regulations
MHPA Sends Letter to Biden/Harris Transition Team
MHPA’s letter requests action on several legislative and regulatory priorities in 2021 for the new Administration. Read Letter
Read MoreAgency Sub-Regulatory Guidance
Joint Trade Association Letter To CMS On Medicaid Managed Care Issues and Priorities CMMI RFI on Directed Provider Contracting Models MHPA Response to RFI on Inappropriate Steering
Read MoreMHPA Comments on Inadmissibility on Public Charge Grounds MHPA Comments of Title X MHPA Comments on Drug Pricing RFI MHPA Comments on the Proposed PACE Rule MHPA’s Position on the Medicaid Managed Care Final Rule MHPA Comments on MACRA Final Rule MHPA Response to Supp. Payments NPRM MHPA’s comments on Medicare Program; Contract Year 2019…
Read MoreMHPA Comments to CMS–9115–P; Medicare and Medicaid Programs; Patient Protection and Affordable Care Act; Interoperability and Patient Access for Medicare Advantage Organization and Medicaid Managed Care Plans, State Medicaid Agencies, CHIP Agencies and CHIP Managed Care Entities, Issuers of Qualified Health Plans in the Federally-Facilitated Exchanges and Health Care Providers; Comments to RIN 0955–AA01; 21st…
Read MoreResources
Final Interoperability Rules – Major Provisions & Comment Responses (side-by-side comparison) Reference Guide to Federal Medicaid Statute and Regulations (MACPAC)
Read MoreNotice of Proposed Rule Making (NPRM)
Response Letter to the HHS Secretary and CMS Administrator on Coordinating Care From Out-of-State Providers for Medicaid-Eligible Children With Medically Complex. RIN 0938–ZB57 – Request for Information – Coordinating Care From Out-of-State Providers for Medicaid-Eligible Children With Medically Complex Conditions [CMS–2324–NC] MHPA Comments to Medicaid Fiscal Accountability Proposed Regulation; Federal Register, Vol. 84, No. 222,…
Read MoreOther Letters
Letter to CMS on COVID-19
Read MoreLetter to CMCS, Use of Underwriting Gain Assumption Models & Suggested Additions to 2020-2021 Medicaid Managed Care Rate Setting Development Guide.
Read MoreConcerned over the limited timeframe available for stakeholders to offer meaningful comments before the mid-January deadline, MHPA sent its own letter to CMS asking for an extension to the comment period given the complexity of these #Medicaid reg proposals can have on beneficiaries and the current healthcare delivery system.Read the letter here.
Read MoreMHPA joined with the Partnership for Medicaid to request CMS extend the Medicaid fiscal accountability NPRM comment period for 60 days, time necessary to offer more meaningful comments and to fully assess the impact that these changes will have on the Medicaid Program & state budgets.Read letter here
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