Becker's Healthcare August 27, 2024
Claire Wallace

At the end of 2022, CMS proposed an amendment to its overpayment regulations to revise the definition of several terms, including the “identified” definition, specifying when a provider has “knowingly received or retained an overpayment.”

Two years later, CMS has not finalized the proposals set forth in the proposed rule with respect to Medicare overpayments under Parts A and B, but it plans to make changes in the 2024 proposed rule, according to an Aug. 23 article in the National Law Review.

In the 2022 proposals, which are still under CMS consideration, the agency proposed further changes to the deadline for reporting and returning overpayments and clarified certain circumstances that will extend the deadline for a provider who has identified...

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Topics: CMS, Govt Agencies, Insurance, Medicare
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