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AHA Comments on Inpatient Psychiatric Facility FY 2025 Proposed Payment Rule
While we are grateful for the chance to provide feedback on the revisions to the IPF PPS as well as the development of an IPF patient assessment instrument (PAI), we urge CMS to proceed on the latter with more caution and less haste. We are concerned that CMS’ proposed market basket update is inadequate to ensure continued support of the vital services IPFs provide to their communities.