Posts Tagged Comment letter

NCHA Comments on CMS Proposed Rule on Medicaid and CHIP Managed Care

NCHA submitted a comment letter on the Centers for Medicare & Medicaid Services’ (CMS) Medicaid and Children’s Health Insurance Plan (CHIP) Managed Care proposed rule. NCHA is pleased with CMS’s recognition of the critical nature of the use of pass-through payments as a mechanism

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NCHA Comments on CMS Medicaid and CHIP Managed Care Proposed Rule

NCHA submitted a comment letter on the Centers for Medicare & Medicaid Services’ (CMS) Medicaid and Children’s Health Insurance Plan (CHIP) Managed Care proposed rule. NCHA is pleased with CMS’s recognition of the critical nature of the use of pass-through payments as a mechanism

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NCHA Submits Comment Letter Addressing OPPS Proposed Rule

The North Carolina Healthcare Association (NCHA) submitted the attached comment letter addressing the Calendar Year 2019 hospital outpatient prospective payment system (OPPS) proposed rule on Monday, September 20, 2018. We focused our comments on the proposal to limit expansion of services in excepted

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NCHA Submits Comment Letter Responding to CMS’s RFI on Changes to Stark Law

On June 25, 2018, the Centers for Medicare & Medicaid Services (CMS) published a Request for Information (RFI) regarding the physician self-referral law, more commonly known as the Stark law. CMS published the RFI to further its efforts to remove unnecessary obstacles to

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NCHA submits comment letter to Secretary Cohen

On June 11, 2018, the North Carolina Healthcare Association (NCHA), submitted a comment letter to Secretary Cohen at the North Carolina Department of Health and Human Services addressing two recent concept papers entitled Supporting Provider Transition to Medicaid Managed Care and Prepaid Health

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