SHM Signs Onto MACRA Letter to CMS
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
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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
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 sends comments to CMS on their 2015 Physician Fee Schedule, in regards to reimbursing CPT codes for end of life care.
SHM sends comments to CMS on their 2015 Physician Fee Schedule, in regards to reimbursing CPT codes for end of life care.
Along with other organizations, SHM signs on to a letter voicing concerns on provisions of the Program Integrity to the Provider Enrollment Process proposed rule.
SHM sent comments to Medicare on their Measure Development Plan for MIPS and APM transition.
SHM comments on the quality improvement section of the proposed Common Rule changes from the Office for Human Resarch Protections (OHRP)
SHM sends a letter to the Senate Health, Education, Labor and Pensions Committee in support of Scott Gottlieb, MD as Commissioner of FDA.
SHM has submitted comments on the 2023 PFS Proposed Rule. SHM commented on various proposals including, but not limited to, telehealth, split (or shared) billing, code valuations, and the Quality