Letter/Comment

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

AHA expresses support for the Improving Seniors鈥 Timely Access to Care Act.
AHA comment letter on the CMS鈥 fiscal year 2025 LTCH prospective payment system (PPS) proposed rule.
AHA thanks the Senate Committee on Finance for the opportunity to comment on its draft legislation, the 鈥淒rug Shortage Prevention and Mitigation Act.鈥
AHA comments on the CMS;s hospital inpatient prospective payment system (PPS) proposed rule for fiscal year (FY) 2025.
AHA expresses strong support for the 340B program and urges Congress to protect this critical program as it has done for more than three decades.
Timely and accurate information on Medicare Advantage plan performance and compliance with existing CMS regulations is critical to ensuring that those enrolled in MA plans are not unfairly subjected to more restrictive rules and requirements than Traditional Medicare, which are contrary to the鈥
While we are grateful for the chance to provide feedback on the revisions to the IPF PPS as well as the development of an IPF patient assessment instrument (PAI), we urge CMS to proceed on the latter with more caution and less haste. We are concerned that CMS鈥 proposed market basket update is鈥
May 24, 2024The Honorable Chiquita Brooks-LaSureAdministratorCenters for Medicare & Medicaid ServicesDepartment of Health and Human ServicesAttention: CMS-1804-PP.O. Box 8016Baltimore, MD 21244鈥8016.Re: Medicare Program; Inpatient Rehabilitation Facility Prospective Payment System for Federal鈥