A Guide to Complying With Stark Physician Self-Referral Rules

Read an excerpt from Chapter 400 of this book for FREE at the AIS Bookshelf! (Click on "The Stark Law Exceptions.")

Highlights on this Page

Publication Details

  • Annual subscriptions include:
    • Looseleaf guide
    • Companion CD version
    • Quarterly updates and news summaries
  • Pub Code: LSTA-11WEB
  • ISBN: 1-931467-77-3

3 Easy Ways to Order

  1. Secure Shopping Cart
  2. Call 800-521-4323
  3. Print a form to fax or mail

A Guide to Complying With Stark Physician Self-Referral Rules

A comprehensive looseleaf service written by experienced health care attorneys. It features easy-to-follow explanations of the prohibitions and exceptions under the Stark rules, with practical tools to operationalize Stark compliance, summaries of Stark Advisory Opinions issued by CMS and the OIG, and copies of regulations and other formal documents. Subscription includes the comprehensive looseleaf service and companion CD, quarterly print and CD updates, and quarterly Current Developments news summaries.

Place your order through our secure shopping cart

Includes looseleaf guide, companion CD, and quarterly updates and news summaries
$594.00

Practical help to reduce potentially enormous liabilities under complex, ever-changing physician self-referral regs

Stark is at the top of the CMS/OIG list of enforcement targets. A Guide to Complying With Stark Physician Self-Referral Rules is the hands-on help you need to reassess your compensation, financial and other business arrangements — and avoid potentially enormous fines, penalties and lawsuits.

A Guide to Complying With Stark Physician Self-Referral Rules will:

  • Walk you through the basic rules and the exceptions, plus update you on changes
  • Identify the kind of arrangements that will meet the Stark exceptions
  • Pinpoint the types of arrangements that will bring the HHS OIG to your doorstep

The comprehensive how-to-do-it looseleaf guide also comes with a searchable CD containing all of the information in the print version, which includes:

  • Highly practical chapters that are updated based on new regulations and advisory opinions
  • Easy-to-follow explanations of prohibitions, exceptions and other rules
  • “Stakeholder” chapters with implications for different health care entities
  • Appendices with regulations, advisory opinions and other pertinent documents

The complex and complicated Stark law regulations challenge health care providers to stay on top of requirements. You need a resource that will help you determine which compensation, ownership and investment deals meet the Stark exceptions and which will put you at serious risk.

A Guide to Complying With Stark Physician Self-Referral Rules is a convenient resource for making sure your contracts and business deals won't get you into legal trouble. Order your no-risk subscription today!

Table of Contents

Introduction to the Physician Self-Referral Prohibition

The General Prohibition on Self-Referrals and Associated Billing and Payment

Designated Health Services (DHS)

  • Clinical Laboratory Services
  • Physical Therapy, Occupational Therapy, and Speech-Language Pathology Services
  • Audiology Services
  • Radiology and Other Imaging Services
  • Radiation Therapy Services and Supplies
  • Durable Medical Equipment and Supplies
  • Parenteral and Enteral Nutrients, Equipment, and Supplies
  • Prosthetics, Orthotics, and Prosthetic Devices and Supplies
  • Home Health Services
  • Outpatient Prescription Drugs
  • Inpatient and Outpatient Hospital Services

Stark Law Exceptions

  • General Exceptions
  • Physician Services Exceptions
    • In-Office Ancillary Services Exception
    • Academic Medical Center Exception
    • Other General Exceptions
  • Permitted Ownership and Investment Interests
    • Direct and Indirect Ownership Interests
    • Equity-Based Compensation
    • Exceptions
    • Ownership or Investment in Retirement Plans
  • Permitted Compensation Arrangements
    • Direct and Indirect Compensation
    • ‘Stand in the Shoes’ Concept
    • ‘Fair Market Value’
    • Asset Transaction or Service Agreement
    • Rental Property
    • Safe Harbor for Fair Market Hourly Compensation
    • ‘Commercially Reasonable’
    • ‘Volume or Value of Referrals’
    • ‘Other Business Generated’
    • ‘Set-in-Advance’ Requirement
    • Signature Requirements
    • Conditioning Compensation on Referrals
  • Compensation Exceptions
    • Leasing of Space and Equipment
    • Bona Fide Employment Relationships
    • Personal Services Arrangements
    • Physician Recruitment and Retention
    • Isolated Transactions
    • Remuneration Unrelated to the Provision of DHS
    • Group Practice Arrangements with a Hospital
    • Payments by a Physician for Items and Services
    • Charitable Donations by a Physician
    • Non-Monetary Compensation Up to $300
    • Medical Staff Incidental Benefits
    • Fair Market Value Compensation
    • Risk-Sharing Arrangements
    • Compliance Training
    • Indirect Compensation Exception
    • Referral Service Arrangements
    • Obstetrical Malpractice Subsidies
    • Professional Courtesy
    • Community-Wide Health Information Systems
    • Donations of Technology and Training Services
      • Electronic Prescribing Exception
      • Electronic Health Records Exception
    • ‘Innocent Entity’ Exceptions and Related State-of-Mind Issues

