Advocacy Updates

NADP Letter to Senators Alexander and Murray Regarding policy approaches to stabilize the individual insurance market (August 2017)

August 10, 2017

NADP Letter to Senators Alexander and Murray Regarding policy approaches to stabilize the individual insurance market (August 2017)

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State and Federal Marketplace Applications 2017

August 5, 2017

Plan Selections on Exchanges in 2017

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NADP Comments to CMS Responding to Request for Information on Improving Healthcare Choice (July 2017)

July 12, 2017

NADP Comments to CMS Responding to Request for Information on Improving Healthcare Choice (July 2017)

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Joint Letter to Congress Supporting CHIP (June 2017)

June 12, 2017

As leading national, state, tribal, and local organizations concerned about the health and well-being
of America’s children and pregnant women, we are writing to urge you to turn your attention as
quickly as possible to enacting a long-term funding extension of the Children’s Health Insurance
Program (CHIP). CHIP funding is currently set to expire on September 30, 2017.

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NADP Infographic: State Interpretations of Reasonable Assurance (June 2017)

June 1, 2017

NADP Infographic: State Interpretations of Reasonable Assurance (June 2017)

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NADP Letter to CMS Responding to Medicare Advantage Request for Information (April 2017)

April 24, 2017

NADP Letter to CMS Responding to Medicare Advantage Request for Information (April 2017)

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NADP Letter to Maine Joint Standing Committee on Insurance and Financial Services Opposing LD 900 on non-covered services and balance billing (March 2017)

March 27, 2017

NADP Letter to Maine Joint Standing Committee on Insurance and Financial Services Opposing LD 900 on non-covered services and balance billing (March 2017)

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NADP Infographic and Map: State and Federal Marketplace Applications (March 2017)

March 12, 2017

NADP Infographic and Map: State and Federal Marketplace Applications (March 2017)

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NADP Comments to CMS Regarding Proposed Rule on Market Stabilization (March 2017)

March 7, 2017

The National Association of Dental Plans (NADP) appreciates the opportunity to provide
comments on the proposed rule, “Patient Protection and Affordable Care Act; Market
Stabilization,” published in the Federal Register on February 17, 2017. NADP appreciates the
goal of this regulation “to stabilize the Marketplace, provide more flexibility to states and
insurers, and give patients access to more coverage options”1 and we look forward to working
with CMS to ensure similar outcomes for the dental benefits offered on Exchanges.

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CCIIO Guidance for Marketplace Issuers Regarding Stand-alone Dental Plan Intent to Offer in FFM States (March 2017)

March 7, 2017

CCIIO Guidance for Marketplace Issuers Regarding Stand-alone Dental Plan Intent to Offer in FFM States (March 2017)

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