NAMD Recommends Extended Implementation Timeline for Proposed Interoperability Rule
On June 3, 2019, NAMD submitted comments to the Centers for Medicare and Medicaid Services (CMS) on a proposed rule that would promote interoperability across health information technology platforms.
In this letter, NAMD expressed concern that the timelines and operational aspects of implementing the interoperability rule would pose significant challenges for states. NAMD recommended at least two years, and preferably five years, of implementation time after final publication of the rule to ensure success.
NAMD Comments on Proposed Rule that Would Align 42 CFR Part 2 with HIPAA
NAMD Submits Comments on Congressional Request for Information on Dually Eligible Members
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