Letter/Comment
The latest advocacy letters and comments from the 黑料正能量 Association.
AHA voices support of the GOLD Card Act of 2023 (H.R. 4968).
AHA's comments on Energy and Commerce Committee Chair Rodgers鈥 drug shortages discussion draft.
AHA provides feedback on CMS' Episode Based Payment request for information.
The IRA, through the transferability provisions under Section 6418 and, in particular, the elective direct pay provisions of Section 6417, has provided new opportunities for the healthcare sector to engage in important clean energy initiatives.
The Drug Shortage Prevention Act would require manufacturers to notify the Food and Drug Administration (FDA) of increased demand of covered drugs. The AHA believes the requirement that manufacturers notify the FDA of increased demand for critical drugs will be an integral tool for shoring up the鈥
Pharmaceutical shortages and supply chain failures can have a devastating impact on patients. The RAPID Reserve Act would establish a program to improve supply chain resiliency for critical generic drug products, ensuring adequate supply is available even in the event of a shortage.
The Pharmaceutical Supply Chain Risk Assessment Act of 2023 would require a comprehensive risk assessment of the entire U.S. pharmaceutical supply chain. This overarching project will help provide critical information necessary to mitigate and prevent drug supply shortages.
Hospitals and health systems share concern about chronic and increasing drug shortages that have serious consequences for patient safety, quality of care and access to therapies. Addressing drug shortages is complex and costly to hospitals and health systems in terms of staff time and other鈥
AHA remains deeply concerned over the Centers for Medicare & Medicaid Services鈥 (CMS鈥) policies related to disproportionate share hospital payments in the agency鈥檚 final Inpatient Prospective Payment System rule for fiscal year (FY) 2024.
Model Letter to CMS on Remedy for the 340B-Acquired Drug Payment Policy for Calendar Years 2018鈥2022
HHS must not pursue any 鈥渂udget neutrality adjustment鈥 in the final rule. At the very least, it must pursue a far smaller one than the proposed $7.8 billion 鈥渁djustment.鈥