Tuesday, April 15, 2008 - Afternoon Sessions
1:45–2:45 pm Sessions
601 No Longer “Going It Alone” | Terri Camp, Associate Administrator, Quality and Compliance, Jefferson Healthcare Compliance • Elizabeth Floersheim, Executive Director, Western Washington Rural Health Care Collaborative (WWRHCC)
Document 1
602 Rehab Compliance Risks | Christine Bachrach, Senior Vice President & Chief Compliance Officer, HealthSouth Corporation • Catherine Niland, Organizational Integrity Manager, Trinity Health
Document 1
603 Keeping NYS Medicaid Managed Care Plans and Fee For Service Providers Honest and in Compliance | Carol L. Booth, Registered Nurse/Auditor, NYS Office of the Medicaid Inspector General • Catherine McCulskey, Management Specialist 3, New York State Office of the Medicaid Inspector General
Document 1
604 MySpace vs. the Office Space | Robert Wamsley, Director, Corporate Compliance/Legal Services, Empire Health Services
Document 1
605 The Role of Valuation in Negotiating Physician/Hospital Arrangements | Jeff Sinaiko, President, Sinaiko Healthcare Consulting, Inc. • Greg Endicott, Vice President, Managing Director Valuation Services, Sinaiko Healthcare Consulting, Inc.
Document 1
606 The Developing Agenda for Medicaid Fraud Enforcement | Fred Duhy Jr., Director, Medicaid Fraud Control Unit, State of Louisiana Attorney Gerneral’s Office • Glen R. Petersen, Partner, Law Firm of Hymel Davis & Petersen, LLC
No document available at this time
please check www.compliance-institute.org for the latest information
607 Vendor Contracts: Compliance is a Three-Way Street | Mark Eddy, VP, HCA Internal Audit
Document 1
608 Mandatory Reporting of Medical Errors, Adverse Events, Near Misses and Device Failures | Michael A. Morse, Partner, Miller, Alfano, & Raspanti, LLP
Document 1, Document 2, Document 3, Document 4, Document 5
609 Benchmarking: How Providers Structure Research Compliance | Moderator: Lisa Murtha Managing Director Huron Consulting | Panelists: Kelly Willenberg, Spartanburgh Regional Healthcare System • Carole Klove, Chief Compliance & Privacy Officer UCLA
No document available at this time
please check www.compliance-institute.org for the latest information
610 Enterprise-Wide Risk Assessment | John Falcetano, Chief Audit & Compliance Officer, University Health Systems of Eastern Carolina
No document available at this time
please check www.compliance-institute.org for the latest information
611 Identity & Access Management: Enabling Healthcare E-Commerce | Edward McCarthy, Director, Global Sales–Security Practice, CA, Inc.
Document 1
3:00–4:00 pm Sessions
701 Identifying and Controlling Individual and Institutional Conflicts of Interest | Sylvia Friedl, Research Compliance Officer, University of Tennessee College of Medicine • Sara Kay Wheeler, Partner, King & Spalding
Document 1, Document 2
702 Mental Health: Special Compliance Issues for Mental Health Facilities | Deborah Hiser, Brown McCarroll, LLP
Document 1
703 The CMS 2008 Severity Based IPPS Changes and What It All Means to Your Organization | Steve Robinson, Director, Forensic Section of Advisory Services, KPMG
704 HIPAA Security: What You Need to Know…TODAY | Robyn Bartlett, Associate General Counsel, Tufts Health Plan
Document 1
705 Conflicts of Interest in Physician Practice Setting | Dan Peters, General Counsel & Compliance Director, Kansas City Cancer Center, LLC • John Powers, II, Member, Husch, Blackwell, Sanders
Document 1
706 The Fair Market Value Defense in Health Care Fraud Enforcement Litigation | Katherine Lauer, Partner, Latham & Watkins • Greg Reardon, Managing Shareholder, The Reardon Group
Document 1
707 PEPPER-CMS Integrity Initiative | Harriet Kinney, Organizational Integrity Manager, Trinity Health
Document 1
708 Integrate Quality Auditing with Compliance Auditing | Terri Camp, Associate Administrator, Quality and Compliance, Jefferson Healthcare Compliance
Document 1
709 Enforcement of Research Compliance from the Stark and CCA Perspectives | Janis Anfossi, Associate General Counsel, Rush University Medical Center • Kimberly Zajczenko, Executive Director, Corporate Compliance, Rush University Medical Center
Document 1
710 Achieving Consistency in Your Compliance Program at a Large, Multi-Hospital System | Gene DeLaddy, Chief Compliance Officer, Chief Privacy Officer, Chief Internal Auditor Carolinas HealthCare System
Document 1
711 The Debates Surrounding Health Care Professional–Vendor Relationships | Jana Kolarik Anderson, Epstein Becker & Green, P.C. • Robert Pelaia, Senior Associate General Counsel for Health Affairs–Jacksonville, University of Florida
Document 1, Document 2
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