As 2013 draws to a close, we are pleased to look back on the year that was and highlight some of the key developments in the ever-changing field of health law. While a great deal of attention was focused on the implementation...more
12/30/2013
/ Acquisitions ,
Affordable Care Act ,
Centers for Medicare & Medicaid Services (CMS) ,
Drug Compounding ,
Health Insurance Exchanges ,
Health Insurance Portability and Accountability Act (HIPAA) ,
Healthcare.gov ,
HITECH Act ,
Hospitals ,
Medicaid Expansion ,
Medicare Part A ,
Mergers ,
MHPAEA ,
Physician Payments ,
Physician-Owned Distributors ,
Stark Law
The Centers for Medicare & Medicaid Services (CMS) has extended the deadline for physician-owned hospitals seeking to avail themselves of the “whole hospital” exception or “rural provider” exception to the Stark Law to report...more
Physician-owned hospitals that seek to avail themselves of the “whole hospital” exception or “rural provider” exception to the federal physician self-referral law, commonly known as the Stark Law, should carefully review...more