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HHS Begins Clarifying Reporting Requirements for Provider Relief Funds

By Joseph (Joe) V. Geraci, Harvey Tettlebaum & Eric Weatherford on July 22, 2020
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On July 20, 2020, The U.S. Department of Health and Human Services (HHS) notified providers that if they received $10,000 or more in funds from the general or targeted Provider Relief Fund (PRF) established under the Coronavirus Aid, Relief, and Economic Security (CARES) Act, reports on how those funds were used will be required. HHS expects to release (through the Health Resources and Services Administration [HRSA] website) detailed instructions on reporting requirements by August 17, 2020. Specifically, reports will be required of any provider who received one or more payments exceeding $10,000 in the aggregate from:

General distributions:

  • Initial Medicare
  • Additional Medicare
  • Medicaid, dental and Children’s Health Insurance Program (CHIP)

Targeted distributions:

  • High-impact area
  • Rural
  • Skilled nursing facilities
  • Indian health service
  • Safety net hospital

In the reports, providers will be asked to explain how they complied with PRF applicable terms and conditions. HRSA will provide a number of question-and-answer sessions via webinar in advance of the report’s deadline. From a timing perspective, according to HHS’ notice, the reporting system will become available to recipients on October 1, 2020. The deadlines are as follows:

  • All recipients must report within 45 days of the end of calendar year 2020 on their expenditures through the period ending December 31, 2020.
  • Recipients that have expended PRF in full prior to December 31, 2020, may submit a single final report at any time during the window that begins October 1, 2020, but no later than February 15, 2021.
  • Recipients with PRF unexpended after December 31, 2020, must submit a second and final report no later than July 31, 2021.

Contact us

We will continue to track the reporting obligations as more details become available. For more information regarding Provider Relief Funds, please contact Joe Geraci, Harvey Tettlebaum, Eric Weatherford or your Husch Blackwell attorney.

Comprehensive CARES Act and COVID-19 guidance

Husch Blackwell’s CARES Act resource team helps clients identify available assistance using industry-specific updates on changing agency rulemakings. Our COVID-19 response team provides clients with an online legal Toolkit to address challenges presented by the coronavirus outbreak, including rapidly changing orders on a state-by-state basis. Contact these legal teams or your Husch Blackwell attorney to plan a way through and beyond the pandemic.

Photo of Joseph (Joe) V. Geraci Joseph (Joe) V. Geraci

When Joe began his legal practice as in-house counsel for a psychiatric hospital system, he dealt firsthand with the challenges of healthcare operations that his clients face daily. While physicians, hospitals and health systems focus on healing, Joe sorts through the nuts…

When Joe began his legal practice as in-house counsel for a psychiatric hospital system, he dealt firsthand with the challenges of healthcare operations that his clients face daily. While physicians, hospitals and health systems focus on healing, Joe sorts through the nuts and bolts of hospital operations to help his clients make sense of the industry’s complex regulations. He is board certified in healthcare law by the Texas Board of Legal Specialization and brings this in-depth background to his legal and business solutions.

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Photo of Harvey Tettlebaum Harvey Tettlebaum

With 50 years of experience in health law, Harvey has deep knowledge of the entire healthcare marketplace.

He represents providers and associations of healthcare providers across the care spectrum from acute to primary care, including mental health professionals, pharmacists and pharmacies, emergency medical

…

With 50 years of experience in health law, Harvey has deep knowledge of the entire healthcare marketplace.

He represents providers and associations of healthcare providers across the care spectrum from acute to primary care, including mental health professionals, pharmacists and pharmacies, emergency medical services, physicians and dentists.

Read more about Harvey TettlebaumEmail
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Photo of Eric Weatherford Eric Weatherford

Eric uses his deep knowledge of Medicaid and Medicare reimbursement, compliance and regulatory matters to help healthcare clients find the answers they need. As the leader of the firm’s Healthcare Regulatory & Compliance Counseling team, Eric advises healthcare providers nationwide on state and

…

Eric uses his deep knowledge of Medicaid and Medicare reimbursement, compliance and regulatory matters to help healthcare clients find the answers they need. As the leader of the firm’s Healthcare Regulatory & Compliance Counseling team, Eric advises healthcare providers nationwide on state and federal regulatory and operations issues, including requirements related to reimbursement, fraud and abuse, licensure and other matters. Eric is especially well-versed in Medicaid supplemental payment programs.

Read more about Eric WeatherfordEmail
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  • Posted in:
    Health Care
  • Blog:
    Healthcare Law Insights
  • Organization:
    Husch Blackwell LLP
  • Article: View Original Source

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