HFMA Comments on CMS’s FY17 IPPS Proposed Rule (CMS 1665-P)
HFMA submitted a comment letter to CMS on the FY17 Medicare Program Proposed Rule published in the April 27, 2016, Federal Register.
HFMA’s P&P Board Comments on GASB’s Proposed Statement on Leases
HFMA has a long-standing recommendation to GASB to avoid differences between private-sector and public-sector standards that cannot be justified by fundamental differences between the two sectors.
HFMA Comments on CMS’s Part B Drug Payment Model Proposed Rule
This document contains HFMA's comments to CMS on the proposed changes to Medicare’s reimbursement methodology for separately payable Part B drugs.
HFMA Comments on CMS’s Proposed Changes to the Medicare Shared Savings Program
HFMA submitted a comment letter to CMS on the proposed changes to the Medicare Shared Savings Program (MSSP) benchmarking and trending methodologies published in the February 3, 2016, Federal Register.
HFMA Comments on Medicare Program IPPS 0.2 Percent Reduction
HFMA comments on the assumptions CMS used to justify cutting payments to hospitals under the IPPS by .2% as outlined in Medicare Program: Inpatient Prospective Payment Systems; 0.2 Percent Reduction.
HFMA Comments on the CMS Discharge Planning Proposed Rule
HFMA comments on the CMS proposed rule on Medicare and Medicaid Programs: Revisions to Requirements for Discharge Planning for Hospitals, Critical Access Hospitals, and Home Health Agencies.
HFMA Comments on GASB’s Proposed Blending Requirements for Component Units
HFMA’s P&P Board encouraged the GASB to allow the optional single or multiple-column approach in Statement 61 for blending component units applied to all component units of business-type activities.
HFMA Comments on the HRSA 340B Drug Pricing Program Omnibus Guidance
The 340B program stretches resources for care to indigent and at-risk populations. Without this program, these individuals would find more difficulty in finding ready access to care and medications.
HFMA Comments on CMS’s CY16 Physician Fee Schedule Proposed Rule
HFMA comments on the 2016 Medicare Program; revisions to payment policies (including advance care planning) under the physician fee schedule for CY 2016.
HFMA Comments on CMS’s CCJR Payment Model Proposed Rule
HFMA comments on CMS’s proposed rule for Comprehensive Care for Joint Replacement (CCJR) Payment Model for Acute Care Hospitals Furnishing Lower Extremity Joint Replacement Services.