Federal

NADP Comments to CCIIO: Regarding Proposed Essential Health Benefit Benchmarks for Plan Year 2017 (September 2015)

September 30, 2015

NADP Comments to CCIIO: Regarding Proposed Essential Health Benefit Benchmarks for Plan Year 2017 (September 2015)

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NADP Comments to CMS: Regarding Essential Community Provider Data Collection To Support PY 2017 QHP Certification (August 2015)

August 4, 2015

NADP Comments to CMS: Regarding Essential Community Provider Data Collection To Support PY 2017 QHP Certification (August 2015)

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NADP Comments to the Centers for Medicare & Medicaid Services: Responding to Proposed Rules regarding Medicaid and Children’s Health Insurance Program (CHIP) Programs (July 2015)

July 27, 2015

CMS-2390-P and Medicaid and Children’s Health Insurance Program (CHIP)
Programs

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NADP Comments to the Centers for Medicare & Medicaid Services: Responding to Proposed Rules regarding Medicaid and Children’s Health Insurance Program (CHIP) Programs (July 2015)

July 27, 2015

NADP appreciates the opportunity to provide comments on the proposed rule CMS-
2390-P regarding “Medicaid Managed Care, CHIP Delivered in Managed Care, Medicaid
and CHIP Comprehensive Quality Strategies, and Revisions related to Third Party
Liability,” published by the Centers for Medicare & Medicaid Services (CMS) in the
Federal Register on June 1, 2015.

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NADP Comments to the Centers for Medicare & Medicaid Services Responding to Proposed Rules regarding Medicaid and Children’s Health Insurance Program (CHIP) Programs (July 2015)

July 27, 2015

NADP Comments to the Centers for Medicare & Medicaid Services Responding to Proposed Rules regarding Medicaid and Children’s Health Insurance Program (CHIP) Programs (July 2015)

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NADP 2nd Comments to CMS: Regarding Submission of Machine-Readable Data (see 5.29.15 for 1st comments) (July 2015)

July 27, 2015

NADP 2nd Comments to CMS: Regarding Submission of Machine-Readable Data (see 5.29.15 for 1st comments) (July 2015)

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NADP Comments to CMS regarding the Health Plan Identifier (July 2015)

July 24, 2015

The National Association of Dental Plans (NADP) appreciates
the invitation to comment on the use of the HPID in Health
Insurance Portability and Accountability Act (HIPAA)
transactions in conjunction with the Payer ID.

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NADP Comments to the U.S. Department of Labor: Requesting exemption of dental plans within the proposed Fiduciary Rule (July 2015)

July 21, 2015

The National Association of Dental Plans (NADP) appreciates the opportunity to provide
comments on the Definition of the Term “Fiduciary”; Conflict of Interest Rule‐Retirement
Investment Advice proposed rule (Rule) as offered in the April 20, 2015 Federal Register.
NADP is the largest non‐profit, national trade association focused exclusively on the
entire dental benefits industry, including dental HMOs, dental PPOs, discount dental
plans and dental indemnity products. Our mission is to promote and advance the dental
benefits industry to improve consumer access to affordable, quality dental care. NADP
members include major commercial carriers, regional and single state companies, as well
as companies organized as non‐profit organizations.

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NADP Comments to the U.S. Department of Labor Requesting exemption of dental plans within the proposed Fiduciary Rule (July 2015)

July 21, 2015

NADP Comments to the U.S. Department of Labor Requesting exemption of dental plans within the proposed Fiduciary Rule (July 2015)

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NADP Comments to CMS: Advocating Dental Transparency Within New Consumer OOP Calculator (July 2015)

June 29, 2015

The National Association of Dental Plans (NADP) is providing feedback to the CMS Bulletin
on “Proposed Out‐Of‐Pocket (OOP) Cost Comparison Tool for the Federally‐facilitated
Marketplaces (FFM),” released on May 29, 2015.

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