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Summarize the cost of an MPI light vehicle repair claim

Operations Analyst Qualification Test

Instructions:

  • Please answer the questions without use of outside sources of information (e.g. internet, Excel Help, etc.).
  • Create a new Word document and save the file to Desktop with your first and last name as the filename.
  • Enter answers to all the questions (except Question 2ai) into this Word document.
  • Save the Excel document provided to your Desktop with your first and last name as the filename. Provide all work to support answers for Question 2 in the Excel document.
  • Please send your answers and excel document to Catherine Minaker, via email prior to the deadline provided in this testing invitation.

Question 1:

A recent publication stated that the average cost of repairing light vehicles in Canada is $6,200. Your manager asks you summarize the cost of an MPI light vehicle repair claim. You are given the following random sample of gross repair costs for 45 claims.

$5,735$5,826$5,939$5,995$6,221$6,262$6,278$6,452$6,488
$6,504$6,559$6,568$6,713$6,827$6,835$6,879$6,908$6,918
$6,931$6,963$6,964$6,992$7,096$7,120$7,235$7,261$7,282
$7,298$7,342$7,359$7,376$7,418$7,499$7,643$7,738$7,897
$7,936$8,043$8,058$8,079$8,240$8,274$8,674$8,754$8,927

Pleaseanswer the following questions:

  1. Which measure of central tendency do you think is most appropriate for summarizing this sample data? How would you explain to a non-technical audience why you chose this measure? (15 marks)
  2. What kind of statistical test could be applied to the sample to determine if MPI’s repair cost is different than the Canadian average? Why? (15 marks)

Question 2:

On March 1, 2017, MPI management implemented a new process that was expected to reduce the repair cost of lightning claims. Management believes that the initiative has been a success and has asked you to confirm that the new process has achieved its objective for repairable lightning claims.

You request a dataset that includes claims data for repairs performed between March 1, 2015 and February 28, 2019. Another department runs the query quickly and sends you a dataset (provided) without asking any follow-up questions about your requirements. This is the first time you have looked at the dataset.

  1. Use the dataset to evaluate whether the new process reduced the average repair cost of lightning claims.
    1. Validate and ensure that the data set is ready for analysis. (10 marks)
    2. Determine if the repair cost increased or decreased after the new process was implemented, and by how much. Explain the steps you followed to make this conclusion. (5 marks)
    3. If repair costs did change, was it as a result of the new process? If repair costs didn’t change, is it possible that the new process was still effective? Support your answer, including any numbers, tables, charts, etc. that you see as relevant. (30 marks)
  2. What are the limitations of your findings? Is there any other data that you would be interested in obtaining to strengthen your analysis? Explain. (15 marks)
  3. Summarize your findings in an email suitable for a non-technical audience. (10 marks)
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According to the theory of false claim act liability commonly referred to as “implied false certification

Discussion response

analyn

Part A False Claim Act

Hypothesis: According to the theory of false claim act liability commonly referred to as “implied false certification” when defendant submits claim, it impliedly certifies compliance with all conditions of payment. The implied false certification theory ca be a basis for liability

Federal Civil False Claims Act (FCA) The civil FCA, 31 United States Code (U.S.C.) Sections 3729–3733, protects the Federal Government from being overcharged or sold substandard goods or services. The civil FCA imposes civil liability on any person who knowingly submits, or causes the submission of, a false or fraudulent claim to the Federal Government. The terms “knowing” and “knowingly” mean a person has actual knowledge of the information or acts in deliberate ignorance or reckless disregard of the truth or falsity of the information related to the claim. No specific intent to defraud is required to violate the civil FCA. Examples: A physician knowingly submits claims to Medicare for medical services not provided or for a higher level of medical services than actually provided. Penalties: Civil penalties for violating the civil FCA may include recovery of up to three times the amount of damages sustained by the Government as a result of the false claims, plus financial penalties per false claim filed. Additionally, under the criminal FCA, 18 U.S.C. Section 287, individuals or entities may face criminal penalties for submitting false, fictitious, or fraudulent claims, including fines, imprisonment, or both

Settlement Based on Electronic Health Records Incentive Program (real-life Case)

 On May 31, 2019, the DOJ announced that Coffey Health System in Kansas agreed to pay $250,000 to settle claims that they violated the False Claims Act.  The Coffey Health System operates a 25-bed critical access hospital located in Burlington, Kansas.  The DOJ alleged that Coffey Health System falsely attested that it conducted and/or reviewed security risk analyses in accordance with the requirement under the electronic health records (EHR) incentive program in 2012 and 2013.  The DOJ specifically alleged that the Coffey Health System (Violation) falsely attested that they satisfied the measures of requirements for analyzing and addressing security risk to electronic health records. 

