The
contractor shall submit a Case Summary when referring cases of potential
fraud or abuse that describes at a minimum the following:
• Allegations
citing all the applicable TRICARE regulatory provisions that have
been violated in regards to each allegation.
• The individual
or institution suspected of committing or attempting to commit the
alleged wrongful behavior, including all appropriate information,
such as the beneficiary’s name, sponsor’s status and Social Security
Number (SSN) or Department of Defense Benefits Number (DBN), beneficiary’s
relationship to sponsor, provider’s specialty (e.g., General Practitioner
(GP), Dental Surgeon, or Pharmacy) and identification number, address, telephone
number, etc.
• The suspicious behavior uncovered,
e.g., audit, prepayment screen, beneficiary, pharmacy, provider
complaint, tip, Department of Defense (DoD) Hotline, investigator
notification, etc. In addition, indicate the date the allegations
were identified.
• A clear summary of the behavior
which is suspected to be in violation of Federal law, regulation
or policy; for example, billing for services, pharmaceuticals or
supplies that were not provided, altering receipts or claim forms,
duplicate billing, providing incorrect information when seeking
preauthorization, etc. This shall include identifying specific facts that
illustrate the pattern or summary conclusions. For example: submitted
probable false claims to the contractor through the U.S. Postal
Service (USPS) or via electronic mail, altered checks, misrepresented
the description and coding of services, falsified the name of the actual
provider of care, falsified the name of the actual pharmacy dispensing
the prescription, altering medical records, etc.
• All action
taken during developmental stage to include contacts made, information obtained,
potential problematic issues, etc.
• The number
of claims or encounters, the length of time the suspicious behavior
has occurred and the Government’s and contractor’s loss.
• Current
status of claims or other requests submitted by the suspected provider,
pharmacy or beneficiary, i.e., regular development, processing and
payment or denial, claims suspension, prepayment review, etc.
• Any relevant
documents provided, such as any correspondence with the provider, pharmacy
or beneficiary, telephone conversation records, provider certification
files, requests for medical records, educational letters, recoupment
letters, etc.
• Previous and/or ongoing administrative
measures (educational efforts, prepay review, etc.).
• Actions
taken to identify and determine the total TRICARE exposure, including coordination
with other contractors. The Case Summary shall indicate the total
monitory exposure to TRICARE and if actual patient harm has occurred.
• Any other
facts that may establish a pattern of practice or indicate that
the provider, pharmacy or beneficiary intended to defraud the Government
or the contractor.