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Matthew G. Weber

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Matthew G. Weber: Lawyer with Holland & Hart LLP

Matthew G. Weber

Partner
 
Holland & Hart LLP
555 Seventeenth Street, Suite 3200, P.O. Box 8749
Denver, Colorado  80201
(Denver Co.)

Telephone: 303-295-8000
Telecopier: 303-295-8261
http://www.hollandhart.com



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Practice AreasLitigation; First Amendment/Libel Law; Health Care Finance; Health Care Litigation; Health Care Fraud; Health Care Regulation; Managed Care; Medicare and Medicaid Reimbursement; Commercial Litigation; Government Health Care Contracts; Health Maintenance Organizations; Products Liability Defense; Health Care Compliance; Health Care Reimbursement; Insurance Regulation
 
EducationNorthwestern University School of Law, J.D., 1988, Colorado College, B.A., magna cum laude, Phi Beta Kappa, 1985
 
Admitted1988, District of Columbia; 1989, Colorado, U.S. District Court for the District of Columbia and U.S. Court of Appeals for the District of Columbia Circuit; 1992, U.S. Supreme Court; 1995, U.S. District Court, District of Colorado and U.S. Court of Appeals, Tenth Circuit
 
MembershipsAmerican Health Lawyers Association; Health Care Compliance Association.
 
BornMinneapolis, MN, 1964
 
BiographyMember, Philip C. Jessup International Moot Court Team. Member, Northwestern Law Review, 1987-1988. Author: Media Liability for Publication of Advertising: When to Kill the Messenger, 68 Den. U. L. Rev. 57 (1991); "Overview: Ragin and the Privatization of Advertising Regulation," 15 ALA XV (July-December 1992); Medicaid Litigation Section of ABA treatise, Managed Care Litigation (BNA 2005); "Responding to Health Care Fraud and Abuse Investigations" Inside the Minds Series, Aspatore Books (2008); "The Role of International Investigations and Self-Disclosure in Effective Compliance Programs" Compliance Today (Nov. 2008).
 
ISLN902907193
 

Documents by this lawyer on Martindale.com


OIG Narrows Self-Disclosure Protocol
Matthew G. Weber, April 29, 2009
The U.S. Department of Health and Human Services Office of Inspector General (OIG) narrowed the scope of issues that may be resolved through its Self-Disclosure Protocol (SDP) in an Open Letter to Health Care Providers dated March 24, 2009.


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