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“BENCHMARKING” YOUR COMPLIANCE PROGRAM’S EFFECTIVENESS: A PRACTICAL GUIDE

“BENCHMARKING” YOUR COMPLIANCE PROGRAM’S EFFECTIVENESS: A PRACTICAL GUIDE. H. Guy Collier, Esq. Shaw Pittman LLP Washington, DC guy.collier@shawpittman.com Fifth Annual National Congress on Health Care Compliance Washington, DC February 8, 2002 .

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“BENCHMARKING” YOUR COMPLIANCE PROGRAM’S EFFECTIVENESS: A PRACTICAL GUIDE

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  1. “BENCHMARKING” YOUR COMPLIANCE PROGRAM’S EFFECTIVENESS: A PRACTICAL GUIDE H. Guy Collier, Esq. Shaw Pittman LLP Washington, DC guy.collier@shawpittman.com Fifth Annual National Congress on Health Care Compliance Washington, DC February 8, 2002

  2. Key Questions: • What are the “benchmarks” against which your compliance program should be evaluated? • Why evaluate your program? • Who should evaluate it? • How do you perform a meaningful evaluation? • What substantive and procedural areas should be covered? • What is the “deliverable,” or work product? • What are the keys to a successful evaluation? • How long should it take?/How much should it cost? • How frequently should it be done?

  3. What are the Benchmarks Against Which Your Compliance Program Should Be Evaluated? • Your own compliance plan • Your original and updated implementation plans • OIG “guidance?” • Industry best practices

  4. Why Evaluate Your Program? • Is it effective in preventing and detecting violations of law? • Should priorities change? • Are all key elements working well? • Is your program sufficiently comprehensive to avoid imposition of a CIA?

  5. Who Should Evaluate It? • Inside vs. outside • Objectivity • Legal vs. non-legal • Privilege issues

  6. How Do You Perform A Meaningful Evaluation? • Document review • Code, plan, policies & procedures • Minutes • Training schedules and materials • Audit schedules and reports • Hotline activity • Other

  7. How Do You Perform A Meaningful Evaluation? (Continued) • Interviews • CCO/chair of compliance committee • Legal/other senior management • CFO/other finance staff • CIO (HIPAA) • IRB/research director • Internal audit/hotline coordinator • Radiation safety/environmental/occupational

  8. What Substantive and Procedural Areas Should Be Covered? • Review/updating of plan and priorities • Educational efforts • Audit activities • Hotline functioning and results • Disciplinary mechanisms and results • Effectiveness of excluded persons screening

  9. What Substantive and Procedural Areas Should Be Covered? (Continued) • Reporting relationships • Theory • Practice • Effectiveness • Document retention • Adequacy/organization of overall documentation of program

  10. What is the “Deliverable,” or Work Product? • Privileged report to CCO, legal • Description of scope, process • Synopsis of interviews • Recommendations for remedial action • Incorporating comments on draft report • Presentation to senior management, compliance/audit committee

  11. What Are the Keys To a Successful Evaluation? • Organized process • Simple, cost-effective • Thorough and objective • Clear recommendations for remedial action

  12. How Long Should It Take?/How Much Should It Cost? • Development of a realistic timeline • Weeks, not months • Cost/order of magnitude

  13. How Frequently Should It Be Done? • Size, complexity of your organization • Particular risk areas • Previous encounters with regulatory agencies • General guidelines

  14. Conclusions • Cost-effective, timely, concise • Enormous potential benefits

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