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GENERAL SESSION: CMS Update

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GENERAL SESSION: OIG Update

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101 HIPAA Update & Enforcement

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201 Rethinking the Code of Conduct: Building Effectiveness through Simplification

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301 Breaking Down the Walls: 3 Proven Ways to Decrease Compliance Risk in the Revenue Cycle

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401 What Compliance Officers Need to Know about Board Responsibilities

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102 The Relationship between In-House Counsel and the Compliance Officer

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202 Metrics that Matter: Demonstrating Your Program Effectiveness

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302 Part 2 Compliance: Where Nobody Knows Your Name

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402 Compliance Policies and Procedures 101: How to Develop and Manage Your Compliance Policies

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103 The Patient Record Scorecard: Get Into Compliance with the HIPAA Individual Right of Access before OCR Comes Knocking

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203 EHR/Documentation Risks and Impacts on Care/Quality and Payments: 2021 Changes

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303 A Changing Landscape: Kickback and Self-Referral Developments

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403 A New Trend: OIG Mandated Six-Year Lookback Audits and Voluntary Refunds

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104 You Have the Right to Remain Compliant: Considerations for Handling Requests for Information from Law Enforcement

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204 Building a Physician Practice Audit Program (That Your Physicians Will Appreciate!)

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304 Practical Guidance and Strategies for Skilled Nursing Facility Compliance & Ethics Programs

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404 How to Prepare and Respond under the New DOJ Corporate Compliance Programs Criteria Using Real Case Examples

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105 OIG Developments

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205 Telehealth Views from the Friendly Physician, the Friendly Coder, and (Believe It or Not) the Friendly Attorney

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305 The HHS Health Industry Cybersecurity Practices: Managing Threats and Protecting Patients

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405 Create the Village: The Compliance/Revenue Cycle/ Quality Partnership

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GENERAL SESSION: Fraud Is Not a Trade Secret: A Conversation with Tyler Shultz

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GENERAL SESSION: Integrity

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106 The New Kids on the HIPAA Block: States’ Attorneys Generals Join the Party

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206 Merger and Acquisition: Compliance Due Diligence

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306 Opioid Crisis: Big Pharma Got Us Here—Can Compliance Get Us Out?

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406 Beyond Checking the Box: Best Practices for Compliance Training Design, Delivery, and Evaluation

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107 Managed Care Enforcement Trends and Compliance Risks

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207 Auditing Ahead of the Auditors: A RAC, CERT, and TPE Prevention Program

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307 Auditing the Trifecta: Compliance, Privacy, Security

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407 We Cannot Make This Stuff Up: Tales of Non-compliance and Risk Management

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108 Medical Necessity & The False Claims Act: An Ever-Moving Target

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208 Compliance and the Board: Challenges and Best Practices

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308 How to Understand Information Security Risk for the Non-IT Professional

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408 Auditing Compliance Effectiveness through a Lean Lens

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109 Think Big. Think Small. Managing Conflict of Interest

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209 Remotely Speaking: Strategies for Effective Remote Employees and Their Employers

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309 Top IT and Cyber Risks to Include in Your Audit Plan–2020 Update

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409 The Laboratory Risk Assessment: The Process, the Top Risks, and What to Audit

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110 Boot Scootin’ Compliance Boot Camp: How to Lasso Your Leaders into Becoming Compliance Champions

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210 Compliance Essentials: Internal Investigations and SelfDisclosures

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310 Privacy Readiness: Do You Know Where Your PHI Lives with Medical Device Companies

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410 60-Day Repayment Rule: Discussion of Examples, Sampling Methods, and Strategies

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GENERAL SESSION: Artificial Intelligence Compliance Risks and Applications in Healthcare

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111 Privacy Officer Round Table

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211 Government Enforcement

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311 Surviving as a Compliance Officer Wearing Multiple Hats

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411 Health System Transformation, Fraud and Abuse Regulation, and Value-Based Purchasing: Rethinking Boundaries

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112 The 340B Program: Perspectives on How to Promote Compliance in Your Covered Entity

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212 Managing Your Conflicts of Interest Process: Lessons from the IRS 990, Maryland Health System, Memorial Sloan Kettering, Michigan State, and the Physician Sunshine Act

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312 Cybersecurity & Incident Response: The Nuts & Bolts of Avoiding and/or Responding to a Security Incident.

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412 The Role of Compliance in Government Enforcement: An Exploration of Recent Enforcement Activities, Evolution of Settlement Agreements, and Insights from a Corporate Monitorship

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113 Be a HIPAA ACE: Awareness, Collaborate, and Educate

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213 Measuring the Effectiveness of a Compliance Program Using the DOJ Guidance

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313 Compliance Program Development: What Are the Basics from Infrastructure to Risk Assessment?

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413 If They Can’t Understand Them, They Won’t Follow Them: The Art of Drafting Effective Compliance Program Policies

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114 Tips for Conducting Interviews during Internal Investigations

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214 Focus on Compliance Officer Skills: Navigating Enforcement Actions, Investigations, and Settlements

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314 Developing, Implementing, and Delivering Physician Audits

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414 The Evolving Kickback from a Prosecutor’s Perspective: Novel and Unique Arrangements Catching the Government’s Attention

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