Compliance leaders with influencer skills employing culturally impactful metrics show the value of compliance programs across healthcare organizations.
Continue readingThe Four C’s of Healthcare Compliance
Be a partner and resource. Four C’s of effective healthcare compliance: Communication, Collaboration, Credibility, and Culture – Brian Kozik
Continue readingA culture of compliance through proactive decision-making
Does your healthcare organization make proactive decisions about regulatory changes with time to adjust? Three steps to help make decisions farther upstream.
Continue readingFive tips to start an investigation off right
Sharon Parsley covers five expert tips to investigate a known or suspected healthcare compliance issue for the YouCompli blog, Compliance Effectiveness Series.
Continue readingMentoring in a virtual environment
How can healthcare compliance leaders ensure their virtual mentoring sessions are effective? Compliance Officer Effectiveness Series from Sharon Parsley on the YouCompli blog.
Continue readingTwo tips for enabling a speak-up culture in your healthcare organization
A speak-up culture is earned. Invest time with colleagues across your healthcare organization. Develop open lines of communication for effective compliance.
Continue readingYour Board Committee is only as effective as you make it
Compliance officer effectiveness: Ten ways to develop and maintain a trusted and transparent relationship with your healthcare compliance board committee.
Continue readingCompliance Committee Engagement
Healthcare compliance committees offer the operational impact of compliance activities and drive culture. Four strategies to improve engagement-Jay Anstine
Continue readingCompliance officer effectiveness takes a special blend of skills
Highly effective board committees know their oversight responsibilities. After a four-year investigation, Caremark pled guilty to felony mail fraud and entered into numerous settlement agreements. The primary allegation was that the board failed to make reasonable inquiries and take appropriate action to prevent certain systemic compliance failures.
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