(Recorded Webinar) Compliance Work Plans
A well-developed compliance work plan helps to focus attention on known areas of compliance risk, to appropriately delegate compliance activities and to track compliance program efforts (both successes and needs). While the compliance officer is often tasked with developing the compliance work plan, a comprehensive work plan requires input from managers throughout the health center. Health centers should develop the work plan to respond to both internal and external risks, a process that requires a review of recent enforcement actions and activities by federal enforcement agencies.
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Please note: This webinar is offered as a complimentary product to all Health Center Compliance Premium Plan Subscribers. To learn more about FTLF's Premium Plan Subscription and to become a subscriber, please email email@example.com.
This webinar is designed to guide health centers through the process of developing their 2019 compliance work plan. This webinar will cover:
- An introduction to compliance work plans
- Identifying risk areas using external sources, including the Office of the Inspector General’s (OIG’s) Work Plan
- Defining the role of the compliance officer in developing the health center’s compliance work plan
- Strategies for working with other staff members to develop a comprehensive compliance work plan
As Partner and Compliance Counsel with the firm’s health law practice group, Dianne advises health centers on implementing effective compliance programs and on addressing top compliance risk areas. Dianne counsels health centers and other organizations on developing compliance programs that include the OIG’s seven elements, respond to identified compliance risk areas and reflect the organization’s culture. Dianne also advises health centers and other organizations on patient privacy and confidentiality, including the HIPAA Privacy Rule and 42 CFR Part 2. She has experience responding to privacy and security incidents, including determining whether there has been a breach, notifying patients and the government, and creating corrective action plans. [Full Bio]
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A blank Certificate of Attendance will be available for organizations to issue to attendees that viewed the webinar (either live or on-demand). Due to the online nature of the training course, Feldesman Tucker Leifer Fidell LLP does not certify that the attendee actually viewed the course. A supervisor at the organization should sign the certificate, and therefore, certifies that the attendee viewed the course.
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- 1.00 Certificate of Attendance
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