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<strong>CMS</strong>-1403-FC<br />

determination. Specifically, we are adopting the provision<br />

to deny enrollment to any physician, or NPP current owner<br />

(as defined in §424.502), authorized or delegated official<br />

who is participating in the Medicare program and is under<br />

an existing Medicare payment suspension or <strong>has</strong> an<br />

outstanding overpayment that <strong>has</strong> not <strong>been</strong> repaid in full.<br />

As adopted, physicians and NPPs will not be allowed to<br />

enroll and reassigning payments to a third-party if the<br />

individual practitioner <strong>has</strong> an existing payment suspension<br />

or overpayment that have not <strong>been</strong> repaid.<br />

4. Reporting Requirements for Providers and Suppliers<br />

(§424.516 and §424.535(a)(10))<br />

Currently, §424.520(b) requires that providers and<br />

suppliers, except DMEPOS and IDTF suppliers, report to <strong>CMS</strong><br />

most changes to the information furnished on the enrollment<br />

application and furnish supporting <strong>document</strong>ation within<br />

90 calendar days of the change (changes in ownership must<br />

be reported within 30 days). As specified in<br />

§424.57(c)(2), DMEPOS suppliers have only 30 calendar days<br />

to submit changes of information to <strong>CMS</strong>. As specified in<br />

§410.33(g)(2), IDTFs, must report changes in ownership,<br />

changes in location, changes in general supervision, and<br />

final adverse actions within 30 calendar days. All other<br />

287

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