HHS Issues Final Cybersecurity Safe Harbor and Exception Tuesday, December 15, 2020
On November 20, 2020, the U.S. Department of Health and Human Services (HHS) Office of Inspector General (OIG) and the Centers for Medicare and Medicaid Services (CMS) each released a final rule (the Final Rules). The Final Rules were both formally published in the Federal Register on December 2, 2020. Among other updates, the OIG final rule established a new cybersecurity technology and services donation safe harbor under the Anti-Kickback Statute (the AKS Cybersecurity Safe Harbor
1), and the CMS final rule established a similar exception to the Stark Law (the Stark Cybersecurity Exception
Analysis: CMS Finalizes Updates to the Stark Law to Reduce Regulatory Burdens and Provide Flexibility to Providers
USA
December 16 2020
On 2 December 2020, the Centers for Medicare & Medicaid Services (CMS) published a Notice of Final Rulemaking in the
Federal Register (Final Rule),
1 modifying the regulations implementing the federal physician self-referral law (the Stark Law).
2 In the Final Rule, CMS largely finalizes many of the proposals set forth in the Proposed Rulemaking issued on 17 October 2019 (Proposed Rule),
3 with certain modifications. CMS has indicated that many of the changes to the Stark Law are intended to provide additional flexibility and reduce administrative burden to health care providers in structuring arrangements to comply with the Stark Law, driven by the Department of Health and Human Services’ initiative to accelerate the transformation of the health care system to better pay for value and promote care coordination, titled the “Regulatory Spr
Analysis: CMS Finalizes Updates to the Stark Law to Reduce Regulatory Burdens and Provide Flexibility to Providers Wednesday, December 16, 2020
On 2 December 2020, the Centers for Medicare & Medicaid Services (CMS) published a Notice of Final Rulemaking in the
Federal Register (Final Rule),
1 modifying the regulations implementing the federal physician self-referral law (the Stark Law).
2 In the Final Rule, CMS largely finalizes many of the proposals set forth in the Proposed Rulemaking issued on 17 October 2019 (Proposed Rule),
3 with certain modifications. CMS has indicated that many of the changes to the Stark Law are intended to provide additional flexibility and reduce administrative burden to health care providers in structuring arrangements to comply with the Stark Law, driven by the Department of Health and Human Services’ initiative to accelerate the transformation of the health care system to better pay for value and promote care coordination, titled