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Recommendations Tracker
HHS-OIG provides independent and objective oversight that promotes economy, efficiency, and effectiveness in HHS programs and operations. To drive this positive change, we produce reports and identify recommendations for improvement. We have developed this public-facing page for tracking all of our open recommendations.
Use the “Top Unimplemented” View below to read OIG’s Top Unimplemented Recommendations—a subset that we think, if implemented, would have the most impact (learn more). Notable differences from our previous Top Unimplemented Recommendations report include:
- The list is comprised of individual recommendations from OIG reports, not rolled up by topic.
- No arbitrary cap is imposed on the number of recommendations included.
- Status updates as recommendations are implemented.
Summary of All Recommendations
Updated Monthly · Last updated on November 15, 2024
1,310
Unimplemented
recommendations
$270.4B
Potential savingsfrom unimplemented recommendations
2,698
Implemented and Closed
recommendations since FY 2017
Views
OIG Recommendations Grouped by Report
-
California Claimed Millions of Dollars in Unallowable Federal Medicaid Reimbursement for Specialty Mental Health Services
18-A-09-143.01We recommend that the State agency refund to the Federal Government $180,688,616 for unallowable Federal reimbursement claimed for SMHS expenditures.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- $180,688,616
- Last Update Received
- -
- Closed Date
- 05/03/2019
- Legislative Related
- No
18-A-09-143.02We recommend that the State agency strengthen its oversight of the health plans to ensure that SMHS claims comply with Federal and State requirements by implementing oversight procedures, such as conducting more frequent and focused reviews of the health plans, providing additional training and technical assistance to the plans, and imposing fines, sanctions, or penalties on the plans.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 06/26/2023
- Legislative Related
- No
18-A-09-143.03We recommend that the State agency strengthen its oversight of the health plans to ensure that SMHS claims comply with Federal and State requirements by assessing whether those oversight procedures are effective and, if they are not effective, identifying and implementing additional oversight procedures.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 08/02/2021
- Legislative Related
- No
18-A-09-143.04We recommend that the State agency strengthen its oversight of the health plans to ensure that SMHS claims comply with Federal and State requirements by implementing policies and procedures to follow up on the implementation of each health plan's plan of correction in a timely manner.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 08/02/2021
- Legislative Related
- No
-
Questionable Billing for Compounded Topical Drugs in Medicare Part D
18-E-02-034.01CMS should clarify Part D policies for coverage of compounded topical drugs and use of utilization management tools.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 12/13/2018
- Legislative Related
- No
18-E-02-034.02CMS should conduct additional analysis on compounded topical drugs.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 06/11/2020
- Legislative Related
- No
18-E-02-034.03CMS should conduct training for Part D sponsors on fraud schemes and safety concerns related to compounded topical drugs.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 06/11/2020
- Legislative Related
- No
18-E-02-034.04CMS should follow up on pharmacies with questionable Part D billing and the prescribers associated with these pharmacies.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 06/11/2020
- Legislative Related
- No
-
Medicare Part B Drug Payments: Impact of Price Substitutions Based on 2016 Average Sales Prices
18-E-03-032.01CMS should expand the price substitution policy to include additional drugs.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Non-Concur
- Potential Savings
- -
- Last Update Received
- 04/29/2024
- Next Update Expected
- 05/13/2025
- Legislative Related
- No
-
Open Payments Data: Review of Accuracy, Precision, and Consistency in Reporting
18-E-03-031.01CMS should ensure records contain all required data.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 09/24/2019
- Legislative Related
- No
18-E-03-031.02CMS should strengthen validation rules and revise data element definitions so that actual drug and device names must be reported.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 03/28/2023
- Legislative Related
- No
18-E-03-031.03CMS should revise the definition of the device name data element so that the information reported in this field is required to be more specific.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 03/28/2023
- Legislative Related
- No
18-E-03-031.04CMS should ensure that valid national drug codes are reported for drugs.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 02/25/2021
