Skip Navigation
United States Flag

An official website of the United States government. Here's how you know >

A New Look for HHS-OIG. Learn More >>

Change Font Size

Quality of Care Corporate Integrity Agreements

When a False Claims Act settlement resolves allegations of fraud that impact the quality of patient care, OIG may enter into a "quality-of-care" Corporate Integrity Agreement (CIA) with the settling provider. Under this type of CIA, OIG requires that the provider retain an entity with clinical expertise to perform quality-related reviews. For example, some CIAs require the provider to retain an independent quality monitor that will look at the entity's delivery of care and evaluate the provider's ability to prevent, detect, and respond to patient care problems. Other quality-of-care CIAs require the provider to retain a peer review consultant to evaluate the provider's peer review and medical credentialing systems. Agreements may also require the provider to retain a clinical expert to review the medical necessity and appropriateness of certain admissions and medical procedures. If you or your organization are interested being an independent quality monitor, please see the OIG's Notice for Potential Monitors for Quality-of-Care Corporate Integrity Agreements.

When a provider enters into a quality-of-care CIA as part of a settlement, it is not an admission that the provider provided substandard or worthless patient care. The presence of a quality-of-care CIA, alone, is not determinative of the quality of care at the provider's facility or facilities. Nor does it guarantee that the provider will provide adequate patient care going forward. The quality-of-care CIA does, however, require the provider to appropriately respond to the monitor and/or consultant's recommendations for improvement to quality, peer review, and/or medical credentialing systems during the term of the CIA.

A home nurse serving lunch to an elderly manFor skilled nursing facilities, nursing facilities, and hospitals, the Centers for Medicare & Medicaid Services' Nursing Home Compare and Hospital Compare Web sites are useful tools to obtain quality-of-care information about a specific facility.

Below are links to the current quality-of-care CIAs. Where the quality-of-care CIA is with a provider that has multiple locations, an individual location may have had no involvement in the settlement. Also provided are links to press releases issued by the United States Attorney's Office or the Department of Justice about the related False Claims Act settlements:

Corporate Integrity Agreement Related
Memphis Operator LLC dba Spring Gate Rehabilitation and Healthcare Center Press Release
Health Services Management N/A
Andover Subacute and Rehab Center Services Two, Inc. Press Release
Daybreak Venture LLC and Daybreak Partners LLC Press Release
CF Watsonville East, LLC, and CF Watsonville West, LLC (Watsonville Nursing Center f/k/a Country Villa Watsonville East Nursing Center and Watsonville Post-Acute Center f/k/a Country Villa Watsonville West Nursing and Rehabilitation Center) Press Release
Extendicare Health Services, Inc.; AA Healthcare Management; American Senior Communities; Cornerstone Healthcare; Fortis Management Group, LLC; Noble Management; North Shore Healthcare, LLC; Villa Healthcare Press Release
Foundation Health Services, Inc. (Daspit, Richard T., Sr.; Rock Glen Healthcare, Inc.; American Family Services, Inc.; Huntingdon Nursing Center, Inc.; Bluebonnet Healthcare, Inc.; Magnolia Healthcare, Inc.; Ravenwood Healthcare, Inc.) Press Release
Saint Joseph Health System Inc. d/b/a Saint Joseph London N/A
Allegiance Health Press Release
Dallas County Hospital District d/b/a
Parkland Health and Hospital System
Press Release
GGNSC Holdings LLC (GGNSC Atlanta LLC, d/b/a Golden LivingCenter - Dunwoody f/k/a Golden LivingCenter - Northside, GGNSC Decatur II LLC, d/b/a Golden LivingCenter - Glenwood) Press Release

Office of Inspector General, U.S. Department of Health and Human Services | 330 Independence Avenue, SW, Washington, DC 20201