In a long-awaited response to the Health and Human Services’ (HHS’s) “Regulatory Sprint to Coordinated Care”, the Centers for Medicare & Medicaid Services (CMS) and the Office of Inspector General (OIG) have released new exceptions to the Stark Law and safe harbors to AKS. Join industry experts as we examine the proposed modifications to requirements for EHR and cybersecurity technology donations, and how these changes can promote a more secure, interoperable healthcare information technology system.
- Discuss the proposed modifications to the Stark Law and Anti-Kickback Statutes to facilitate donations of EHR and cybersecurity technology services.
- Assess the potential impact of the proposed rules for health system organizations currently providing or considering this strategy (business and legal perspectives).
- Explain the specific requirements of the proposed guidelines involving a hospital’s technology donation arrangement with providers and associated repercussions of noncompliance
- Outline the operational considerations and critical success factors in business planning for donors and recipients.