Enforcing Standards The OIG General Compliance Program Guidance states, “Small entities should be prepared to designate someone, whether it is the compliance contact, an entity leader, or another designated employee, to determine whether a violation exists and the steps necessary to correct any problems. As appropriate, such steps could include: a corrective action plan; the…

Oops, your level of membership doesn’t include access to these advanced materials. They are reserved for members working directly with our OIG compliance specialists. Please reach out to the HelpDesk to learn more about accessing these materials. Click here to learn more.