Dispute Resolution2024-06-27T20:41:04+00:00
1301, 2023

Consolidated EFPIA Code Transposal Deadline Approaching

By |January 13th, 2023|Blog|

As mentioned in a blog published last year, EPFIA consolidated their three EFPIA Codes (PO – HCP – Disclosure) into one simplified Code. EFPIA stated their reasons to consolidate the Codes were “the simplification of concepts, the removal of repetitive provisions and the clarification of the content”. Member Associations were asked to transpose the revised Code provisions [...]

1301, 2023

5 Considerations for Migrating from a Homegrown System to a SaaS Solution

By |January 13th, 2023|Blog|

1. Implementation Time Investment A migration to a SaaS solution may seem intimidating and you might have concerns about the bandwidth of your IT department for such a project. Typically, the actual implementation and rollout of a SaaS solution is a relatively quick and easy process. In fact, most pharmaceutical and medical device companies will [...]

1301, 2023

Department of Justice Updates Guidance on the Evaluation of Corporate Compliance Programs

By |January 13th, 2023|Blog|

On June 1, 2020, the Department of Justice (DOJ) updated its guidance document on the “Evaluation of Corporate Compliance Programs.” As outlined below, the DOJ identifies the adequacy of resources and the access to data and analytics as key components to establishing an effective compliance program. The original version of the guidance document was published [...]

1301, 2023

Advanced Technology Allows for Effective Analytics

By |January 13th, 2023|Blog|

While the healthcare industry has always been highly regulated, recent developments mandate that transparency and compliance monitoring are not afterthoughts for manufacturers, healthcare organizations and healthcare professionals (HCPs). The number of regulations continue to grow, and the penalties for violations become significantly larger given the availability of large volumes of spend and prescription data in [...]

1301, 2023

Massachusetts Department of Public Health Updated 2019 Reporting Format

By |January 13th, 2023|Blog|

The Massachusetts Department of Public Health requires pharmaceutical and medical device manufacturers to disclose certain transactions with anyone who prescribes, dispenses, or purchases prescription drugs or medical devices in the Commonwealth. This includes any fee, payment, subsidy, or other economic benefit with a value of at least $50. Massachusetts revised its reporting template and updated [...]

1301, 2023

Compliance Enabled Technology

By |January 13th, 2023|Blog|

The fundamentals of good compliance require the ability for compliance professionals to intercede, either prospectively or retrospectively, at key control points. Whether these are activity, contract, payment or document controls, an inability to apply these controls reflects an inability for the compliance professional to manage enterprise risk. Historically, many business processes have evolved from manual, [...]

1301, 2023

How Successful Is Your Transparency Reporting Program?

By |January 13th, 2023|Blog|

Whether you’ve just completed your first submission to Centers for Medicare & Medicaid Services (CMS), or you’ve had a transparency reporting program in place for years, it pays to take a look at your process to identify opportunities to increase efficiency and reduce risk. Think back to the most recent reporting period and ask your [...]

1301, 2023

5 Ways to Save Time When Meeting a Transparency Reporting Deadline

By |January 13th, 2023|Blog|

Meeting US federal, US state and international transparency reporting requirements requires a substantial amount of time and resources from you and your team. Regulations have grown increasingly more complicated and will continue to expand as more jurisdictions introduce new laws and expansions to current rules. Creating an efficient, time-saving process for transparency reporting is a [...]

1301, 2023

What’s the Real Cost of Your Transparency Reporting System?

By |January 13th, 2023|Blog|

In-House Costs for Existing Systems For an existing in-house system, calculate the total cost of ownership for: Researching current regulations and making system updates Pulling transaction data from multiple sources Preparing transaction data for import into the reporting system Validating HCP information Remediating conflicting data from multiple data sources Generating reports to meet complex federal, [...]

1301, 2023

What Does the CCPA Mean for the Life Sciences Industry?

By |January 13th, 2023|Blog|

On April 7th, MediSpend hosted the webinar What Does the CCPA Mean for Life Sciences Companies, where we provided an overview of the California Consumer Privacy Act (CCPA) requirements based on the most recent guidance. We also discussed many of the complicated intricacies of establishing CCPA controls impacting life science organizations today. Some of the [...]

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