I want to introduce to you an organization that is new to me, but is playing an important part in the attacks on doctors and pain patients.  This organization is the Healthcare Fraud Prevention Partnership (HFPP).

HFPP was established in 2012 as a public (government insurance-CMS)-private (private insurance companies) partnership with approximately 20 Partners, to share data and information. Today it has grown to 216 Partners, including

  1. Federal Partners including DOD, CMS, HHS, Dept of Labor, Federal Employee’s Compensation, and VA.
  2. Law Enforcement including US DOJ Criminal Division, FBI, OIG, FDA, Postal Service, State Attorney General offices, State police
  • Private Insurance Payers and Companies including Aetna, Anthem, Blue Cross Blue Shield, Cardinal, Cigna, CVS, Express Scripts, Humana, Kaiser Permanente, UnitedHealthcare, and more
  1. State & Local Partners including state medical boards, Departments of Human Services.
  2. Associations and Insurance Companies

HFPP’s Goal

HFPP’s primary goal is stated as combatting healthcare fraud, waste, and abuse. Here is a picture of their fact sheet:

HFPP Fact Sheet

They had a meeting in October, 2016 to identify, address, and minimize opioid prescription abuse and inappropriate payments while supposedly ensuring access to medically necessary therapies. Bottom line, however, is to identify and target physicians not compliant with the decrease in opioid prescribing.

Additional discussions included enforcement of Prescription Drug Monitoring Program (PDMP) mandates and breakthrough pain treatments without a cancer diagnosis. HFPP Partners provided real life examples of pharmacy “bad actors,” pill mills, emerging lab schemes, drug waste/inventory, and third party billing.

An interesting segment was the presentation by DOJ representatives on how private insurances can prosecute doctors criminally in collusion with the federal government. The statutes offered were:

  • 18 U.S. Code § 1347- Health Care Fraud:
  • 18 U.S. Code § 24 – Definitions: Makes “federal health care offense” apply to private insurance.
  • 18 U.S. Code § 669 – Theft or embezzlement in connection with health care:
  • 18 U.S. Code § 1035 – False statements relating to health care matters:
  • 18 U.S. Code § 1518 – Obstruction of criminal investigations of health care offenses:

In their opioids session, CMS emphasized the need to identify those prescribers who are not doing the right thing.

HFPP Strategies Identified

A goal of the afternoon session was to obtain input for the White Paper Statements and Strategies to address inappropriate prescribing or dispensing of opioids. The key strategies identified were:

  • Manage formularies to control for abusive practices and reduce barriers to safer alternatives
  • Engage with providers, and educate them about the risks of prescribing opioids, the best practices in providing care and managing treatment, and the value of cross-provider communication
  • Engage with patients to inform them about the safe drug use and assess risk factors for opioid abuse
  • Encourage use of safe alternatives to opioids such as non-opioid analgesics and nonpharmacological treatments
  • Provide access to opioid abuse treatment interventions, such as Methadone or Buprenorphine regimens, inpatient or outpatient therapies, etc.
  • Improve access to, and information about, Naloxone and Narcan
  • Build coalitions focused on identifying and implementing solutions
  • Improve data sharing and utilization (e.g. encourage participation in and use of prescription drug monitoring programs’ databases, conducting utilization reviews)
  • Improve prescribing systems and monitoring processes (e.g. require the use of electronic prescribing, implementing point of sale edits, limiting prescribing privileges when needed)
  • Implement and streamline patient review, case management and restriction programs (aka “Lock-in” programs)

Article in 2017 by Pain News Network

Pat Anson exposed this government-insurance collusion in an October, 2017 article, but the importance of the information did not reach his audience.  It is important that everyone who reads this understands that this collusion to target practitioners treating pain—in order to save insurance companies money—is the downfall of the medical profession if it is allowed to progress.  It is now 5 years since this meeting took place, and we can see the result with increased attacks on compassionate physicians treating pain with opioids, and the marking of chronic pain patients using data analysis and data sharing. Understand—opioids are safe when prescribed by a physician. They become unsafe when prescription guidelines come from non-medical, government entities or private insurance companies only interested in the bottom $$$ line.

Part II will be the summary of the White Paper that was produced as a result of this collaboration.

Linda Cheek, MD

About the Author Linda Cheek, MD

Linda Cheek is a teacher and disenfranchised medical doctor, turned activist, author, and speaker. A victim of prosecutorial misconduct and outright law-breaking of the government agencies DEA, DHHS, and DOJ, she hopes to be a part of exonerating all doctors illegally attacked through the Controlled Substance Act. She holds the key to success, as she can offset the government propaganda that drugs cause addiction with the truth: The REAL Cause of Drug Abuse.
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