-1 and an Application for Adjudication of Claim, alleging a cumulative trauma injury from February 2006 to June 2006. The Employer was not aware of any injury and the claim was delayed pending investigation. It was discovered that Jose Diaz’s attorney and physician were the same for a previous workers’ compensation claim with the State Compensation Insurance Fund. In that case this 1993 claim, Mr. Diaz reports to have been injured while lifting a 60 pound box. Jose Diaz, through his attorney, filed an Application for Adjudication of Claim in June 2003, and the claimant filed a DWC-1 in June 2003, for a cumulative trauma claim for injuries Jose Diaz and his attorney settled that claim on a Compromise and Release in September 2005. Jose Diaz was being treated for alleged injuries from a motor vehicle accident on March 26, 2006. Continue on next slide A Global Leader in Compliance and Investigation Solutions

  37. G4S Compliance & Investigations - SIU Los Angeles CA - Jose Diaz pled guilty to one count of Insurance Fraud. At sentencing, per the plea agreement, Mr. Diaz paid restitution in the amount of $5,000. This allowed him to have no prison time, but he will have 5 years formal probation and 300 hours of Community Service. It is during this 5 year period that Mr. Diaz is ordered to make full restitution of $20,000. Mr. Diaz also agreed to withdraw and cancel his workers' compensation claim. A Global Leader in Compliance and Investigation Solutions

  38. G4S Compliance & Investigations - SIU Alfredo Wong Pizarro was employed by Costco Wholesale in Orlando, Florida as a seasonal temporary stocker from November 7, 2000. On December 9, 2000 at approximately 5:00 pm, Mr. Pizarro tripped on a rope utilized to keep people out of a particular isle, and fell injuring his right foot and lower back. Mr. Pizarro received medical attention on December 9, 2000. He was released to return to work on light duty that day. Per the employer, they received first notice of injury on December 9, 2007 from Mr. Pizarro. Mr. Pizarro was later referred to a Wellness Center where he was treated for his right ankle, lower back and thoracic area. Over time, Mr. Pizarro’s complaints escalated to include his cervical spine, liver problems and pain in the right shoulder and lower extremities. Mr. Pizarro was placed under surveillance and was documented conducting activities he had been claiming to his physicians and in deposition that he specifically could not do. Continue on next slide A Global Leader in Compliance and Investigation Solutions

  39. G4S Compliance & Investigations - SIU Alfredo Pizarro pled guilty to 1 Count of Workers' Compensation Insurance Fraud and was sentenced to a withhold of adjudication with one year of reporting probation, with the special condition of 15 days in the Dade County Jail, 50 hours of community service to be completed at a minimum of 5 hours per month, restitution in the amount of $122,644.88 and investigative cost to the DOIF in the amount of $1,135.94. A Global Leader in Compliance and Investigation Solutions

  40. What is Insurance Fraud? A Global Leader in Compliance and Investigation Solutions

  41. What is Insurance Fraud? • Elements of the crime of insurance fraud are consistent: • Someone deliberately lies – (intent) • The intent of the lie is for someone else to rely on that lie, so that they may receive a benefit otherwise not entitled • The other person relies on that lie • As a result, the person who relied on that lie is harmed • Each state has different thresholds an insurer must meet before the state will accept a case. • Texas requires that an insurer or self insurer pay at least $1,500 on the claim before the DOI will accept a fraudulent claim for investigations. • Before the Federal authorities will accept a case, the loss must exceed $250,000. A Global Leader in Compliance and Investigation Solutions

  42. What Constitutes Insurance Fraud? Looking for the Lie In order to have Insurance Fraud, you must have a Lie. The lie does not have to be something that was told to the adjustor, doctor, investigator, attorney or other. It can be something that the individual should have said. GOT M.I.L.K.? A Global Leader in Compliance and Investigation Solutions

  43. Fraud Defined – Got M.I.L.K.? • Misrepresentations made must be Material to the case • The false information must have been presented Intentionally • A Lie must have been presented to prove, validate, affirm or deny a claim for injury or loss payment or to obtain insurance coverage • The information must have been presented Knowingly • The false information presented would have altered, changed or modified the manner the claim was handled, investigated, evaluated or settled A Global Leader in Compliance and Investigation Solutions

  44. Emerging Fraud Trends Key Fraud Indicators A Global Leader in Compliance and Investigation Solutions

  45. Three Main Types of External “Bad Guys” • Professional Fraud Perpetrators • Semi-Professional Fraud Perpetrators • Opportunistic Fraud Perpetrators A Global Leader in Compliance and Investigation Solutions

  46. Professional Fraud Perpetrators • These are professional criminals who have made their livelihoods from insurance fraud schemes. In some cases, they have been doctors, lawyers, business owners and other professionals. The type of fraud that professional fraud perpetrators commit is sometimes referred to as “hard-core fraud” because it has involved fake theft claims, false bodily injury claims and staged accidents that have been repeated time and again and have had the potential to cost insurance companies many thousands of dollars. • General Liability • “Slip and fall” • Product Liability • Staged Accidents • Property Losses • Homeowner and Commercial A Global Leader in Compliance and Investigation Solutions

  47. Professional Fraud Perpetrators • Auto Salvage Fraud – exchange VIN’s, rigged bidding, flood cars • Crime Rings – chop shops, trucking thefts, etc. • Arson-For-Profit Rings - Some rings were hired by policy owners for a fee, and some rings profited directly from the schemes • Staged Auto Accident rings A Global Leader in Compliance and Investigation Solutions

  48. Semi-Professional Fraud Perpetrators • Medical Build up Schemes • Rolling Labs • Medical Mills • Ambulance Chasing Rings • Police and EMS selling accident lists A Global Leader in Compliance and Investigation Solutions

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