- Legislative Related
- No
-
Medicare Compliance Review of WakeMed Raleigh Campus
18-A-04-140.01We recommend that the Hospital refund to the Medicare program $697,608 in estimated overpayments for the audit period for claims that it incorrectly billed.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- $697,608
- Last Update Received
- -
- Closed Date
- 12/17/2018
- Legislative Related
- No
18-A-04-140.02We recommend that the Hospital exercise reasonable diligence to identify and return any additional similar overpayments received outside of our audit period, in accordance with the 60-day rule, and identify any returned overpayments as having been made in accordance with this recommendation.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 02/08/2022
- Legislative Related
- No
18-A-04-140.03We recommend that the Hospital strengthen controls to ensure full compliance with Medicare requirements.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 02/08/2022
- Legislative Related
- No
-
Vulnerabilities in the Medicare Hospice Program Affect Quality Care and Program Integrity: An OIG Portfolio
18-E-02-030.01CMS should analyze claims data to inform the survey process.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 08/22/2024
- Legislative Related
- No
18-E-02-030.02CMS should analyze deficiency data to inform the survey process.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 03/12/2020
- Legislative Related
- No
18-E-02-030.03CMS should seek statutory authority to establish additional, intermediate remedies for poor hospice performance.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 01/29/2021
- Legislative Related
- Yes
18-E-02-030.04CMS should develop other claims-based information and include it on Hospice Compare.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 08/22/2024
- Legislative Related
- No
18-E-02-030.05CMS should work with its partners, such as hospitals and caregiver groups, to make available consumer-friendly information explaining the hospice benefit to beneficiaries and their families and caregivers.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- 10/18/2023
- Next Update Expected
- 12/04/2024
- Legislative Related
- No
18-E-02-030.06CMS should ensure that a physician is involved in the decisions to start and continue general inpatient care.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- 10/17/2024
- Next Update Expected
- 11/14/2025
- Legislative Related
- No
18-E-02-030.07CMS should analyze claims data to identify hospices that engage in practices or have characteristics that raise concerns.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- 09/14/2021
- Next Update Expected
- 10/10/2020
- Legislative Related
- No
18-E-02-030.08CMS should take appropriate actions to follow up with hospices that engage in practices or have characteristics that raise concerns.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- 09/14/2021
- Next Update Expected
- 05/08/2021
- Legislative Related
- No
18-E-02-030.09CMS should increase oversight of general inpatient care claims and focus particularly on general inpatient care provided in SNFs, given the higher rate at which these stays were inappropriate.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- 09/14/2021
- Next Update Expected
- 05/08/2021
- Legislative Related
- No
18-E-02-030.10CMS should implement a comprehensive prepayment review strategy to address lengthy general inpatient care stays so that beneficiaries do not have to endure unnecessarily long periods of time in which their pain and symptoms are not controlled.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Non-Concur
- Potential Savings
- -
- Last Update Received
- 05/24/2024
- Next Update Expected
- 05/30/2025
- Legislative Related
- No
18-E-02-030.11CMS should develop and execute a strategy to work directly with hospices to ensure that they are providing drugs covered under the hospice benefit as necessary and that the cost of drugs covered under the benefit are not inappropriately shifted to Part D.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Non-Concur
- Potential Savings
- -
- Last Update Received
- 05/24/2024
- Next Update Expected
- 05/30/2025
- Legislative Related
- No
18-E-02-030.12CMS should assess the current payment system to determine what changes may be needed to tie payments to beneficiaries' care needs and quality of care to ensure that services rendered adequately serve beneficiaries' needs.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Non-Concur
- Potential Savings
- -
- Last Update Received
- 05/24/2024
- Next Update Expected
- 05/30/2025
- Legislative Related
- No
18-E-02-030.13CMS should adjust payments based on these analyses, if appropriate, to ensure that the payment system is aligned with beneficiary needs and quality of care.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Non-Concur
- Potential Savings
- -
- Last Update Received
- 05/24/2024
- Next Update Expected
- 05/30/2025
- Legislative Related
- No
18-E-02-030.14CMS should include on Hospice Compare deficiency data from surveys, including information about complaints filed and resulting deficiencies.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- 10/17/2023
- Next Update Expected
- 12/04/2024
- Legislative Related
- No
18-E-02-030.15CMS should modify the payments for hospice care in nursing facilities.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Non-Concur
- Potential Savings
- -
- Last Update Received
- 04/29/2024
- Next Update Expected
- 07/01/2024
- Legislative Related
- Yes
-
The Passamaquoddy Tribe's Pleasant Point Health Center Did Not Always Meet Federal and Tribal Health and Safety Requirements
18-A-01-139.01We recommend that the Passamaquoddy Tribe at Pleasant Point ensures PPHC is under the medical direction of a physician, in accordance with Federal and Tribal requirements.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- 09/26/2023
- Next Update Expected
- 04/30/2025
- Legislative Related
- No
18-A-01-139.02We recommend that the Passamaquoddy Tribe at Pleasant Point establishes clear lines of authority between the health director's administrative duties and the medical staff's duties to provide care by defining job responsibilities as well as policies and procedures that ensure medical complaints are resolved by staff with the appropriate clinical training who can assess and evaluate patient-care decisions and patient-care decisions are prioritized with appropriate input from medical staff during periods of limited funding.- Status
- Closed Implemented
- Responsible Agency
- IHS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 07/30/2018
- Legislative Related
- No
18-A-01-139.03We recommend that the Passamaquoddy Tribe at Pleasant Point develop, approve, and implement with the advice of the required group of professional medical staff written medical policies and procedures that include pain-management treatment prioritization requirements for opioid prescription and compliance monitoring and requirements for timely completion, signature, and review of patient health records.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- 09/26/2023
- Next Update Expected
- 04/30/2025
- Legislative Related
- No
18-A-01-139.04We recommend that the Passamaquoddy Tribe at Pleasant Point conduct annual program evaluations in accordance with Federal requirements.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- 09/26/2023
- Next Update Expected
- 04/30/2025
- Legislative Related
- No
18-A-01-139.05We recommend that the Passamaquoddy Tribe at Pleasant Point implement Federal and Tribal preemployment screening controls for employees who have not been fully screened prior to employment and for new staff hired at PPHC, including the performance of fingerprinting and FBI background checks for all staff currently working with Indian children.- Status
- Closed Implemented
- Responsible Agency
- IHS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 02/10/2022
- Legislative Related
- No
18-A-01-139.06We recommend that the Passamaquoddy Tribe at Pleasant Point provide a safe, clean, and accessible environment with a preventative maintenance program for the facility and medical equipment for the provision of health care.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 11/08/2022
- Legislative Related
- No
-
Wisconsin Physicians Service Insurance Corporation Claimed Unallowable Medicare Part A Administrative Costs for Fiscal Year 2013
18-A-05-134.01We recommend that WPS reduce its FACP for FY 2013 by $99,649 to eliminate the unallowable costs identified in this report.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- $99,649
- Last Update Received
- -
- Closed Date
- 09/21/2018
- Legislative Related
- No
18-A-05-134.02We recommend that WPS improve procedures to distinguish between allowable and unallowable costs in accordance with the applicable Medicare contract, CAS, and FAR provisions; specifically ensure that when an unallowable cost is incurred, its directly associated costs are properly identified and excluded, and ensure that revenue, payroll, and NBV of assets percentages used in developing 3FF rates are consistent with guidance defined in the CAS and the FAR provisions defining reasonableness.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 09/21/2018
- Legislative Related
- No
-
Wisconsin Physicians Service Insurance Corporation Claimed Unallowable Medicare Part B Administrative Costs for Fiscal Year 2013
18-A-05-135.01We recommend that WPS reduce its FACP for FY 2013 by $1,480,904 to eliminate the unallowable costs identified in this report.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Non-Concur
- Potential Savings
- $1,480,904
- Last Update Received
- -
- Closed Date
- 09/02/2018
- Legislative Related
- No
18-A-05-135.02We recommend that WPS improve procedures to distinguish between allowable and unallowable costs in accordance with the applicable Medicare contract, CAS, and FAR provisions; specifically ensure that when an unallowable cost is incurred, its directly associated costs are properly identified and excluded, and ensure that revenue, payroll, and NBV of assets percentages used in developing 3FF rates are consistent with guidance defined in the CAS and the FAR provisions defining reasonableness.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 09/20/2018
- Legislative Related
- No
-
Illinois Did Not Always Comply With Maternal, Infant, and Early Childhood Home Visiting Program Requirements
18-A-05-136.01We recommend that DHS refund to the Federal Government $300,000 in unallowable expenditures.- Status
- Closed Implemented
- Responsible Agency
- HRSA
- Response
- Non-Concur
- Potential Savings
- $300,000
- Last Update Received
- -
- Closed Date
- 12/07/2020
- Legislative Related
- No
18-A-05-136.02We recommend that DHS refund to the Federal Government $105,770 in unallowable expenditures.- Status
- Closed Implemented
- Responsible Agency
- HRSA
- Response
- Non-Concur
- Potential Savings
- $105,770
- Last Update Received
- -
- Closed Date
- 12/07/2020
- Legislative Related
- No
18-A-05-136.03We recommend that DHS ensure that OPF and other subrecipients appropriately claim indirect costs in accordance with Federal requirements.- Status
- Closed Implemented
- Responsible Agency
- HRSA
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 01/29/2019
- Legislative Related
- No
18-A-05-136.04We recommend that DHS provide enhanced oversight of subrecipients to ensure that costs are claimed in accordance with Federal requirements.- Status
- Closed Implemented
- Responsible Agency
- HRSA
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 01/29/2019
- Legislative Related
- No
-
Illinois Did Not Comply With Federal Waiver and State Requirements at 18 of 20 Adult Day Service Centers Reviewed
18-A-05-137.01We recommend that the State agency ensure that the 105 instances of noncompliance with health and safety and administrative requirements identified in this report are corrected.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 07/23/2019
- Legislative Related
- No
18-A-05-137.02We recommend that the State agency review training opportunities available to centers that provide services to vulnerable adults and improve or increase them as needed.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 07/23/2019
- Legislative Related
- No
18-A-05-137.03We recommended that the State agency consider developing templates for administrative records the State requires.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 07/23/2019
- Legislative Related
- No
18-A-05-137.04We recommended that the State agency work with the CCP care coordinators and the centers to establish an integrated plan of care in coordination with the entire care team.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 07/23/2019
- Legislative Related
- No
-
First Coast Service Options, Inc., Generally Claimed Allowable Pension Costs Through Its Incurred Cost Proposals
18-A-07-132.01We recommend that FCSO work with CMS to ensure that FCSO's final settlement of contract costs reflects a decrease in Medicare pension costs of $43,835 for CYs 2008 through 2010.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- $43,835
- Last Update Received
- -
- Closed Date
- 03/03/2022
- Legislative Related
- No
-
First Coast Service Options, Inc., Did Not Claim Some Medicare Supplemental Executive Retirement Plan Costs Through Its Incurred Cost Proposals
18-A-07-133.01We recommend that FCSO work with CMS to ensure that FCSO's final settlement of contract costs reflects an increase in Medicare SERP costs of $1,064,636 for CYs 2008 through 2010.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 09/24/2019
- Legislative Related
- No
-
Weaknesses Exist in Medicaid Managed Care Organizations' Efforts To Identify and Address Fraud and Abuse
18-E-02-027.01CMS should work with States to improve managed care organization (MCO) identification and referral of cases of suspected fraud or abuse.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 06/26/2024
- Legislative Related
- No
18-E-02-027.02CMS should work with States to increase MCO reporting of corrective actions taken against providers suspected of fraud or abuse to the State.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 06/26/2024
- Legislative Related
- No
18-E-02-027.03CMS should work with States to clarify the information managed care organizations are required to report regarding providers who are terminated or otherwise leave the managed care organization network.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 05/20/2022
- Legislative Related
- No
18-E-02-027.04CMS should work with States to identify and share best practices about payment retention policies and incentives to increase recoveries.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 06/26/2024
- Legislative Related
- No