Reporting, Compliance and Enforcement

  • Reporting Requirements and Document Retention
  • Advisory Opinions
  • Sanctions for Violations of the Stark Law Prohibitions
    • Payment Penalties
      • Improper Claims
      • Circumvention Schemes
    • Civil Money Penalty Proceedings
    • Settlements; Recovery of Penalties; Notifications
  • Internal Investigations and Voluntary Disclosure
    • Protocols for Self-Disclosure
  • The False Claims Act and Qui Tam Actions
    • Elements of a Violation
    • Damages
    • Theories of Liability and Recovery
    • Settlements
  • Potential Criminal Liability

Special Issues Affecting Hospital-Physician Arrangements

  • Equity Investment by a Physician in a Hospital
  • Personal Service Arrangements
  • Employment Arrangements between a Physician and a Hospital
  • Rental Arrangements
  • Physician Recruitment and Retention Arrangements
  • Nonemployment Arrangements
  • Indirect Compensation Arrangements
  • Gainsharing

Special Issues Affecting Physician Compensation

Special Issues Affecting Medical Group Practices

  • Qualification as a ‘Group Practice’
  • Unique Exceptions

Special Issues Affecting Other Health Care Entities

  • Physician-Owned and Specialty Hospitals
    • PPACA Requirements
    • Disclosure Requirements
  • Academic Medical Centers
    • Exceptions
    • Faculty Compensation Arrangements
    • AMC Relationships with Third Parties
  • Ambulatory Surgery Centers
    • Services Reimbursed Outside the Composite Rate
    • ASC-Specific Exceptions
  • Clinical Laboratories
    • Equity Investment by a Physician
    • Compensation Arrangements
    • Other Payments
  • End-Stage Renal Disease (ESRD) Facilities
    • Services Reimbursed Outside the Composite Rate
    • Physician Compensation Arrangements
    • Physician Ownership of or Investment in ESRD Facilities
    • ESRD Laboratory Arrangements
  • Outpatient Rehabilitation Services
    • Scope of Activities Constituting a Referral
    • Key Exceptions
    • Joint Ventures and Other Collaborative Arrangements
  • Medical Imaging
  • Medical and Radiation Oncology Arrangements
  • Pharmaceutical and Medical Device Industries
  • Managed Care Arrangements
    • Health Plans and Managed Care Organizations As DHS Entities
    • Prepaid Plan Exception
    • Risk-Sharing Arrangements
    • Physician Incentive Plans

Appendices

  • Statutory Language
  • Regulatory Language
  • Preambles to the Regulations (on the CD only)
  • Stark Law Advisory Opinions
  • OIG Anti-Kickback Advisory Opinions
  • Self-Disclosure Protocols and Other Guidance

Written By

A Guide to Complying With Stark Physician Self-Referral Rules is written by experienced health care attorneys, and overseen by Francie Fernald, J.D., managing editor of AIS's diverse line of looseleaf services. Francie has decades of experience covering complex tax, business and financial matters, as well as other regulatory issues. Stark law expert Robert A. Wade, of Krieg Devault LLP in Mishawaka, Ind., is the Guide’s Contributing Editor and makes substantial contributions to quarterly print and CD updates.

Written For

  • Physicians and medical group managers
  • Hospital and health systems executives
  • Health plan managers
  • Providers of designated health services
    • Clinical labs
    • PT
    • Occupational therapy
    • DME
    • Home health
    • Radiology
    • Radiation therapy
    • Parenteral & enteral
    • Prosthetics & orthotics
    • Outpatient Rx drugs
    • Hospital services
  • Attorneys and Consultants

AIS Guarantee

Order A Guide to Complying With Stark Physician Self-Referral Rules for a 30-day risk-free inspection and test for yourself the value of this highly practical resource. If within 30 days you're not interested in keeping it, just return it to AIS and we will send you a prompt, full refund or credit.

Shipping Information

This item ships via UPS. Please give us your street address when you order (UPS does not deliver to PO boxes). You should receive your order within 5-7 business days. Shipping and handling cost is $12 per item.

Rush Orders: Please call us at 800-521-4323 to place a rush order. We will overnight your order for an additional charge of $45, or you can give us your FedEx or UPS account number and we will charge the shipping to your account. Rush orders placed after 3:00pm EST will not be shipped out until the next business day.

A Guide to Complying With Stark Physician Self-Referral Rules

Place your order through our secure shopping cart

Includes looseleaf guide, companion CD, and quarterly updates and news summaries
$594.00

Renewal Center

Renew your subscriptions to AIS newsletters and looseleaf publications at the Renewal Center

Featured Compliance Products