Prior to the February 12, 2016 Final Rule, many were confused about verbiage of the 60-day overpayment reporting requirements. When does the 60-day reporting period begin and what does it mean to have “identified” an overpayment? The Final rule, effective March 14, 2016, answers these questions along with specifying a 6-year loopback term. Read Full Article
Published by: Williams Mullen, By: Patrick C. Devine, Jr., Matthew M. Cobb & Ruth Levy: April 6, 2016