Practice and Industry Teams
OIG Issues Favorable Advisory Opinion on Waiver of Cost-Sharing Amounts for Charitable Pediatric Care
February 18, 2019
The OIG recently published favorable guidance in Advisory Opinion No. 19-01 regarding the waiver of cost-sharing amounts for charitable pediatric care in limited circumstances (“Arrangement”). While OIG concluded that the pediatric clinic’s Arrangement could potentially generate prohibited remuneration, OIG stated that it would not impose sanctions under either the Anti-Kickback Statute or the Civil Monetary Penalties law because the arrangement impacts a limited number of patients and contains a variety of safeguards to reduce the risk of fraud and abuse.
Under the clinic’s Arrangement, it waives applicable patient cost-sharing amounts but bills and accepts payment from third party payors, including Federal health care programs. Of those patients who are Federal health care program beneficiaries, the substantial majority also participate in State health care insurance programs and, thus, owe no cost-sharing amounts under federal and state law. Therefore, a patient receiving care from the clinic would only owe Federal health care cost-sharing amounts in connection with services paid for by either TRICARE (for military members and their families) or Medicare (for the comparatively small population of children eligible for Medicare coverage in treating end-stage renal disease). Even then, cost-sharing amounts would be owed only in the narrow circumstance when the patient’s services are not also covered by a State health care insurance program.
1. The clinic waives Federal health care program cost-sharing amounts for very few patients, and the limited services provided to any Non-Enrolled Patients represent a small percentage of the clinic’s aggregate services.
2. The clinic does not offer the waiver of cost-sharing amounts as part of any advertisement or solicitation.
3. The clinic does not offer any financial incentives to its providers either to order unnecessary care or to steer patient referrals to the clinic. The compensation it provides does not vary based on the volume or value of services provided or referrals made.
4. The clinic provides care to a vulnerable patient pool comprised of children living in poverty in an area lacking adequate local health care infrastructure.
5. The clinic does not consider a patient’s medical condition or insurance coverage when determining eligibility and developing a treatment plan.
6. The clinic never ties the delivery of services to the provision of other services reimbursed by Federal health care programs.
7. The clinic does not claim the patient cost-sharing amount that it waives as bad debt or otherwise shift the burden of cost to Federal health care programs.
The full Advisory Opinion can be accessed here: Advisory Opinion 19-01. If you have any questions related to the Advisory Opinion or would like additional information about this topic, please contact Andrew W. Breck at firstname.lastname@example.org or Marc T. Quigley at email@example.com.
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