Scott Withrow’s Comments on Proposed Rule regarding Revisions of Safe Harbors under Anti-Kickback Statute
Scott Withrow’s Comments on Proposed Rule regarding Modification and Clarification of Physician Self-Referral Regulations
Why Anti-Kickback Compliance Is Material to Federal Healthcare Payment
Why Compliance with the Stark Law is Material under Escobar
New IRS Regulations Force Charitable Hospitals To Publicize Financial Assistance Policies and Limit Collection Activities
Healthcare Industry Still Teeters Over Cliff
How to Avoid a HIPAA Horror Story
Why Can’t Physicians Interoperate? Barriers to Adoption of EHRs
The 8 Dimensions of Quality
Supplemental Compliance Guidance Recommends Stark and Kickback Compliance Procedures
Lack of Medical Necessity: The Next Compliance Wave
Administrative Simiplification Compliance Act: Simple Delay
HIPAA Compliance: Where Are the Savings?
OIG Speaks on Providers’ Use of Business Consultants
Compliance Guidance for Physicians: Blustering About Clustering
Administrative Simplification Part 2: The Not-So-Private Privacy Regulations
The Next Compliance Crunch: Administrative Simplification
Submerged Safe Harbors Against Stark Attacks: How to Manage the Vagaries of Anti-Kickback and Stark Laws

Corporate & Securities:
New Excise Tax Cuts Into Tax-Exempt Executive Compensation
Finally, State Securities Filings Electronically: NASAA’s Electronic Filing Depository
How to Finance the Small Business

Commercial Real Estate:
Corporate Tax Law Reform Provides Incentives For Commercial Real Estate Owners To Move Tenants In Before January 1, 2006

How To Manage Commercial Tenant Delinquencies and Defaults