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26 Results Found

Public

House Letter from AHA, Other Organizations in Support of Conrad State 30 and Physician Access Reauthorization Act (H.R.1585)

AHA letter to the House leadership expressing support for the Conrad State 30 and Physician Access Reauthorization Act (H.R. 1585).
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Senate Letter from AHA, Other Organizations in Support of Conrad State 30 and Physician Access Reauthorization Act S.709

AHA expresses support the introduction of the Conrad State 30 and Physician Access Reauthorization Act (S. 709).
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AHA Comments to MedPAC on Rural Medicare Beneficiary Cost-sharing

February 28, 2025Michael Chernew, Ph.D.ChairmanMedicare Payment Advisory Commission425 I Street, NW, Suite 701Washington, D.C. 20001Dear Dr. Chernew: 
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AHA Comments on Senate Finance Committee Medicare-funded Physician Residency Draft Bill

AHA comments on draft Medicare graduate medical education (GME) reform package (KEL24743 MP2).
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AHA Comments on CMS Medicare Advantage, Part D Proposed Rule for Contract Year 2026

January 27, 2025Jeff WuActing AdministratorCenters for Medicare & Medicaid Services7500 Security BlvdBaltimore, MD 21244
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AHA Comments in Advance of MedPAC January 2025 Meeting

AHA Comments in advance of MedPAC January 2025 meeting.
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AHA Letter to CMS on Medicare Transaction Facilitator and Drug Negotiation Program

AHA shares feedback in response to the Centers for Medicare & Medicaid Services’ information collection request (ICR) regarding the Medicare Transaction Facilitator (MTF) and the Medicare drug negotiation program.
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AHA to MedPAC Re: Physician Fee Schedule Payments, A-APM Incentives and Medicare Advantage Network Adequacy

AHA comments regarding the Medicare Payment Advisory Commission (MedPAC) November meeting sessions related to physician fee schedule payments, advanced alternative payment model (A-APM) incentives and Medicare Advantage (MA) network adequacy.

AHA Comments to CMS on FY 2025 Wage Index Values

The AHA has long stated that while we appreciated CMS’ recognition of the wage index’s shortcomings, the agency should not have implemented this policy by penalizing all hospitals, especially when Medicare already pays far less than the cost of providing care. As such, if CMS does address payments under this policy in FYs 2020-2024, it should not seek a clawback of funds that hospitals received because of the agency’s mistakes and have long since spent on patient care.
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AHA, Others Urge Congress to Extend Medicare Advanced Alternative Payment Model in End-of-year Legislative Package

AHA, others urge congress to extend Medicare advanced alternative payment model in end-of-year legislative package.