The Villages Health Bankruptcy filing in July 2025 sent shockwaves through the healthcare industry, especially among Medicare Advantage providers. Known for serving one of the largest retirement communities in Florida, The Villages Health faced over $360 million in Medicare overpayments. But does this make the organization criminal?
Not at all.
The facts point to systemic documentation and coding errors—not fraud. And that’s a critical distinction. This article explains what happened, why it matters, and how healthcare professionals can protect their own organizations from similar risks.
In late 2024, The Villages Health conducted an internal review and discovered discrepancies in Medicare billing. Rather than ignoring the issue, they immediately self-reported the errors to the Department of Health and Human Services (HHS) and the Department of Justice (DOJ).
Their findings? Diagnoses were submitted to Medicare without the proper clinical documentation. In many cases, patient charts were amended after the 90-day CMS deadline, or diagnoses were listed without active symptoms, evaluations, or treatments.
While these errors weren’t malicious, they were costly—ultimately leading the organization to file for Chapter 11 to restructure its debt.
When billing Medicare—especially for Medicare Advantage plans—each diagnosis must be clearly supported by patient records. This means:
CMS uses the MEAT criteria to determine if a diagnosis is valid:
If there’s no MEAT, the diagnosis can’t be used to adjust payments—and Medicare may ask for the money back.
The Centers for Medicare & Medicaid Services (CMS) has strict rules about how diagnosis codes are submitted and validated. These rules ensure Medicare Advantage payments are accurate and fair.
Under CMS guidelines, a diagnosis can only be used for payment if:
If these elements are missing, the diagnosis is considered unsupported and must be excluded from risk adjustment.
CMS conducts Risk Adjustment Data Validation (RADV) audits to verify that diagnoses submitted by Medicare Advantage plans and providers are valid.
RADV audits compare diagnosis codes submitted for payment to the actual documentation in the patient’s medical record. Unsupported diagnoses are removed, and CMS can demand repayment of the overpayment.
Since 2018, CMS has used extrapolation—if a few diagnoses in a sample are unsupported, CMS applies the error rate to the entire patient population, resulting in huge liabilities.
In 2025, CMS significantly ramped up RADV audits:
This places every Medicare Advantage provider at higher risk for audits—and higher financial exposure.
Some frequent red flags found in CMS RADV audits include:
These are easy to overlook—but dangerous when repeated.
Risk Category |
ICD-10 Code |
Condition Description |
Common Audit Finding |
RAF Impact |
HCC 18 |
E11.42 |
Type 2 Diabetes w/ Neuropathy |
No foot exam or symptoms in documentation |
Moderate |
HCC 85 |
I50.9 |
Heart Failure |
No current treatment plan |
High |
HCC 96 |
N18.4 |
CKD Stage 4 |
No eGFR or lab support |
Very High |
HCC 122 |
F32.9 |
Major Depression |
No screening or follow-up |
Moderate |
HCC 19 |
E11.9 |
Type 2 Diabetes (no complication) |
Only on problem list |
Low |
HCC 12 |
C34.90 |
Lung Cancer |
Missing imaging/pathology |
Very High |
HCC 51 |
G30.9 |
Alzheimer’s Disease |
No cognitive assessment |
Very High |
HCC 161 |
Z79.4 |
Long-term insulin use |
Insulin not documented |
Low |
Use this checklist to validate diagnoses:
Also watch for these red flags:
The Villages Health did the right thing. They identified the issue, reported it, and took corrective action. These were not intentional fraud cases, but they reveal how small errors, when repeated, can overwhelm an organization.
Healthcare providers can learn from this. With Medicare scrutiny rising and RADV audits expanding, you must stay vigilant with coding and documentation.
If you work in a healthcare organization—whether you’re a provider, biller, or compliance officer—take this case seriously. It’s not about blame; it’s about being prepared.
Start by conducting internal risk audits. Train your team on MEAT criteria. Use tools that flag unsupported codes before claims go out. It’s about staying compliant and financially protected.
In our next blog, we’ll explore Ongoing Federal Audit & Enforcement Trends—including why CMS is now auditing over 500 Medicare Advantage plans every year and what healthcare organizations need to do to stay ahead.
If your organization is unsure about its Medicare Advantage coding practices, now is the time to act.
Taino Consultants and EPICompliance offer expert guidance, audit tools, and training programs to help you stay ahead of federal requirements. Our systems help you flag unsupported codes, document MEAT, and avoid costly mistakes before they happen.
We’ve worked with providers across the country to reduce risk, improve compliance, and protect revenue.
Let us help you stay off the audit radar—and out of the headlines.