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    Director of Compliance - Stockton, United States - Community Medical Centers, Inc.

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    Description

    POSITION SUMMARY:
    The Director of Compliance plays a crucial role in fulfilling the commitment of Community Medical Centers, Inc.

    (CMC) to provide the best quality of care possible as well as the continuous assessment and improvement of the quality of care and services.

    This position has the principal authority and responsibility for the development, implementation, oversight, and evaluation of a dynamic integrated risk management program and compliance program across all CMC clinical and business units.

    This position reports to the General Counsel.


    MINIMUM REQUIREMENTS:


    Bachelor's degree in related field and a minimum of 5 years of recent experiencein health care compliance and risk management at a director level.

    Knowledge of state and federal healthcare regulations, including Human Resources and Services Administration (HRSA) guidelines and CMS Conditions of Participation.

    Excellent written and verbal communication skills
    Valid California Driver's License, proof of insurance, and personal transportation.


    SALARY RANGE:
    $110,240 to $135,574/annually


    SPECIFIC DUTIES:


    Oversee, update, develop, and implement a comprehensive compliance strategy that includes periodic audits, effective lines of communication, written practice standards and procedures, and an updated Compliance Plan that reduces CMC's vulnerability to fraud and abuse and ensures compliance with federal and state regulations.

    Develop and implement a systemic approach for managing and minimizing clinical and enterprise risk that facilitates early identification of new risks, communication, issues management, and internal and external reporting.

    Develop guides and resources on compliance and risk management topics and provide training, knowledge, and skills to staff.
    Oversee, update, develop, and implement compliance and risk management policies and procedures.
    Responsible for insurance management, requests for certificates of insurance, and review of insurance and liability clauses in contracts.

    Act as Privacy Officer of the organization and be responsible for all duties associated with this position, including the investigation of and reporting of HIPAA violations and the composition and delivery of responses to state regulatory agency complaints and inquiries.

    Lead organization's efforts for the HRSA On-Site Visit, including gathering documents, ensuring reviews and Board approval of policies and procedures, and ensuring contract and subaward compliance with HRSA requirements.

    In collaboration with the Security Officer and General Counsel, review HIPAA regulations for technology management and participate in conducting required controls, including periodic Risk Assessments.

    In collaboration with clinical leaders, oversee the clinical risk management processes to ensure a culture of safety, timely capture of events, reporting to insurance and federal agencies and initiation of risk analysis for all events.

    Ensure that the HHS OIG's List of Excluded Individuals and Entities and the General Services Administration's (GSA's) List of Parties Debarred from Federal Programs have been checked with respect to all employees, medical staff, and independent contractors.

    Monitor the Compliance Hotline and independently investigate allegations of noncompliance and monitor appropriate corrective action and/or subsequent compliance.
    Serve as the Chair of the Corporate Compliance and the Risk Management Committee.

    Conduct an annual enterprise risk assessment for the organization and report findings to the Board of Directors and key management staff.

    Report on a regular basis to the Board of Directors on the risk and compliance framework implemented at the health center to instill both confidence and understanding of policies and procedures.

    Implement and monitor corrective action plan and/or subsequent compliance developed after compliance investigations
    Other duties as assigned.


    KNOWLEDGE, SKILLS AND, ABILITIES:
    Highly effective collaboration skills and written and verbal communication skills.
    Computer competent and able to present key information in a succinct and clear manner.
    Ability to facilitate conflict resolution, competent in identifying risk situations and resolution.
    Ability to communicate well with families, patients, staff, and physicians based on age, cultural beliefs, and educational level.
    Attention to detail, meticulous development, and maintenance of regulatory paperwork.
    Speaks with confidence and command.
    Knowledge of organizational policies, procedures, and systems
    Ability to interact with internal personnel and external agencies requiring reasonable tact, discretion, and self-expression.
    Ability to maintain open dialogue with supervisors and management staff
    Ability to work independently, use good judgment, maintain excellent communication skills and self-initiative
    Ability to read, understand, and follow oral and written instructions
    Ability to establish and maintain effective working relationships with employees and the public


    TYPICAL PHYSICAL DEMANDS:
    Must be able to lift to 40 pounds and push up to 100 pounds (on wheels)
    Must be able to hear on the phone and those who are served in person, and speak clearly to communicate information to staff
    Must have vision with or without lenses that is adequate to read memos, a computer screen, personnel forms, and other documents
    Must have high manual dexterity
    Must be able to reach above the shoulder level to work, must be able to bend, squat and sit, stand, stoop, crouch, reach, kneel, twist/turn, fingering and feeling


    TYPICAL WORKING CONDITIONS
    Work is performed in an office environment within a clinic setting. Involves frequent contact with staff and the public. Work may be stressful at times. Contact may involve dealing with upset people.

    Community Medical Centers is an Equal Opportunity Employer.

    It is CMC's policy to provide equal employment opportunities to all persons, regardless of age, race, religion, color, national origin, sex, political affiliations, marital status, non-disqualifying physical or mental disability, sexual orientation, membership, or non-membership in an employee organization or on the basis of personal favoritism or other non-merit factors except where otherwise provided by law.

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