The OIG often advises healthcare organizations to “follow the money” when assessing compliance risk. That guidance applies just as well to the OIG itself.
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Posts about CCB:
What Recent OIG Findings Mean for Your Compliance Audit Strategy
November 25, 2025 | Posted by :
Brian Burton
How Health Systems Are Replacing Fragmented Oversight with Enterprise-Wide Compliance and Auditing
November 5, 2025 | Posted by :
Brian Burton
Resource Roundup for Behavioral Health Leaders
September 4, 2025 | Posted by :
CJ Wolf
Applying OIG’s Seven Elements of Compliance in Behavioral Health
August 26, 2025 | Posted by :
Brian Burton
Behavioral health providers face a unique set of compliance challenges. From protecting patient privacy to managing sensitive documentation and ensuring ethical care delivery, the stakes are high. That’s why the Office of Inspector General’s (OIG) Seven Elements of an Effective Compliance Program...
Staying Compliant with Modifier -25: What You Need to Know
August 20, 2025 | Posted by :
CJ Wolf
The Compliance Blind Spots Undermining Physician Group Practices
May 6, 2025 | Posted by :
CJ Wolf
Physician group practices face mounting regulatory responsibilities, but many continue to overlook compliance blind spots that can carry major financial and reputational consequences.
Considerations for Billing “Incident-To" Correctly
May 1, 2025 | Posted by :
Brian Burton
For many healthcare practices, “incident-to” billing is a common strategy used to increase Medicare reimbursements. It sounds like a smart revenue move. But without a clear understanding of the rules, it can also be a compliance landmine.