Critical changes were made to CMS’s Section 111 TPOC reporting process that will significantly impact compliance practices.
This change will require RREs to report information about WCMSAs to CMS – including non-threshold, non-submit, and Evidence based Medicare set-aside (EBMSA) arrangements.
Claims managers; Risk managers; Adjusters; RREs; Compliance and other interested personnel from insurers; Third-party administrators; Self-insureds
Wednesday, March 27, 2024
Mark Popolizio, J.D.
VP, MSP Compliance
Casualty Solutions, Verisk
Sid Wong
VP, Policy
Casualty Solutions, Verisk
Jeremy Farquhar
Senior Product Consultant
Casualty Solution, Verisk
Maureen Burnham
SVP, MSP Policy
Casualty Solutions, Verisk