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Implementing internal controls in your practice will help you stop embezzlement and keep what you earn.
Herbert Snyder, PhD, CFE, and Donna K. Dietz, PhD, CMA, CPA
Source: American Academy of Family Physicians
In
health care, the word "fraud" often refers to the submission of
improper claims on the part of a medical practice. However, there is
another type of fraud - financial fraud, or embezzlement - that gets
little attention in the industry but should be of great concern. A
recent study of community health clinics found that more than 40
percent had experienced some type of financial crime during the
previous five years. As bad as this sounds, the actual situation is
probably even worse. It's estimated that up to 75 percent of
embezzlement, fraud and related financial crimes go unreported.
Additionally, several investigators, including accounting firm KPMG
International, have found evidence that the incidence of financial
crime is growing.
Preventing financial misconduct
within your practice does not need to be an expensive or painful
process, but it does require implementation of internal controls. This
article describes six safeguards to employ, with advice for both small
and large practices.
Check candidates' references and job histories
The
process of safeguarding your practice begins before you hire an
employee. Checking job candidates' references, job histories and other
information on their resumes can identify those who have committed
fraud at previous jobs. Often, employees who commit fraud are repeat
offenders, so it is important to be thorough when you question their
former employers.
Small practices. Make sure your
employment applications require all necessary information, such as
previous relevant job experiences and the names and contact numbers of
former employers. Try to find the reason for any gaps in a candidate's
employment history. These could be areas the candidate wishes to keep
hidden. At a minimum, you should call to confirm that the previous
employment was legitimate and that all professional licenses are valid.
Occasionally
you can elicit further details when speaking with a former employer.
For instance, let former employers know that the prospective employee
will be in a position of trust, and ask them to comment on the past
performance of the employee. Although many employers will be reluctant
to make damaging remarks over the phone, they may be compelled to speak
up knowing that they will be liable should the employee commit fraud
again. You should inform your prospective employee that you'll be
checking references; applicants with a history of financial misconduct
are likely to withdraw.
Large practices. Because managing
physicians are more removed from employees in larger practices than in
smaller practices, large practices need to conduct more careful checks
on their potential employees. It is particularly important to complete
a thorough check on candidates applying for critical management
positions or positions requiring high levels of trust, such as
accountants. If your practice is large enough to have a human resources
(HR) staff, they can conduct the employee checks. In practices without
an HR staff, employee background checks can be outsourced to private
companies that specialize in this service. Even though you would not be
conducting the employee checks yourself in this case, make sure the
company follows your guidelines.
Review individual expenses
Regularly
reviewing expenditures and individual accounts can uncover unusual
transactions. If you pay attention to account balances and review
documentation before signing checks, you may discover financial
misconduct earlier. These reviews will serve as a deterrent to those
who might attempt fraud.
Small practices.
Reviewing expenses doesn't necessarily mean signing off on every
expense yourself, but you do need a process to make sure that every
check signed is for a legitimate expense. In general, when a payment is
made, two things must be documented: appropriate authorization for the
purchase and verification that the goods actually arrived. Ideally,
these tasks would be handled by separate individuals. For example, one
staff member may be authorized to order supplies and sign the purchase
order, but a different person should verify that the goods were
received and sign the invoice. A third person can then sign the check,
after reviewing all supporting documentation. If you do not have enough
staff to separate these tasks, at least have a separate person sign the
check and review all documentation.
Small practices
should also review office accounts monthly. While this doesn't prevent
all fraud, it can alert you to potential problems when expense or
revenue accounts are larger or smaller than expected. This process is
easier if you compare last year's revenues and expenses with the
current year's, or if you compare budgeted revenues and expenses with
actual results. Significant differences will highlight areas that you
should investigate. Pay particular attention to large expenditures for
services because services are more difficult to verify than supplies.
Accounting software that is suitable for small practices can be
configured to produce these reports each month.
Large
practices. As with smaller practices, you should conduct independent,
internal checks to ensure that money is being spent on legitimate,
properly authorized expenses and that all revenue is accounted. Larger
practices also should separate responsibilities for authorizing
purchases, verifying receipt of goods and authorizing payment of
invoices. Individuals with these responsibilities should not have any
access to cash or checks.
When there are a large number
of purchases, conserve time by delegating authorization of payments
under a set dollar amount. For payments over that dollar amount, add
your review and signature to the routine review process. You can notify
the bank of this policy by having your checks pre-printed with the
message "All checks over [set dollar amount] must have two signatures."
You
may want to add an exception report to your routine review. Exception
reports notify you when an account's activity exceeds a particular
level or when the balance rises or falls above particular levels.
Exception reports are needed only when unusual transactions occur. Most
accounting systems can be configured to produce such reports. Use your
judgment to set the limits. Limits that are set too low will result in
many exception reports. Frequent exception reports lose their
effectiveness.
These reports are only effective if you or
your practice manager actually read them. Exception reports will not
deter financial misconduct if employees know that you never look at
them. It is a good practice to sign the reports as they are reviewed,
particularly if you delegate some of the review responsibilities to
your practice manager. This provides evidence of strong management
oversight.
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