Compliance with Laws and Regulations
- We are committed to operating in accordance with all applicable laws and regulations, to conduct business ethically and honestly, and to act in a manner that improves our standing in the community.
- We issue and maintain financial and cost reports, accounting records, research reports, expense accounts, time sheets and other documents that accurately and clearly reflect transactions and financial performance.
- We do not offer payment, bribes, kickbacks or other incentive to patients, physicians or others to encourage the referral of patients to our facilities or services.
- We do not accept payments for referrals that we make. Our physicians and other healthcare providers make patient referrals solely based on the patient’s clinical needs. No employee or any other person acting on behalf of Nyack Hospital is permitted to solicit or receive anything of value, directly or indirectly, in exchange for the referral of patients.
- We do not allow personal interests to influence referrals. Our policy is to inform patients of their options and to promote patient freedom of choice in selecting any services they may require.
- We do not waive insurance co-payments or otherwise provide for financial benefits to patients in return for admission.
- We handle all patient drugs and controlled substances according to applicable laws and regulations.
- Antitrust laws are designed to preserve and foster fair and honest competition within the healthcare industry. To accomplish this goal, the language of these laws is deliberately broad, prohibiting such activities as “unfair methods of competition” and agreements “in restraint of trade”. Such language gives enforcement agencies the right to examine many different business activities to judge the effect on competition.
- The Hospital’s policy requires full compliance with all antitrust laws. No employee, under any circumstances, has the authority to approve a violation of the law. Anyone who willingly violates, or knowingly permits a subordinate to violate any antitrust law, is subject to disciplinary action, including dismissal.
- The greatest danger for violations of antitrust laws comes from contacts with competitors, therefore, you should not disclose any information concerning the demographic information of the patients, services provided by the Hospital, future business plans of the Hospital, prices, reimbursements or employee’s salaries.
- The term “kickback” is defined as the giving of remuneration, which is interpreted under the law as anything of value. Nyack Hospital must scrupulously avoid being the offeror or the recipient of an improper inducement.
- Any questions concerning these statutes of any questionable business practice, which may be subject to the anti-kickback statute, should be directed to the Compliance Officer.
Not for Profit Tax Status
- The Hospital and its affiliates are “not for profit” organizations, and are therefore exempt from taxation by federal, state and local governments. In order to maintain this exemption, the Hospital must operate for the benefit of the community it serves, and must avoid “private inurement” and “private benefit”. All nonexempt individuals or entities must pay fair market value for the use of Hospital services and property.
- Care must also be taken that the Hospital sales tax exemption is used only for legitimate Hospital activities.
Political Activity and Lobbying
- It is important to separate personal and Nyack Hospital political activities in order to comply with the appropriate rules and regulations relating to lobbying or attempting to influence government officials.
- Certain management personnel may periodically be called upon by the Hospital to make contact with members of the county, state or federal legislative bodies and other officials to set forth and advocate for the Hospital’s positions on issues. These persons are expected to abide by all applicable laws and established policies at all times. Any person who attempts to influence any legislative, executive or other governmental action, official or employee on behalf of the Hospital may be required to register as a lobbyist and file reports concerning their activities.
Doing Business with the Government
- Very specific rules exist to eliminate the appearance of a conflict of interest by former government employees who upon termination of their government service seek employment with those entities who are regulated by government agencies. If a former government employee or consultant becomes an employee or consultant to Nyack Hospital care should be exercised to insure that the requirements of the U.S. Government Conflict of Interest Laws are not violated.
- You may not provide or pay for meals, refreshments, travel or lodging expenses for government employees. Very strict guidelines prohibit any type of gratuity, with very few exceptions, and your strict compliance is required.
- As a not-for-profit organization the Hospital relies heavily on contributions from donors to support many of its activities. Employees are encouraged to support these fund raising efforts, but are required to coordinate all activities through the Nyack Hospital Foundation.
- The Hospital commitment to integrity encompasses all grants received either through government funded programs, or through private sources. The Hospital has established policies and procedures to ensure that all grants received and their use is consistent with federal, state, local and Hospital rules and regulations.