Health care partner Michael Lampert (Boston) was quoted extensively in a Hospital Peer Review article that examines recent compliance program evaluation guidance issued by the Criminal Division of the U.S. Department of Justice.
Mr. Lampert explains that the DOJ guidance takes a compliance program’s existence as a given and looks deeper into how a company’s compliance program really works and how it has evolved over time. The new guidance addresses three key compliance areas: program design, program implementation, and program efficacy.
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