Compliance to minimize exposure risks

A new fact sheet issued by the Centers for Medicare & Medicaid Services (CMS) explains hospital payment adjustments under the Medicare Electronic Health Record (EHR) Incentive Program.

Eligible hospitals that failed to demonstrate meaningful use of EHRs for calendar year 2016 are subject to a payment adjustment for fiscal year (FY) 2018, which began Oct. 1. Payment adjustments are applied as a reduction to the hospital Inpatient Prospective Payment System (IPPS) percentage increase for FY 2018. Eligible hospitals that failed to attest will see a 75 percent decrease to the FY 2018 IPPS annual payment update.

CMS has contacted hospitals that did not meet meaningful use requirements or file a timely hardship exception and are therefore subject to the penalty in FY 2018. The fact sheet contains additional information on hardship exceptions, which are granted on a case-by-case basis in four categories: infrastructure; new eligible hospitals; unforeseen circumstances; or EHR vendor issues. 

Eligible Hospitals

An eligible hospital demonstrates meaningful use by successfully attesting through either the CMS Medicare EHR Incentive Programs Attestation System (https://ehrincentives.cms.gov/hitech) or through its state’s Medicaid EHR Incentive Program attestation system

Part B Anti- Kickback Statute or stark Law

Hypothesis: Prohibit medical providers from paying or receiving kickbacks, remuneration or anything of value in exchange for referrals of patients who will receive treatment paid for by the government healthcare programs such Medicare and Medicaid.

Under Federal law and federal state laws- The AKS, 42 U.S.C. Section 1320a-7b(b), makes it a crime to knowingly and willfully offer, pay, solicit, or receive any remuneration directly or indirectly to induce or reward patient referrals or the generation of business involving any item or service reimbursable by a Federal health care program, When a provider offers, pays, solicits, or receives unlawful remuneration, the provider violates the AKS, The Physician Self-Referral Law, 42 U.S.C. Section 1395nn, often called the Stark Law, prohibits a physician from referring patients to receive “designated health services” payable by Medicare or Medicaid to an entity with which the physician or a member of the physician’s immediate family has a financial relationship, unless an exception applies.

Financial Arrangements with Emergency Room Physicians

 On April 30, 2019, the DOJ announced that a former CEO of Health Management Associates (HMA) agreed to pay $3.46 million to resolve false billing and kickback allegations.  This settlement resolved allegations that the hospital former CEO caused HMA to knowingly submit false claims to government healthcare programs by admitting patients that could have been treated on a less costly, outpatient basis.  The settlement also resolved allegations that the hospitals CEO caused HMA to pay remuneration to emergency department physicians in return for referrals, This settlement resolves allegations that the former CEO of this hospital chain caused HMA to pressure emergency department physicians to increase inpatient admissions by recommending admission without regard to medical necessity.  The DOJ also alleged that the former hospital chain CEO caused HMA to pay remuneration to EmCare, a physician staffing company, to recommend admission when patients should have been treated on an outpatient basis.   The DOJ also alleged that the former HMA CEO caused HMA to make certain bonus payments to EmCare emergency department physicians and tied EmCare’s retention of existing contracts and receipt of new contracts to increase admissions of patients who came to the emergency department, HMA and EmCare have already resolved their liability to the government related to these allegations.  In September 2018, HMA entered into a civil settlement under which it paid $61.8 million to the government.  HMA also entered into a non-prosecution agreement with the criminal division’s fraud section under which it paid $35 million. 

Violation- False billing, HMA to knowingly submit false claims to government healthcare programs by admitting patients that could have been treated on a less costly, outpatient basis. also violation of physician in return of referrals.

Compliance with Stark Law and Anti-Kickback Policies and Procedures

Policies, procedures, and practices available to help health care organizations remain compliant with both the Stark Law and the AKS. The most overarching way organizations can maintain compliance with these laws is by ensuring their compliance programs are effective and operating as recommended by the Department of Health and Human Services Office of Inspector General (OIG). In the OIG’s Compliance Program Guidance documents¹, there are seven key elements of an effective compliance program including: Implementing written policies, procedures and standards of conduct, Designating a compliance officer and compliance committee, Conducting effective training and education, Developing effective lines of communication, Conducting internal monitoring and auditing, Enforcing standards through well-publicized disciplinary guidelines, Responding promptly to detected offenses and undertaking corrective action, The most notable of these elements as it relates to compliance with the Stark Law and the AKS is implementing written policies, procedures and standards of conduct. By following necessary policies and procedures for these laws, health care organizations can avoid instances of improper referrals and other remuneration fraud or abuse.