18-E-02-027.05CMS should work with States to improve coordination between MCOs and other State program integrity entities.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 06/26/2024
- Legislative Related
- No
18-E-02-027.06CMS should work with States to standardize reporting of referrals across all MCOs in the State.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Non-Concur
- Potential Savings
- -
- Last Update Received
- 06/06/2024
- Next Update Expected
- 06/26/2025
- Legislative Related
- No
18-E-02-027.07CMS should work with states to ensure that managed care organizations provide complete, accurate, and timely encounter data.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- 04/05/2023
- Next Update Expected
- 06/26/2025
- Legislative Related
- No
18-E-02-027.08CMS should work with states to monitor encounter data and impose penalties on States for submitting inaccurate or incomplete encounter data.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- 12/01/2022
- Next Update Expected
- 12/14/2023
- Legislative Related
- No
-
The MEDIC Produced Some Positive Results but More Could be Done to Enhance its Effectiveness
18-E-03-028.01CMS should require plan sponsors to report Part C and Part D fraud and abuse incidents and the corrective actions taken to address them to a centralized system.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- 10/06/2021
- Next Update Expected
- 10/20/2022
- Legislative Related
- No
18-E-03-028.02CMS should provide the MEDIC centralized access to all Part C encounter data.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- 03/13/2020
- Next Update Expected
- 04/20/2021
- Legislative Related
- No
18-E-03-028.03CMS should require that Part C and Part D providers and pharmacies enroll in Medicare.- Status
- Closed Unimplemented
- Responsible Agency
- CMS
- Response
- Non-Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 01/13/2023
- Legislative Related
- No
18-E-03-028.04CMS should clarify the MEDIC's authority to require records from pharmacies, pharmacy benefit managers, and other entities under contract with Part C and Part D plan sponsors.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- 10/10/2023
- Next Update Expected
- 10/31/2024
- Legislative Related
- No
18-E-03-028.05CMS should ensure that the MEDIC has the ability to require medical records from prescribers of Part D drugs not under contract with plan sponsors, obtaining legislative authority, if necessary.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Non-Concur
- Potential Savings
- -
- Last Update Received
- 07/01/2024
- Next Update Expected
- 07/01/2024
- Legislative Related
- Yes
18-E-03-028.06CMS should establish measures to assess the MEDIC's effectiveness.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 04/03/2024
- Legislative Related
- No
-
The Office of the Secretary of Health and Human Services Did Not Comply with Federal Regulations for Chartered Aircraft and Other Government Travel Related to Former Secretary Price
18-A-12-131.01We recommend that the Office of the Secretary review the lack of compliance with the OMB Circular A-126, Federal Travel Regulations, and HHS Travel Policy Manual related to the authorization and use of chartered aircraft during former Secretary Price's tenure, and on the basis of the review, determine and take appropriate administrative actions to recoup $333,014 of identified waste, including the $12,178 for the June 6 trip to Nashville for which the chartered aircraft was not cancelled after receiving confirmation that the White House event would not occur, providing an opportunity for the use of commercial flights; the $36,313 for the June 24–26 trip to San Diego, Aspen, and Salt Lake City that included only 3.5 hours of official engagements; the $10,001 for the September 15 trip to Philadelphia for not using options other than chartered aircraft; the $12,346 for the Raleigh to Brunswick travel leg in which former Secretary Price used the chartered aircraft to attend an event in a p- Status
- Open Unimplemented
- Responsible Agency
- OS
- Response
- Non-Concur
- Potential Savings
- $333,014
- Last Update Received
- 03/14/2022
- Next Update Expected
- 07/11/2022
- Legislative Related
- No
18-A-12-131.02We recommend that the Office of the Secretary review the lack of compliance with the HHS Travel Policy Manual related to travel that started or ended in locations other than former Secretary Price's official duty station, and on the basis of the review, determine and take appropriate administrative actions to recoup $4,926 identified as waste the $818 for the July 6 trip to Chattanooga in travel costs for an employee to travel to Atlanta on July 5; the $580 for the Raleigh to Brunswick leg in which HHS travelers had to fly commercially back to DC because former Secretary Price used the chartered aircraft to attend an event in a personal capacity; and the $3,528 for the September 18 trip to Marathon and Stillwater.- Status
- Open Unimplemented
