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AHA Expresses Support of H.R. 6082, the Overdose Prevention and Patient Safety Act
AHA letter to the House expressing support of H.R. 6082, the Overdose Prevention and Patient Safety (OPPS) Act, which would align 42 CFR Part 2 with the Health Insurance Portability and Accountability Act (HIPAA) for the purposes of treatment, payment and health care operations.
Template letter to National Government Services re: 340B Claims Submission During Challenge
Dear National Government Services:
Template letter to Noridian Healthcare Solutions re: 340B Claims Submission During Challenge
Dear Noridian Healthcare Solutions:
Additional Guidance on 340B Claims Submission During Challenge to 2018 OPPS Rule
The information below supplements the March 29, 2018 memorandum AHA’s outside counsel prepared regarding 340B claims submission during the legal challenge to the 2018 outpatient prospective payment
CMS Urged to Expand Start Date Options for New Bundled Payment Model
On behalf of our nearly 5,000 member hospitals, health systems and other health care organizations, and our clinician partners – including more than 270,000 affiliated physicians, 2 million nurses
AHA, Hospitals brief outlining non-deadline remedies to address appeals backlog
AHA, Hospitals brief outlining non-deadline remedies to address appeals backlog
AHA to CMS Re: Hospital Inpatient Prospective Payment System Proposed Rule for FY 2019
AHA comments on the Centers for Medicare & Medicaid Services’ hospital inpatient prospective payment system proposed rule for fiscal year 2019.
Be the Change: Allina Health’s Effort to Eliminate Stigma around Mental Health and Addiction Conditions
Held July 17
PRE-EVENT READING
Please join Paul Goering, M.D., Vice President – Clinical Care, Mental He
AHA Comments on the CMS’ FY 2019 Proposed Rule For the Long-Term Care Hospital PPS
The AHA supports several of the proposed rule’s provisions. In particular, we appreciate and endorse the agency’s proposal to permanently withdraw the 25% Rule; however, we have substantial concerns with the associated budget neutrality adjustment proposed by CMS. We also support the proposed changes related to co-located facilities, and the streamlining of the LTCH quality reporting program. In addition, this letter reiterates our concerns related to underpayment for site-neutral cases.
Behavioral Health Update: May 2018 Cover
This edition covers an advocacy update, resources for Mental Health Awareness month, and more.