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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

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OIG Recommendations Grouped by Report

Showing 1,001–1,020 of 1,223 reports, containing 4,008 recommendations Sorted by latest release date
  • Kansas Received Millions in Unallowable Bonus Payments

  • Ohio Claimed Unallowable Federal Reimbursement for Some Medicaid Physician-Administered Drugs

  • Minnesota Did Not Comply With Federal Waiver and State Requirements for 18 of 20 Family Adult Foster Care Homes Reviewed

  • Oklahoma Did Not Correctly Process Adjustments to Medicare Crossover Claims

  • First Coast Service Options, Inc., Understated Its Allocable Pension Costs

  • First Coast Service Options, Inc., Understated Its Medicare Segment Pension Assets

  • First Coast Service Options, Inc., Generally Claimed Allowable Medicare Pension Costs

  • New York Did Not Always Ensure That Allegations and Referrals of Abuse and Neglect of Children Eligible for Title IV-E Foster Care Payments Were Recorded and Investigated in Accordance With State Requirements as Required by Federal Law

  • New York Did Not Always Verify Correction of Deficiencies Identified During Surveys of Nursing Homes Participating in Medicare and Medicaid

  • Southeast Arkansas Community Action Corporation Did Not Always Operate Its Head Start Program in Accordance With Federal Regulations

  • CMS's Policies and Procedures Were Generally Effective in Ensuring That Capitation Payments Were Not Made After Beneficiaries' Dates of Death

  • The District of Columbia Claimed Some Day Treatment Program Services That Were Not in Compliance With Federal or District Requirements

  • Shortcomings of Device Claims Data Complicate and Potentially Increase Medicare Costs for Recalled and Prematurely-Failed Devices

  • Enhancements Needed in the Tracking and Collection of Medicare Overpayments Identified by ZPICs and PSCs

  • The Turtle Mountain Band of Chippewa Indians Improperly Administered Some Low-Income Home Energy Assistance Program Funds for Fiscal Years 2010 Through 2013

  • Hawaii Did Not Bill Manufacturers for Some Rebates for Drugs Dispensed to Enrollees of Medicaid Managed-Care Organizations

  • Challenges Remain in FDA's Inspections of Domestic Food Facilities

  • Some Oklahoma Group Homes Did Not Always Comply With State Requirements

  • CMS Did Not Provide Effective Oversight To Ensure That State Marketplaces Always Properly Determined Individuals' Eligibility for Qualified Health Plans and Insurance Affordability Programs

  • OHRP Should Inform Potential Complainants of How They Can Seek Whistleblower Protections