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OIG LEIE

OIG Excluions List Search

HealthProviders DB profiles include the Office of Inspector General (OIG) List of Excluded Individuals & Entities (LEIE), as Exact or Possible matches, greatly simplifying your exclusion research.

Exclusions that match by NPI number, or by full name and address, are Exact matches.

The List of Excluded Individuals & Entities (LEIE) is imported monthly, so our database of healthcare providers is always up to date.

An individual or entity that is debarred is ineligible to receive federal contracts, certain subcontracts, or financial and non-financial assistance and benefits.

Search HealthProviders DB

Enter an NPI number, license number, or provider name in the search field below to search the Exclusions.

Alternatively, you can also search the Providers.

Use HealthProviders DB Batch Exclusion Screening and Exclusion-monitoring Solutions to avoid potential Civil Monetary Penalties.

Federal Database Check Requirements

The Federal Database Checks42 CFR Part §455.436 mandate that State Medicaid Agencies must:

(a) Confirm the identity and determine the exclusion status of providers and any person with an ownership or control interest or who is an agent or managing employee of the provider through routine checks of Federal databases.

(b) Check the Social Security Administration’s Death Master File, the National Plan and Provider Enumeration System (NPPES), the List of Excluded Individuals/Entities (LEIE), the System for Award Management (SAM), and any such other databases as the Secretary may prescribe.

(c)(1) Consult appropriate databases to confirm identity upon enrollment and re-enrollment; and

(c)(2) Check the LEIE and SAM no less frequently than monthly.

Who needs to be screened?

Healthcare organizations must screen new hires and regularly monitor current employees, as well as the individuals and entities with whom they do business, to avoid potential Civil Monetary Penalties.

This includes doctors, nurses, pharmacists, and other healthcare professionals who interact with patients, as well as federal healthcare programs such as Medicare and Medicaid.

Even if someone isn’t directly providing care, they might still be involved in billing, patient records, or managing payments from federal programs. These roles are critical, and OIG exclusion checks should apply here.

Think of anyone supplying medical equipment, pharmaceuticals, or services to a healthcare organization. Just because someone isn’t a full-time employee doesn’t mean they shouldn’t be checked. They must pass an OIG background check if they provide goods or services involving federal funds.

Volunteers can be involved in patient care or sensitive healthcare operations in specific settings. While not always required, screening volunteers can help ensure the organization maintains compliance with federal regulations.

Resent Civil Monetary Penalties

According to the HHS-OIG Enforcement Actions webpage, here are examples of recent Civil Monetary Penalties reported.

January 6, 2025

Adriana Strimbu, DPM, Agreed to Pay $41,000 for Allegedly Violating the Civil Monetary Penalties Law by Employing an Excluded Individual.

December 30, 2024

Sharp Healthcare Agreed to Pay $153,000 for Allegedly Violating the Civil Monetary Penalties Law by Employing an Excluded Individual.

October 23, 2024

Accura Healthcare Management Services and Accura Healthcare of Knoxville Agreed to Pay $60,000 for Allegedly Violating the Civil Monetary Penalties Law by Employing an Excluded Individual.

October 8, 2024

BrightStar Care of Chattanooga Agreed to Pay $20,000 for Allegedly Violating the Civil Monetary Penalties Law by Employing an Excluded Individual.

September 30, 2024

Patient First New Jersey Physicians Group Agreed to Pay $25,000 for Allegedly Violating the Civil Monetary Penalties Law by Employing an Excluded Individual.

June 5, 2024

The Estates of St. Louis Agreed to Pay $300,000 for Allegedly Violating the Civil Monetary Penalties Law by Employing an Excluded Individual.

March 14, 2024

Baptist Health Deaconess Madisonville Agreed to Pay $21,000 for Allegedly Violating the Civil Monetary Penalties Law by Employing an Excluded Individual.

February 26, 2024

Baptist Health System Agreed to Pay $184,000 for Allegedly Violating the Civil Monetary Penalties Law by Employing an Excluded Individual.

January 8, 2024

Independence Home Healthcare and Jose Vincente Perez Agreed to Pay $377,000 and Be Excluded for 20 Years for Allegedly Violating the Civil Monetary Penalties Law by Employing an Excluded Individual and Paying Improper Remuneration.

About the LEIE

The Office of Inspector General (OIG) has authority under Sections 1128 and 1156 of the Social Security Act (Act) to exclude individuals and entities from federally funded healthcare programs for various reasons, including convictions for Medicare or Medicaid fraud.

Section 1128 covers Medicare, Medicaid, and all other federal healthcare programs that provide benefits funded directly or indirectly by the United States.

Section 1156 extends this scope to include the state-level counterparts of Medicare and the health programs under Section 1128.

Under this authority, the OIG maintains the List of Excluded Individuals/Entities (LEIE), which is updated monthly.

Reasons for Exclusions

Mandatory Exclusions

OIG is required by law to exclude from participation in all Federal health care programs individuals and entities convicted of the following types of criminal offenses:

  • Medicare or Medicaid fraud and other crimes related to the delivery of items or services under Medicare, Medicaid, SCHIP, or other State health care programs.
  • Patient abuse or neglect.
  • Felony convictions for other healthcare-related fraud, theft, or financial misconduct.
  • Felony convictions relating to the unlawful manufacture, distribution, prescription, or dispensing of controlled substances.

Permissive Exclusions

OIG has the discretion to exclude individuals and entities on several grounds, including (but not limited to):

  • Misdemeanor convictions related to health care fraud other than Medicare or a State health program, fraud in a program (other than a health care program) funded by any Federal, State, or local government agency.
  • Misdemeanor convictions relating to the unlawful manufacture, distribution, prescription, or dispensing of controlled substances; suspension, revocation, or surrender of a license to provide health care for reasons bearing on professional competence, professional performance, or financial integrity.
  • Provision of unnecessary or substandard services.
  • Submission of false or fraudulent claims to a Federal health care program.
  • Engaging in unlawful kickback arrangements.
  • Defaulting on health education loan or scholarship obligations.
  • Controlling a sanctioned entity as an owner, officer, or managing employee.

The LEIE Data Collected

Field Name
Last Name
First Name
Middle Name
Business Name
General
Specialty
UPIN
NPI
Dob
Address
City
State
Zip Code
Exclusion Type
Exclusion Date
Reinstate Date
Waiver Date
Waiver State
Index