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Lessons%20Learned%20from%20Federal%20Prosecutions

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Canova Transtelephonic cardiac pacemaker testing 30-30-30 second ... After seeking an interpretation from a Medicare carrier employee that the last 30 ... – PowerPoint PPT presentation

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Title: Lessons%20Learned%20from%20Federal%20Prosecutions


1
Lessons Learned from Federal Prosecutions
  • Michael K. Loucks
  • First Assistant U.S. Attorney
  • District of Massachusetts

2
Medicare/Medicaid Spending
  • 2001 588 billion
  • 2003 695.3 billion
  • 2005 828.7 billion
  • 2007 985.4 billion (projected)
  • 2009 1,140.2 billion (projected)
  • 1992 GAO report estimated fraud and abuse was as
    high as 10 of expenditures true???????

3
Financial Recoveries
1991 1995 856,600,000 125,300,000
1996 2000 3,602,040,076 349,000,000
2001 8/2006 9,362,622,955 1,254,091,556
13,821,263,731
Source Loucks and Lam, Prosecuting and
Defending Health Care Fraud Cases, 2006
Cumulative Supplement, Chapter 11 (BNABooks).
4
  • Which sector is the worst one?
  • Which company has been the greatest offender?
  • Can any conclusions from the numbers fairly be
    drawn in answering any of these questions?

5
Mix
  • 42.2 pharmaceutical products
  • 26.8 hospitals
  • 6.8 dialysis providers
  • 6.1 laboratories
  • 3.7 carriers/intermediaries
  • 3.5 nursing homes
  • 3.3 medical devices

6
  • Schering-Plough four settlements
  • 2002 500,000,000
  • 2004 27,000,000
  • 2004 345,469,482
  • 2006 435,000,000
  • Total 1,307,469,482

7
  • Tenet hospitals six settlements
  • 2002 29,000,000
  • 2002 55,800,000
  • 2002 17,000,000
  • 2003 54,000,000
  • 2004 22,500,000
  • 2006 900,000,000
  • Total 1,078,300,000

8
  • HCA (Columbia HCA), 2 settlements
  • 2000 840,000,000
  • 2003 631,000,000
  • Total 1,471,000,000
  • Settlements with these three companies represent
    about 26 of total recovered

9
  • 7, 500,000,000 or greater
  • 4 in drug industry sector
  • 3 in hospital sector
  • 33, 100,000,000 or greater
  • 16 in drug industry
  • 5 in hospitals
  • 4 in laboratories
  • 2 in dialysis
  • 2 in nursing homes
  • 2 in carriers/intermediaries

10
Factors that affect enforcement
  • Leads
  • Whistleblowers
  • Anonymous sources
  • Audits
  • Resources
  • Agents
  • AUSAs

11
Medical Device Industry
  • Subject to same rules that govern manufacturing
    and marketing conduct in the pharmaceutical
    industry
  • Food, Drug and Cosmetic Act
  • Manufacturing process requirements
  • Off-label promotion prohibitions
  • Anti-kickback statute
  • Typical health care fraud rules

12
Off-Label Promotion
  • No free speech right to promote a device for an
    off-label use
  • There is a tension between the exchange of
    reliable scientific data and information within
    the health care community and the statutory
    requirements that prohibit companies from
    promoting products for unapproved uses.
  • Virginia Bd. Of Pharmacy v. Virginia Citizens
    Consumer Counil, inc., 425 U.S. 748, 765 (1976).

13
Off-Label Promotion
  • Government has a substantial interest in the
    regulation of medical devices and in subjecting
    off-label uses to the FDAs evaluation process.
  • Permitting defendants to engage in all forms
    of truthful, non-misleading promotion of
    off-label uses would severly frustrate the FDAs
    ability to evaluate the effectiveness of
    off-label uses.
  • United States v. Caputo, 288 F. Supp. 2d 912
    (N.D.Ill. 2003).

14
Lessons Learned
  • Monitor development of off-label sales
  • Scrutinize incentive programs for risk that sales
    force will be pushing off-label uses
  • Conduct compliance audits of sales force
    activities
  • Evaluate marketing and promotional campaigns
    against the directions for use

15
The Importance of Doing it Right
  • Pressures from
  • Competitors on pricing, quality
  • Customers on service, delivery, pricing
  • QC on following the processes
  • Regulatory affairs on following the rules
  • What happens
  • Cutting of corners
  • Sloppiness, rushing can become criminal

16
United States v. Canova
  • Transtelephonic cardiac pacemaker testing
  • 30-30-30 second intervals testing of the
    pacemaker in three thirty second intervals
  • Medicare paid on a per test basis
  • Time requirements prevented acceleration of
    testing
  • Vice President, Operations increased employee
    quotas from 32 to 40 per day

17
Testimony from Employees
  • Former plant manager If we were far behind on
    target, John would be pretty animated what we
    were going to do to get close to being on target
  • Technicians to meet quota, the last 30 second
    interval had to be cut to 10-15 seconds
  • From predecessor, when told employees were out of
    compliance everyone had to be in compliance
    but nothing i.e., quotas could suffer.

18
Testimony from employees
  • Another manager I told Canova that
    technicians were not performing the entire
    30-30-30 testing all the time.
  • Another manager I told him Were not doing it
    period no ones doing it.
  • After seeking an interpretation from a Medicare
    carrier employee that the last 30 seconds didnt
    mean 30 seconds, Canova and another employee
    decided on their own there was in fact a
    loophole that did not require a thirty second
    tape.

19
Lessons learned
  • Are the normal processes being followed?
  • Are there pressures to increase productivity,
    output that are unrealistic for the resources
    available?
  • Are employees being told to stay in compliance
    and to meet production/sales demands that are not
    realistic for the resources at hand, or in light
    of the rules governing either production or
    sales?
  • Has someone offered a novel or new or suddenly
    discovered justification?
  • Is a manager ignoring warnings from subordinates?

20
The Next Five Years
  • Expenditures will more than double
  • Drug costs will continue to rise
  • Device development will continue
  • An increase in the marriage of drugs and devices
  • An increase in the cost of rehabilitative care
  • An increase in the competitiveness between drugs
    and devices

21
Federal Enforcement Type
  • Substantial pending inventory of FCA cases
    involving pharmaceutical products
  • Off label promotion allegations
  • Medicaid pricing allegations
  • Kickback allegations
  • These will continue they will likely be joined
    by allegations regarding devices
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