Letter/Comment

The latest advocacy letters and comments from the 黑料正能量 Association.

We support the proposed rule. We applaud CMS for continuing to update CoPs for health care providers and to ensure that regulations are current, reflect the best and most recent knowledge about care delivery, and embody high expectations for quality of care.
The AHA supports the revised definition of a 鈥減lan,鈥 which better distinguishes between a plan and a product line.
The AHA recommends that the Centers for Medicare & Medicaid Services (CMS) require greater transparency in how states set MCO capitation rates.
Fundamental reform of the RAC process is at the heart of an effective and permanent solution to the appeal backlog problem and will enable hospitals to get timely administrative review that clearly is required by the Medicare statute.
The 黑料正能量 Association appreciates your introduction of S. 2942, legislation to establish a hospital fund to stand-up regional treatment centers for patients with Ebola or other specified infectious diseases.
We are truly dismayed to see that despite the numerous legal defects that we identified in these audits, the OIG has proceeded to issue at least four new audit reports using extrapolation in the last month that include many of the same flaws.