Saturday, December 12, 2020
On November 20, 2020, in addition to new Stark Law regulations intended to accommodate value-based financial arrangements with physicians, the Centers for Medicare and Medicaid Services (CMS) issued final regulations that significantly overhaul existing Stark Law exceptions, special rules and definitions. Published in the Federal Register on December 2, these regulatory changes will make it easier for health care entities to comply with the Stark Law.
This client alert is part of a series of summaries prepared by Faegre Drinker explaining the voluminous revisions to CMS’s Stark Law regulations and the Anti-Kickback Statute safe harbors promulgated in connection with what the Trump administration has called the “regulatory sprint” to coordinated care. Links to our prior client alerts are at the end of this piece.