Your compliance program is failing without auditing and monitoring

Zana Simjanovski (zana.simjanovski@mclaren.org) is Process Excellence Revenue Cycle Analyst II at McLaren Health Care in Shelby Township, Michigan.

In the healthcare industry, compliance has always been a hot topic that is greatly scrutinized by regulators, peers, and society. The changing landscape and evolving technology have allowed individuals to test the waters of ethics and reach past boundaries in hopes for a lucrative return. A system is put in place to deter these types of behaviors; however, there are outliers that disrupt the foundation of an organization’s principal values. Those outliers can be recognized beforehand, and their actions deterred or prevented when a monitoring and auditing plan is in place.

To understand the purpose of monitoring and auditing, an organization must first establish a compliance program. There are general guidelines to follow and more specific guidelines for certain specialties within the healthcare industry, some voluntarily. For example, laboratories and home care agencies have their own guidance from the Office of the Inspector General (OIG). A compliance program should outline the principal guidelines and, in addition, have a plan in place for those healthcare sector guidelines.

Organizations set up compliance programs with the intent to have a basic system in place to avoid unethical and criminal activity. To be truly successful, that system needs to be audited and monitored regularly.

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