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.
SHM comments on the Hospital Outpatient Prospective Payment System’s proposed changes to the 2-Midnight rule.
SHM signs onto letter to CMS, alongside coalition of 22 organizations, stating support for antibiotic stewardship provisions in the Hospital and Critical Access Hospital Conditions of
SHM submits comments on proposals in the 2019 Physician Fee Schedule and Quality Payment Program Proposed Rule.
SHM provides comments on proposals for changes to inpatient admission orders documentation requirements and hospital-level performance measures.
Along with other organizations, SHM signed onto a letter to CMS addressing proposed changes to E&M documentation.
SHM submitted comments to CMS surrounding the Medicare Access and CHIP Reauthorization Act (MACRA), that replaced the SGR and makes changes to physician payment.
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 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.