- Responsible Agency
- OS
- Response
- Non-Concur
- Potential Savings
- $4,926
- Last Update Received
- 03/14/2022
- Next Update Expected
- 07/11/2022
- Legislative Related
- No
18-A-12-131.03We recommend that the Office of the Secretary review the lack of compliance with the FTR and the HHS Travel Policy Manual related to other excess travel costs, and on the basis of the review, determine and take appropriate action to recoup $2,960 of identified waste the $1,568 of excess lodging costs that were not pre-authorized; the $727 of excess costs incurred for a rental vehicle and pre-paid fuel; and the $665 to Government travelers for travel costs that included unallowable meal costs and incorrect amounts entered on vouchers.- Status
- Open Unimplemented
- Responsible Agency
- OS
- Response
- Non-Concur
- Potential Savings
- $2,960
- Last Update Received
- 03/14/2022
- Next Update Expected
- 07/11/2022
- Legislative Related
- No
18-A-12-131.04We recommend that the Office of the Secretary request a repayment totaling $716 for former Secretary Price's wife's use of one flight aboard a chartered aircraft.- Status
- Open Unimplemented
- Responsible Agency
- OS
- Response
- Non-Concur
- Potential Savings
- $716
- Last Update Received
- 03/14/2022
- Next Update Expected
- 07/11/2022
- Legislative Related
- No
18-A-12-131.05We recommend that the Office of the Secretary train responsible HHS personnel and put controls in place to ensure that the following requirements are met for future procurements; preparing and maintaining documentation regarding the rationale for quote selections when the lowest quote is not selected is prepared and included in the contract file as required by the FAR; and verifying that sole-source justification requirements are adhered to and documentation related to sole-source awards is prepared in accordance with the FAR.- Status
- Open Unimplemented
- Responsible Agency
- OS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- 07/16/2019
- Next Update Expected
- 07/11/2022
- Legislative Related
- No
18-A-12-131.06We recommend that the Office of the Secretary train responsible HHS personnel and put controls in place to ensure that the following requirements are met for future travel; conducting a cost analysis and maintaining documentation to support each use of chartered aircraft that is consistent with each charter justification and ensure compliance with the FTR and the HHS Travel Policy Manual; following the HHS Travel Policy Manual when making travel decisions for the Secretary and accompanying staff when they are not traveling from or to their official duty stations; ensuring authorizations and vouchers are completed in accordance with the FTR and the HHS Travel Policy Manual; cancelling travel reservations to ensure that the value of an unused ticket is not charged to HHS's centrally billed account and then paid, in accordance with the FTR; ensuring existing and newly assigned individuals complete all required training before Government travel in compliance with OMB Circular No. A-123 and- Status
- Open Unimplemented
- Responsible Agency
- OS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- 07/16/2019
- Next Update Expected
- 07/11/2022
- Legislative Related
- No
18-A-12-131.07We recommend that the Office of the Secretary assess the roles, responsibilities, and actions of Federal personnel involved in scheduling, preparing, procuring, and approving the use of chartered aircraft for former Secretary Price's travel and take all appropriate actions related to their performance or conduct.- Status
- Open Unimplemented
- Responsible Agency
- OS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- 07/16/2019
- Next Update Expected
- 07/11/2022
- Legislative Related
- No
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Medicare Improperly Paid Providers for Nonemergency Ambulance Transports to Destinations Not Covered by Medicare
18-A-09-130.01We recommend that CMS direct the Medicare contractors to recover the portion of the $8,633,940 in improper payments made to providers for claim lines that are within the 4-year claim-reopening period.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Non-Concur
- Potential Savings
- $8,633,940
- Last Update Received
- -
- Closed Date
- 06/11/2021
- Legislative Related
- No
18-A-09-130.02We recommend that CMS require the Medicare contractors to implement nation-wide prepayment edits to ensure that payments to providers for nonemergency ambulance transports comply with Federal requirements.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 10/25/2021
- Legislative Related
- No
18-A-09-130.03We recommend that CMS direct the Medicare contractors to review claim lines for nonemergency ambulance transports to destinations not covered by Medicare after our audit period and recover any improper payments identified.- Status
- Closed Unimplemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 11/04/2019
- Legislative Related
- No
