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Lesley Yeung Healthcare Attorney Epstein Becker Green

LESLEY R. YEUNG is a healthcare lawyer at Epstein Becker Green Advising hospitals, health systems and other health-related companies on legal and regulatory matters arising under Medicare, Medicaid and other third-party reimbursement programs

New Rules for Stakeholders in the No Surprises Act

In this episode, we discuss the No Surprises Act and new additional interim final rules and guidance to implement the NSA, including the second interim final rule, the independent dispute resolution process and how the IDR’s determination is made.

Podcast: No Surprises Act: New Rules and Guidance for Stakeholders (Part 1) - Diagnosing Health Care | Epstein Becker & Green

The No Surprises Act (NSA) will go into effect on January 1, 2022. Since our last episode on the topic, the federal government has issued additional interim final rules and guidance to.

Podcast: No Surprises Act: New Rules and Guidance for Stakeholders (Part 1) - Diagnosing Health Care | Epstein Becker & Green

The No Surprises Act (NSA) will go into effect on January 1, 2022. Since our last episode on the topic, the federal government has issued additional interim final rules and guidance to.

Podcast: CMS and OIG Final Rules for Innovating Your Value-Based Payment Program - Diagnosing Health Care | Epstein Becker & Green

To embed, copy and paste the code into your website or blog: The Centers for Medicare & Medicaid Services ( CMS ) and the Office of Inspector General ( OIG ) of the Department of Health and Human Services have at last published their long-awaited companion final rules advancing value-based care. The rules present significant changes to the regulatory framework of the federal physician self-referral law (commonly referred to as the “Stark Law”) and to the federal health care program’s Anti-Kickback Statute, or “AKS.” See more + The Centers for Medicare & Medicaid Services ( CMS ) and the Office of Inspector General ( OIG ) of the Department of Health and Human Services have at last published their long-awaited companion final rules advancing value-based care. The rules present significant changes to the regulatory framework of the federal physician self-referral law (commonly referred to as the “Stark Law”) and to the federal health care program’s Anti-Kickback St

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