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

or supplier’s billing privileges is effective 30 days after<br />

<strong>CMS</strong> or the <strong>CMS</strong> contractor mails notice of its determination<br />

to the provider or supplier. A revocation based on Federal<br />

exclusion or debarment is effective with the date of the<br />

exclusion or debarment.”<br />

During the 30 days after <strong>CMS</strong> or our contractor mails a<br />

revocation notice to a provider or supplier, the provider<br />

or supplier is afforded the opportunity to submit a<br />

corrective action plan. A corrective action plan gives a<br />

provider or supplier an opportunity to provide evidence<br />

that demonstrates that the provider or supplier is in<br />

compliance with Medicare requirements. Moreover, a<br />

provider or supplier can use a corrective action plan to<br />

correct the deficiency without filing an appeal under<br />

42 CFR part 498, and remain in the Medicare program when<br />

the provider demonstrates that the provider or supplier is<br />

in compliance with Medicare requirements and the Medicare<br />

contractor accepts the corrective action plan. In those<br />

situations where a provider or supplier submits an<br />

acceptable corrective action plan, the provider or supplier<br />

maintains their billing privileges and the revocation<br />

determination is not implemented.<br />

We maintain that providers or suppliers are able to<br />

provide sufficient evidence through a corrective action<br />

776

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