Cases Involving​ Excluded Individual(s)

After it self-disclosed conduct to OIG, Community Care Physicians, P.C. (CCP), New York, agreed to pay $60,972.04 for allegedly violating the Civil Monetary Penalties Law. OIG alleged that CCP employed two individuals that it knew or should have known were excluded from participation in Federal health care programs.

After it self-disclosed conduct to OIG, UHS of Fairmount, Inc. d/b/a Fairmount Behavioral Health System (Fairmount), Pennsylvania, agreed to pay $58,339.74 for allegedly violating the Civil Monetary Penalties Law. OIG alleged that Fairmount employed an individual that it knew or should have known was excluded from participation in Federal health care programs.

After it self-disclosed conduct to OIG, UHS of Westwood Pembroke, Inc. d/b/a Pembroke Hospital (Pembroke Hospital), Massachusetts, agreed to pay $807,856.65 for allegedly violating the Civil Monetary Penalties Law. OIG alleged that Pembroke Hospital employed two individuals that it knew or should have known were excluded from participation in Federal health care programs.

After it self-disclosed conduct to OIG, UHS of Dover, LLC d/b/a Dover Behavioral Health System (DBHS), Delaware, agreed to pay $197,320.85 for allegedly violating the Civil Monetary Penalties Law. OIG alleged that DBHS employed an individual that it knew or should have known was excluded from participation in Federal health care programs.

After it self-disclosed conduct to OIG, UHS of Texoma, Inc. d/b/a Texoma Medical Center (TMC), Texas, agreed to pay $127,001.69 for allegedly violating the Civil Monetary Penalties Law. OIG alleged that TMC employed an individual that it knew or should have known was excluded from participation in Federal health care programs.

After it self-disclosed conduct to OIG, TBD Acquisition, LLC d/b/a Brook Hospital-Dupont (BHD), Kentucky, agreed to pay $119,033.54 for allegedly violating the Civil Monetary Penalties Law. OIG alleged that BHD employed an individual that it knew or should have known was excluded from participation in Federal health care programs.

After it self-disclosed conduct to OIG, La Amistad Residential Treatment Center, LLC d/b/a Central Florida Behavioral Hospital (CFBH), Florida, agreed to pay $26,744.55 for allegedly violating the Civil Monetary Penalties Law. OIG alleged that CFBH employed an individual that it knew or should have known was excluded from participation in Federal health care programs.

After it self-disclosed conduct to OIG, UHS of Parkwood, Inc. d/b/a Parkwood Behavioral Health System (PBHS), Mississippi, agreed to pay $13,092.48 for allegedly violating the Civil Monetary Penalties Law. OIG alleged that PBHS employed an individual that it knew or should have known was excluded from participation in Federal health care programs.

To learn more about exclusions visit OIG or click here

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