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There's nothing puzzling about compliance

Across
Designated person accountable and responsible for the activities and status of the compliance program
The knowledge and development resulting from learning the elements of the compliance plan as well as preventing, detecting, and reporting fraud, waste and abuse
CityMD’s Compliance Officer
Group responsible for high-level oversight of the compliance program along with Compliance Officer
Teaching or providing instructions on the elements of the compliance plan
Enforcement occurs through these well-publicized guidelines
Routine activity that analyzes, examines and investigates to evaluate compliance
This states CityMD’s compliance expectations and operational principles and values
Annual document detailing and categorizing exposure, liability, threats and vulnerability
Knowingly billing for services not furnished, supplies not provided, or both, including falsifying records to show delivery of such items
Ordering excessive diagnostic tests
Routine activity that observes and checks the progress of compliance over a period of time
Down
Strategy to prevent, detect and remediate non-compliance as well as fraud, waste, and abuse
Discover or identify noncompliance
Written guidance that articulates the rules, methods and processes to comply with all applicable Federal and State standards
Effective means accessible to all to ensure confidentiality and provide for anonymous and good-faith compliance issues reporting
Annual document which is the roadmap of strategy, monitoring and progress of corrective actions and solutions to issues identified in the Risk Plan or through other means
Examine the facts of (an incident or allegation) to establish the truth
Billing for unnecessary medical services
Written guidance that articulates the series of actions or steps conducted in a certain order or manner to comply with all applicable Federal and State standards