SHM Submits Comments to CMS on OPPS Proposed Rule
SHM submitted comments regarding the pain management questions in the HCAHPS survey to Medicare in the Outpatient Prospective Payment System (OPPS) proposed rule.
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SHM submitted comments regarding the pain management questions in the HCAHPS survey to Medicare in the Outpatient Prospective Payment System (OPPS) proposed rule.
With the upcoming release of the proposed rule regarding implementation of the Medicare Access and CHIP Reauthorization Act (MACRA), we are writing to ensure that activities in the private sector
We write to you as leading participants in the prescription drug supply chain – i.e., manufacturers, distributors, payers, physicians, pharmacies, testing laboratories, treatment providers – as
Along with other organizations, SHM signs onto letter in support of voluntary advance care planning.
Along with other organizations, SHM signs onto a letter to CMS supporting antibiotic stewardship requirements for long term care facilities (LTCFs) in order to participate in Medicare programs.
SHM, along with other organizations, signs letter of support for the Protect Continuing Physical Education and Patient Care Act, H.R. 293
SHM sends support letter to Senators Cassidy and Whitehouse for their bill, the TRUST IT Act.
SHM opposes CMS’ proposal to eliminate BPCIA’s Physician Group Practice (PGP) offset, which makes it possible for independent hospitalist groups to participate in the bundled payment model
SHM joins the Friends of AHRQ coalition in support of full funding of the agency for fiscal year 2025.
SHM emphatically supports the reintroduction, and the passage, of the Conrad State 30 and Physician Access Reauthorization Act (S. 709/H.R. 1585). This bill would reauthorize and expand the