Reference:

Medicare Learning Network 2022 Publication: Medicare Fraud and Abuse PDF  https://learn.umgc.edu/content/enforced/686368-027419-01-2225-OL1-6380/Medicare%20Learning%20Network%202022%20Publication%20Medicare%20Fraud%20and%20Abuse%20PDF.pdf?_&d2lSessionVal=HYnTSyliATWgRrpp3Di5tSrR7

Resources. (n.d.). Breazeale, Sachse & Wilson – Attorneys at Law | Baton Rouge & New Orleans, Louisiana Law Firm |. https://www.bswllp.com/false-claim-act-cases-and-settlements-involving-hospital-financial-relationships-with-referring-physicians

CMS releases fact sheet on EHR penalties. (n.d.). America’s Essential Hospitals. https://essentialhospitals.org/policy/cms-releases-fact-sheet-on-ehr-penalties/ 

How to comply with stark law and anti-kickback policies and procedures. (2021, February 2). Strategic Management Services, LLC. https://www.compliance.com/resources/how-to-comply-with-stark-law-and-anti-kickback-policies-and-procedures/

Discussion 5

Health executives have a code of ethics and policy statements that guide their behavior. The American College of Health Care Executives is the most visible Code of Ethics for HCO managers.  Health providers have other professional codes.

Your post this week will answer the question: Does management have a different code than health providers and how can this be resolved? 

Structure of your post.

1. Examine one (specific) portion of the code provided by ACHE.org.

2. Describe one (specific) portion of the code used by a health professional you select.

3. Cite the portion of the ACHE and health professional code but do not quote them. Use your own words.

4. Comment on how the two codes may differ in nature. Compare and contrast.

5. Do you anticipate any circumstances or situations that will require resolution? Will the current pandemic, unequal distribution of health services, or biotech advances that may emerge in the years to come?

6. What will help to resolve a dilemma? 

Assigned reading materials:

· American College of Healthcare Executives (2021). ACHE code of ethics. Retrieved from  https://www.ache.org/about-ache/our-story/our-commitments/ethics/ache-code-of-ethics

· Gaines, K. (2020).Nursing Code of Ethics-Summary  https://nurse.org/education/nursing-code-of-ethics/

· ACHE Website: Using the ACHE’s Code of Ethics Landing Page

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comprehensive thesis statement that states your claim

Research Paper Draft Instructions You are required to submit this assignment once and it must meet the assignment prompt to be graded. You may make two attempts if you choose. This will allow you to receive qualitative feedback that can help you improve your submission. .

For this assignment, you will need to submit:

· The first draft of your research paper, complete with properly-formatted parenthetical citations from at least four credible sources within the text. 

· The Works Cited page, which should be located at the end of your essay. The Works Cited page should be clearly labeled and follow MLA formatting requirements. 

You will need a good, comprehensive thesis statement that states your claim (what will you prove? Keep in mind that the purpose of this assignment is to support a claim, which means you must do more than merely inform the reader. You must take a stance on your topic and make/support claims that go beyond mere facts) and at least three supporting details (how will you prove your point?).

Format Requirements:

Remember to apply the concepts you’re learning in the course, including elements of grammar, punctuation, thesis development, and other skills. 

Header: Include a header in the upper left-hand corner of your writing assignment with the following information:

· Your first and last name 

· Course Title (Composition I) 

· Assignment name (Research Paper) 

· Current Date

Page Layout:

· At least four credible  sources used and documented in MLA style

· Last name and page number in upper-right corner of each page as a header

· Double-spacing throughout

· Title, centered after heading (Title should be more creative than “n.”) 

· Standard font (Times New Roman or Calibri)

· 1” margins on all sides

· Save the file as .docx or .doc format

Length: This assignment should be a minimum of 1250 words.

Underline your thesis statement in the introductory paragraph.

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CMS-1500 claim form may not be used for private-pay patients

While it is true that the CMS-1500 claim form may not be used for private-pay patients, this form will be required for all claims when the patient is covered by any form of insurance to recover payment for services. A working knowledge of the CMS-1500 is essential for all persons working in the revenue and billing area of healthcare.

Tasks:

  • Using the CMS-1500 form, fill out the form for a non-Hodgkin’s lymphoma (page 183 of text) and a radiological Oncology treatment (page 278 of text).
  • Use patient information found on EOB Figure 4-17 of text (page 90).
  • Describe the process of submitting this claim form through a third-party administrator.

Submission Details: