CCEHI comments on Medicaid Quality Measure – New Medicaid Beneficiaries Using HCBS First
Center for Consumer Engagement in Health Innovation comments on Medicaid Quality Measure – New Medicaid Beneficiaries Using HCBS First.
CCEHI comments to CMS on Massachusetts Medicare-Medicaid Duals Demonstration 2.0
Center for Consumer Engagement in Health Innovation Comments to CMS on the Massachusetts Medicare-Medicaid Integration Demonstration: Duals Demonstration 2.0
CCEHI comments regarding the proposed Medicare Physician Fee Schedule for CY 2019
Center for Consumer Engagement in Health Innovation Comments to CMS regarding the proposed Medicare Physician Fee Schedule for Calendar Year 2019.
Community Catalyst Comments on the Addition of a Citizenship Question to the 2020 Census
Community Catalyst respectfully submits the following comments on the 2020 Census proposed information collection.
Comments to HHS Blueprint to Lower Drug Prices and Reduce Out-Of-Pocket Costs
Community Catalyst respectfully submits the following comments in response to the HHS Blueprint to Lower Drug Prices and reduce Out-Of-Pocket Costs.
CCEHI Comments to CMMI on Direct Provider Contracting
Center for Consumer Engagement in Health Innovation comments to CMMI in response to RFI on direct provider contracting.
Community Catalyst Comments on a Bipartisan Effort To Increase Health Care Price and Information Transparency to Empower Patients
Community Catalyst comments in response to the stakeholder letter regarding efforts by a bipartisan group of senators lead by Senator Cassidy to increase health care price and information transparency.
Community Catalyst Comment Letter to HHS on the 2019 Benefit and Payment Parameter Proposed Rule
Community Catalyst’s comments to the annual proposed changes to federal rules relating to the marketplaces and the Affordable Care Act’s insurance market reforms.
CCEHI Comments on Quality Measures for the PACE Program
Center for Consumer Engagement in Health Innovation Comments on Development, Implementation, and Maintenance of Quality Measures for the Programs of All-Inclusive Care for the Elderly (PACE)
CCEHI Comments in Response to RFI regarding CMMI's New Direction
Center for Consumer Engagement in Health Innovation comments in response to the request for information on the proposed new direction for the Center for Medicare & Medicaid Innovation
CCEHI and Children's Health Initiative Comments on RFI for Pediatric Alternative Payment Model Concepts.
Center for Consumer Engagement in Health Innovation and Children's Health Initiative joint comment letter on the Request for Information (RFI) on Pediatric Alternative Payment Model Concepts.
Non-Emergency Medical Transportation Sign-On Letter
Sign-on letter of organizations strongly urging the Energy and Commerce Committee to reject H.R. 1394, which removes the federal assurance of non-emergency medical transportation (NEMT) under Medicaid.
CCEHI Comments on CMS 2018 Call Letter
Center for Consumer Engagement in Health Innovation comments on the CMS 2018 Advance Notice and Call Letter for changes in Medicare Advantage plans.
CCEHI Comment Letter on PACE Innovation Act Request for Information
Center for Consumer Engagement in Health Innovation comments on the Programs of All-Inclusive Care for the Elderly (PACE) Innovation Act Request for Information (RFI).
CCEHI Response to HCBS RFI January 2017
Center for Consumer Engagement in Health Innovation comments to RFI: Federal Government Interventions to Ensure the Provision of Timely and Quality Home and Community Based Services.