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Milada Goturi

Partner

Washington, D.C.
202 585 6951 202 585 6951 direct


Hospitals, health systems, physicians and other health care clients look to Milada, an attorney and registered nurse, for critical assistance on a range of complex regulatory compliance matters.

Milada provides in-depth guidance on Medicare and Medicaid billing and reimbursement issues. She assists providers with audits of billing practices and represents providers in self-disclosures of compliance matters to CMS and OIG.

Milada intimately understands the complex relationships between hospitals and physicians and provides strategic advice on physician contracting, compliance with Stark and Antikickback laws and structuring business arrangements in compliance with these laws. Milada has significant experience in HIPAA compliance and data privacy and security. She regularly advises on all aspects of HIPAA compliance, including establishing HIPAA privacy and security compliance programs and responding to privacy and security incidents. Milada also advises clients on day-to-day operational issues, EMTALA compliance, licensing and accreditation survey matters, patient care issues and medical staff matters.

Milada represents providers faced with investigations by various government enforcement agencies, including the U.S. Department of Justice, the U.S. Department of Health and Human Services, state attorneys general, the Office of Civil Rights and others. She works closely with clients to develop appropriate responses and successfully negotiate timely and favorable outcomes.

Milada also has extensive experience negotiating corporate health care transactions. Working on every aspect of the transaction, she structures and negotiates affiliations, mergers, acquisitions and joint ventures involving hospitals, surgery centers, physician practices and other businesses.

Blogs

New OIG toolkit: Analyzing Telehealth Claims for Program Integrity Risks

OCR issues HIPAA guidance on audio-only telehealth services

Fifth Circuit vacates $4.3M HHS enforcement penalty for HIPAA violations

HHS proposes significant changes to Stark, Anti-Kickback and CMP regulations

OCR reminds business associates of direct liability for noncompliance with HIPAA Rules

CMS draft guidance on co-location arrangements: What hospitals and health care entities need to know

HHS issues voluntary health care cybersecurity guidelines

CMS mandates new Stark Self-Referral Disclosure Protocol form

OCR: No privacy breach is too small

Final Rule on refund of Medicare overpayments: Key requirements to know