§1320

21 cases·6 followed·8 distinguished·2 overruled·5 cited29% support

Statute text not available for this section.

21 Citing Cases

Michael R. & Ann J. Harris, Petitioner T.C. Memo. 2008-45 · 2008

1320a-7b(b), prohibiting payments for referrals of patients eligible for Medicare or Medicaid;12 and, 12 Sutter Health's nonprofit, tax-exempt subsidiaries, including SMF, provided substantial goods and services for which payment was made under Medicare and Medicaid. The Associate General Counsel of the U.S. Department of Health and Human Serv

Daniel J. & Sean C. Kennedy, Petitioner T.C. Memo. 2008-45 · 2008

1320a-7b(b), prohibiting payments for referrals of patients eligible for Medicare or Medicaid;12 and, 12 Sutter Health's nonprofit, tax-exempt subsidiaries, including SMF, provided substantial goods and services for which payment was made under Medicare and Medicaid. The Associate General Counsel of the U.S. Department of Health and Human Serv

1320a-7b(b), prohibiting payments for referrals of patients eligible for Medicare or Medicaid;12 and, 12 Sutter Health's nonprofit, tax-exempt subsidiaries, including SMF, provided substantial goods and services for which payment was made under Medicare and Medicaid. The Associate General Counsel of the U.S. Department of Health and Human Serv

1320a-7b(b), prohibiting payments for referrals of patients eligible for Medicare or Medicaid;12 and, 12 Sutter Health's nonprofit, tax-exempt subsidiaries, including SMF, provided substantial goods and services for which payment was made under Medicare and Medicaid. The Associate General Counsel of the U.S. Department of Health and Human Serv

1320a-7b(b), prohibiting payments for referrals of patients eligible for Medicare or Medicaid;12 and, 12 Sutter Health's nonprofit, tax-exempt subsidiaries, including SMF, provided substantial goods and services for which payment was made under Medicare and Medicaid. The Associate General Counsel of the U.S. Department of Health and Human Serv

1320a-7b(b), prohibiting payments for referrals of patients eligible for Medicare or Medicaid;12 and, 12 Sutter Health's nonprofit, tax-exempt subsidiaries, including SMF, provided substantial goods and services for which payment was made under Medicare and Medicaid. The Associate General Counsel of the U.S. Department of Health and Human Serv

1320a-7b(b), prohibiting payments for referrals of patients eligible for Medicare or Medicaid;12 and, 12 Sutter Health's nonprofit, tax-exempt subsidiaries, including SMF, provided substantial goods and services for which payment was made under Medicare and Medicaid. The Associate General Counsel of the U.S. Department of Health and Human Serv

In this regard, DiDonato testified that during the years at issue he sought out the advice of a law firm in Washington, D.C. (Washington), to review ASC's activities as they related to the Stark Act and the Anti-Kickback Act. The Stark Act prohibits medical providers and hospitals from presenting claims to Federal healthcare programs

Charles Pitts, Petitioner T.C. Memo. 2010-101 · 2010

chapter 1261 (2) Respondent violated Title 5 CFR § 1320 .6 [implementing the Paperwork Reduction Act of 199S, .44 U.S .C.

Natl Infusion Center v. Becerra 116 F.4th 488 · Cir.
Chhabra v. United States 720 F.3d 395 · Cir.
Commonwealth of Pennsylvania v. President United States 930 F.3d 543 · Cir.
Boehringer Ingelheim Pharms., Inc. v. Dep't of Health & Hum. Servs. · Cir.
Bristol Myers Squibb Co v. Secretary United States Department of HHS · Cir.
Novartis Pharmaceuticals Corp v. Secretary United States Department of Health · Cir.
Novo Nordisk Inc v. Secretary US Dept & Health and Human Services · Cir.
Kong v. Scully 341 F.3d 1132 · Cir.
United States ex rel. Shannon Martin, M.D. v. Darren Hathaway 63 F.4th 1043 · Cir.
Dayton Area Chamber of Com. v. Robert F. Kennedy, Jr. · Cir.
Astellas US Holding, Inc. v. Federal Insurance Company 66 F.4th 1055 · Cir.

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