Writing specific policies for the Seven Elements, Part 1: Elements I and II

Scott Robinson (srobinson2@superiorvision.com) is the Director of Compliance at Superior Vision in Linthicum, MD.

If you are part of a compliance team in a Medicare Managed Care Plan or a Prescription Drug Plan (also known as a Sponsor), you are undoubtedly familiar with the Compliance Program Guidelines[1] (Guidelines) and Chapters 21 and 9 (the chapters) in the Medicare Managed Care Manual (MMCM)[2] . Section 50 of the MMCM neatly communicates the elements of an effective compliance program, including Section 50.1 — Element I: Written Policies, Procedures and Standards of Conduct. However, the remainder of Section 50.1 provides little detail about what written policies and procedures a compliance program should implement.

The Centers for Medicare & Medicaid Services (CMS) has always maintained that the guidance in the chapters is intentionally vague to allow Sponsors the freedom to draft a compliance program that can be tailored to fit their individual organizations. Having the good fortune of knowing the authors of the chapters, I believe their rationale is both fair and reasonable. However, the vague nature of the guidance provides some anxiety for many Sponsors, especially the smaller ones.

I have often asked myself the question, “If I was hired by a Sponsor to be its compliance officer, what policies and procedures would I create to ensure my compliance program was effective?” After spending the last six years in a consulting capacity, I was recently hired as a Director of Compliance. I no longer need to ask that question. Instead of wondering, I am now updating policies and procedures for the organization’s compliance program. This has given me the opportunity to answer my own question.

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