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CodeMap® Compliance Briefing: January 14, 2011
Welcome back to the second installment in our series of CodeMap® Compliance Briefings devoted to explaining the often confusing Stark Self-Referral Prohibitions. Last week, we discussed the basics of the Stark legislation and accompanying regulations. Today, we will examine the regulatory exception to the Stark prohibitions that allows providers to perform designated health services in their practices. Practices are able to operate physician office laboratories (POLs) as a result of this exception. As always please email us any comments, questions, or concerns.
Gregory Root, Esq.
Stark Self-Referral Prohibitions: In-Office Ancillary Services
by: Gregory Root, Esq.
Background and Review
As explained last week, the Stark provisions prohibit physicians from referring Medicare patients or specimens to designated health ....
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