How New Kickback Rules Benefit Health Care Industry: Part 2

By Karen Lovitch and Rachel Yount (December 17, 2020, 6:28 PM EST) -- The U.S. Department of Health and Human Services recently gave the health care industry a host of holiday gifts in the form of significant changes to the regulations implementing the Anti-Kickback Statute, the Physician Self-Referral Law — commonly known as the Stark Law — and the civil monetary penalty rules regarding beneficiary inducements.

The changes come through corresponding final rules — one issued by the HHS Office of Inspector General addressing changes to the AKS and the beneficiary inducements civil monetary penalty rules,[1] and one issued by the Centers for Medicare & Medicaid Services addressing changes to the Stark Law.[2]

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