Tracking OIG Enforcement: A Live Dashboard for Compliance Officers and Healthcare Counsel

OIG posts hundreds of enforcement actions, advisory opinions, and corporate integrity agreements every year. Each one carries signals about where the government is focused, what theories it favors, and which arrangements will survive scrutiny. To help healthcare industry clients use OIG’s enforcement data to inform their compliance programs, the Kaufman & Canoles Health Care Practice Group has built an interactive dashboard tracking every Self-Disclosure Protocol settlement, Civil Monetary Penalty and affirmative exclusion, advisory opinion, criminal and civil enforcement action, and corporate integrity agreement OIG has posted from January 2025 forward.

A few patterns the data is already making visible:

  • False-claims theories dominate the SDP docket. Of 127 SDP settlements through May 2026, the largest single category — by both volume and dollars — is false or not-provided claims. AKS remuneration matters come second.
  • Pharma and device manufacturers drive the advisory-opinion docket. Ten of the 21 advisory opinions issued since January 2025 came from drug or device manufacturers, with cost-sharing waivers, manufacturer discounts, and patient-assistance programs the most common arrangement types.
  • Quality-of-care theories are concentrated in skilled nursing. All four nursing-home CIAs in the data carry quality-of-care obligations, continuing OIG's post-United States v. SavaSeniorCare focus on substandard care as a False Claims Act theory.
  • Marquee FCA recoveries continue to escalate. Kaiser Permanente ($556M), Walgreens ($350M), Gilead speaker programs ($202M), Aetna MA risk-adjustment ($117.7M), Takeda ($13.6M, May 2026), and the May 2026 HealthSplash software-fraud conviction ($1B) all sit in the dashboard.

The dashboard is filterable by enforcement type, scheme, provider type, dollar amount, resolution stage, and date range, with CSV export on every section. It is updated quarterly as OIG posts new actions; where appropriate, updates include reclassifications based on facts that surface after the initial posting.

View the OIG Enforcement Trends Dashboard →

If your organization is working through a self-disclosure decision, evaluating an arrangement against the advisory-opinion landscape, responding to a government audit or subpoena, or building out a compliance program informed by current enforcement priorities, the team is happy to talk. Contact Colin at colin.mccarthy@kaufcan.com or 804.771.5733 or subscribe to our Health Care Law alerts to be notified when the dashboard refreshes.

* The dashboard is provided for informational and educational purposes only. It is not legal advice and does not create an attorney-client relationship. Past enforcement results do not predict future outcomes in any individual matter.

  • Of Counsel

    Colin McCarthy is a healthcare regulatory attorney with more than 15 years of experience advising healthcare providers on compliance, reimbursement, and operational matters. Based in Richmond, Virginia, he advises clients ...

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