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Michael P. Davidson

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Michael P. Davidson

Michael P. Davidson

Associate
 
Hinshaw & Culbertson LLP
100 Park Avenue, P.O. Box 1389
Rockford, Illinois  61105-1389
(Winnebago Co.)

Telephone: 815-490-4900
Facsimile: 815-490-4901
Telex: 880248
http://www.hinshawlaw.com



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Experience & Credentials
 


Practice AreasHealth Care Compliance; Health Care Reimbursement; Health Care; Health Care Contracts; Health Care Corporate Law; Health Care Finance; Health Care Taxation; Health Care Mergers and Acquisitions; Health Care Facility Licensing; Health Care Facility Regulation; Health Care Fraud
 
EducationSt. Louis University School of Law, J.D., Certificate in Health Law, 2006, Northwestern University, B.A., Philosophy, with honors, 1997
 
Admitted2006, Illinois
 
MembershipsWinnebago County Bar Association; American Health Lawyers Association; Illinois Association of Healthcare Attorneys.
 
LanguagesGerman
 
BornAkron, Ohio, January 30, 1975
 
ISLN918989039
 

Documents by this lawyer on Martindale.com


FTC Delays Enforcement of Red Flags Rule until June 1, 2010
Michael P. Davidson, November 18, 2009
The Federal Trade Commission (FTC) has announced that it will delay enforcement of the Red Flags Rule until June 1, 2010. This extension of the enforcement deadline, which came at the request of several Congress members, is the fourth such delay. The Rule was originally to be enforced starting on...

HIPAA Covered Entities and Business Associates Must Give Notification of Disclosure of Unsecured Protected Health Information Due to Security Breaches
Michael P. Davidson, September 13, 2009
On August 24, 2009, the U.S. Department of Health and Human Services (DHHS) published in the Federal Register an interim final rule that requires HIPAA covered entities and business associates to notify individuals, DHHS, and, in some circumstances, the media, of breaches of information systems...

Illinois Hospitals Must Satisfy New Requirements on Peer Review and Summary Suspension of Clinical Privileges
Michael P. Davidson, August 28, 2009
As of August 14, 2009, an Illinois hospital that seeks to summarily suspend a physician's clinical privileges because the physician's continued practice would constitute an immediate danger to the public, must meet new requirements regarding documentation of the reasons for and prompt review of the...



 

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