At the end of 2022, CMS proposed an amendment to its overpayment regulations to revise the definition of several terms, including the “identified” definition, specifying when a provider has “knowingly received or retained an overpayment.”
At the end of 2022, CMS proposed an amendment to its overpayment regulations to revise the definition of several terms, including the “identified” definition, specifying when a provider has “knowingly received or retained an overpayment.”