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AHA Statement on Final 340B Administrative Dispute Resolution Process Rule From HHS

The Administration’s final rule for the 340B drug pricing program administrative dispute resolution (ADR) process is an important step in ensuring the integrity of the 340B program. The final rule contains several important process improvements, including a clear timeline for when ADR decisions must be made and an opportunity for reconsideration when parties are dissatisfied with the initial ADR decision.

AHA Statement on FY 2025 Proposed IPPS & LTCH Payment Rule

CMS’ proposed inpatient hospital payment update of 2.6% is woefully inadequate, especially following years of high inflation and rising costs for labor, drugs, and equipment. Many hospitals across the country, especially those in rural and underserved communities, continue to operate under unsustainable negative or break-even margins.

AHA Statement on The Lower Costs, More Transparency Act

While the AHA appreciates inclusion of a two-year delay on DSH cuts, we have been very clear regarding the harm that would be done to our nation’s hospitals if so-called site-neutral cuts to Medicare were adopted. We have strongly urged that those cuts be eliminated from this legislation.
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AHA Statement on CY 2024 OPPS Final Rule

The AHA is concerned that CMS has again finalized an inadequate update to hospital payments. Today's increase for outpatient hospitals of only 3.1% comes in spite of persistent financial headwinds facing the field.
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AHA Statement on Final 340B Remedy

Following years of litigation and a unanimous Supreme Court win, the AHA is very pleased that 340B hospitals finally will be reimbursed in full for what HHS unlawfully withheld from them for five years.

New AHA Ad Campaign Urges Congress to Protect Patients & Reject Cuts to Hospital Care

The American Hospital Association (AHA) is launching a new TV ad urging Congress to protect patient access to care by rejecting billions of dollars in reductions to hospital care. So-called site neutral policies could cause more hospitals to shut their doors, especially impacting patients from rural and low-income communities who could lose access to vital services like trauma and maternal care.

New Analysis Reaffirms Need to Maintain Current Law Banning Self-Referral to Physician-Owned Hospitals

Data from the health care consulting firm Dobson | Davanzo, released today by the Federation of American Hospitals (FAH) and the American Hospital Association (AHA), shows that physician-owned hospitals (POHs), when compared to other hospitals, treat less medically complex and more financially lucrative patients, provide fewer emergency services, and treat fewer COVID-19 cases.

AHA Statement on Proposed Rule on Minimum Staffing in Nursing Homes

The AHA strongly believes that a skilled, caring workforce is integral to delivery of high quality, safe care. At the same time, safe staffing is about much more than a number. We are concerned that in proposing a one-size-fits-all numerical staffing threshold, CMS would remove the role of clinical judgment in staffing facilities, and inadvertently create patient access challenges across the health care system.

AHA Statement on FY 2024 Final IPPS & LTCH Payment Rule

The AHA is deeply concerned with CMS’ woefully inadequate inpatient and long-term care hospital payment updates. The agency continues to finalize rate increases that are not commensurate with the near decades-high inflation and increased costs for labor, equipment, drugs and supplies that hospitals across the country are experiencing.

AHA Statement on CY 2024 OPPS Proposed Rule

The AHA is concerned that CMS is proposing an outpatient hospital payment update of only 2.8% in spite of persistent financial headwinds facing the hospital field. Most hospitals across the country continue to operate on negative or very thin margins that make providing care and investing in their workforce very challenging day to day.