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CPCO CHAPTER 1 REVIEW 2025 QUESTIONS AND ANSWERS

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CPCO CHAPTER 1 REVIEW 2025 QUESTIONS AND ANSWERS

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CPCO
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CPCO
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Uploaded on
July 10, 2025
Number of pages
19
Written in
2024/2025
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CPCO CHAPTER 1 REVIEW 2025
QUESTIONS AND ANSWERS


Dr. Smith had some billing issues at his medical office. He agreed to work with

the OIG to correct the issues. What does the term "CCA" refer to so that you (the

Compliance Officer) can explain to Dr. Smith? - ....ANSWER ...-

Certification of Compliance Agreement in which providers agree to continue to

operate their existing compliance program.




Response Feedback: CCA is a Certification of Compliance Agreement which

requires providers to certify they will continue to operate their existing compliance

programs for a fixed term.

Hospital compliance guidance was published by the OIG in February 1998. When

was the supplemental compliance guidance for hospitals published? -

....ANSWER ...-2005




Response Feedback:




....COPYRIGHT ©️ 2025 ALL RIGHTS RESERVED...TRUSTED & VERIFIED 1

,Compliance Program Guidance for Hospitals (63 Fed. Reg. 8987; February 23,

1998)

Supplemental Compliance Program Guidance for Hospitals (70 Fed. Reg. 4858;

January 31, 2005)

Kim is the Compliance Officer for a large provider group. One of the billers for

the group enters codes from the encounter form every evening before she goes

home and then finishes in the morning when she returns. She often enters an

encounter twice. She usually catches the mistake when the insurance checks are

sent to the office and returns the overpayment to the insurance carrier. This is an

example of: - ....ANSWER ...-Abuse




Response Feedback:

CMS goes on to define abuse as "practices that, either directly or indirectly, result

in unnecessary costs to the Medicare Program." Improper billing practices.

Justin works at the local hospital in the billing department. He wants to learn more

about the agency that fights Medicare Fraud. Which is the best answer below? -

....ANSWER ...-Office of Inspector General (OIG)




Response Feedback:



....COPYRIGHT ©️ 2025 ALL RIGHTS RESERVED...TRUSTED & VERIFIED 2

, Since its 1976 establishment, OIG has been at the forefront of the Nation's efforts

to fight waste, fraud and abuse in Medicare, Medicaid and more than 300 other

HHS programs.

According to Inspector General Daniel Levinson, what can help reduce

enforcement on a provider from a CIA to a CCA? - ....ANSWER ...-provider

has a robust and effective compliance program




Response Feedback:

Inspector General Daniel Levinson disseminated an Open Letter to Healthcare

Providers in 2006, in which he discussed the current enforcement and noted that,

"many providers have independently developed robust and effective compliance

programs, which include internal auditing mechanisms. In appropriate cases, we

have agreed to reduce the obligation on providers settling health care fraud matters

by entering into Certification of Compliance Agreements (CCAs), rather than more

extensive CIAs.

In addition to hospitals, what other type of facility did the OIG provide

supplemental compliance program guidance for? - ....ANSWER ...-Nursing

Facilities




....COPYRIGHT ©️ 2025 ALL RIGHTS RESERVED...TRUSTED & VERIFIED 3

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