NAMD Comments on Substance Use Disorder Privacy Supplemental Rule

This NAMD letter responds to a supplemental proposed rule from the Substance Abuse and Mental Health Services Administration on the privacy requirements for substance use disorder (SUD) information (42 CFR Part 2). The letter underscores that separate privacy requirements for SUD information continue to prevent high quality, coordinated care for beneficiaries. It also makes recommendations aimed at ensuring the rule does not hinder appropriate and necessary Medicaid operations.

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