18-A-09-130.04We recommend that CMS for the remaining portion of the $8,633,940, which is outside of the Medicare reopening and recovery periods, instruct the Medicare contractors to notify providers of potentially improper payments so that those providers can exercise reasonable diligence to investigate and return any identified similar improper payments in accordance with the 60-day rule, and identify and track any returned improper payments as having been made in accordance with this recommendation.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- $230,685
- Last Update Received
- -
- Closed Date
- 06/11/2021
- Legislative Related
- No
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The Colorado Health Insurance Marketplace's Financial Management System Did Not Always Comply With Federal Requirements
18-A-07-128.01We recommend that the Colorado marketplace refund to the Federal Government $1,998,617 in costs that were improperly transferred between grants.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Overdue
- Potential Savings
- $1,998,617
- Last Update Received
- -
- Next Update Expected
- 07/09/2022
- Legislative Related
- No
18-A-07-128.02We recommend that the Colorado marketplace refund $568,987 in payments that were related to obligations that were not incurred during the grant funding period.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Overdue
- Potential Savings
- $568,987
- Last Update Received
- -
- Next Update Expected
- 07/09/2022
- Legislative Related
- No
18-A-07-128.03We recommend that the Colorado marketplace work with CMS to certify the cost transfers associated with the remaining 352 expenditures totaling $3,177,310, ensure that each expenditure transferred was allowable, and refund any unallowable expenditures to the Federal Government.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Overdue
- Potential Savings
- -
- Last Update Received
- -
- Next Update Expected
- 07/09/2022
- Legislative Related
- No
18-A-07-128.04We recommend that the Colorado marketplace develop and implement written policies and procedures to ensure that it administers its financial management system accurately and reliably and to ensure that for any future Federal grant awards, the marketplace's financial management system maintains effective control over and accountability for grant funds.- Status
- Open Unimplemented
- Responsible Agency
- CMS
- Response
- Overdue
- Potential Savings
- -
- Last Update Received
- -
- Next Update Expected
- 07/09/2022
- Legislative Related
- No
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The Indian Health Service's Controls Were Not Effective in Ensuring That Its Purchase Card Program Complied With Federal Requirements and Its Own Policy
18-A-07-126.01We recommend that IHS strengthen controls to ensure that purchase cardholders comply with Federal requirements and IHS's own policy by ensuring that purchase card usage is adequately monitored for compliance with Federal requirements and IHS's own policy.- Status
- Closed Implemented
- Responsible Agency
- IHS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 11/24/2020
- Legislative Related
- No
18-A-07-126.02We recommend that IHS strengthen controls to ensure that purchase cardholders comply with Federal requirements and IHS's own policy by ensuring that all IHS purchase cardholders complete the HHS-required training on the use of the purchase card to ensure compliance with Federal requirements and IHS's policy.- Status
- Closed Implemented
- Responsible Agency
- IHS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 11/24/2020
- Legislative Related
- No
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Medicare Improperly Paid Providers for Items and Services Ordered by Chiropractors
18-A-09-127.01Direct the Medicare contractors to recover the portion of the $6,682,531 in overpayments to providers for claims that are within the reopening period in accordance with CMS's policies and procedures.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Non-Concur
- Potential Savings
- $6,682,531
- Last Update Received
- -
- Closed Date
- 03/13/2019
- Legislative Related
- No
18-A-09-127.02Instruct the Medicare contractors to notify providers of potential overpayments so that those providers can exercise reasonable diligence to investigate and return any identified similar overpayments in accordance with the 60-day rule, and identify and track any returned overpayments as having been made in accordance with this recommendation.- Status
- Closed Implemented
- Responsible Agency
- CMS
- Response
- Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 03/13/2019
- Legislative Related
- No
18-A-09-127.03Revise the claims processing edits to ensure that all claims for items and services ordered by chiropractors are denied.- Status
- Closed Unimplemented
- Responsible Agency
- CMS
- Response
- Non-Concur
- Potential Savings
- -
- Last Update Received
- -
- Closed Date
- 09/25/2019
- Legislative Related
- No