Letter/Comment
The latest advocacy letters and comments from the ºÚÁÏÕýÄÜÁ¿ Association.
The AHA applauds the U.S. Department of Health and Human Services Office of Inspector General (HHS OIG) for your recently announced review of Medicare Advantage Organizations' Use of Prior Authorization for Post-Acute Care.
AHA urges CMS to consider whether adjustments are necessary in its approach to annual market basket updates to ensure that beneficiaries continue to have access to high-quality outpatient care. We also urge CMS to eliminate the productivity cut for CY 2025, as detailed below.
The AHA urges CMS to work with Congress to provide a Physician Fee Schedule payment increase for 2025 and to develop a long-term plan for sustainable physician payment.
AHA Requests Additional Funding for the Federal Emergency Management Agency’s Disaster Relief Fund
The ºÚÁÏÕýÄÜÁ¿ Association requests additional funding for the Federal Emergency Management Agency’s Disaster Relief Fund which provides support for authorized
federal disaster activities.
AHA letter regarding the Health Resources and Services Administration’s response to Johnson & Johnson’s (J&J) most recent attempt to undermine the 340B Drug Pricing Program.
The AHA provides comments to CMS on the calendar year 2025 Home Health prospective payment system proposed rule.
AHA comments on MedPAC topics to be considered in the new cycle: the 340B Drug Pricing Program, inpatient rehabilitation facility (IRF) payments, the physician fee schedule (PFS) and telehealth.
AHA's comments on CMS' proposed rule to mitigate the impact of significant, anomalous and highly suspect (SAHS) billing activity within the Medicare Shared Savings Program (MSSP) in calendar year (CY) 2023.
The ºÚÁÏÕýÄÜÁ¿ Association (AHA) expresses their opposition to H.R. 8574, the 340B Affording Care for Communities and Ensuring a Strong Safety-net (340B ACCESS) Act.
In CMS’s upcoming fiscal year (FY) 2025 IPPS final rule, the AHA urges CMS to maintain the uninsured rate at its proposed level of 8.7%. Doing so would provide critical stability for DSH hospitals that serve low-income, uninsured and historically marginalized populations.