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Achieving Excellence in Virtual Care: Standardizing High-Quality Care with Real-World Insights
ncqa.org/videos/achieving-excellence-in-virtual-care-standardizing-high-quality-care-with-real-world-insights/Virtual care promises to expand access and improve outcomes—yet too often, the reality falls short. In this session, NCQA and Firefly Health share practical lessons…
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State Webinar: Federal Rules, NCQA’s LTSS Standards and Measures Explained
ncqa.org/videos/state-webinar-federal-rules-ncqas-ltss-standards-and-measures-explained/An in-depth discussion on Long Term Supports and Services (LTSS), featuring the newly released NCQA Medicaid Managed Care Toolkit. This webinar covers key regulatory updates,…
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NCQA Comments on ASTP’s Draft USCDI+ Quality Dataset
ncqa.org/comment-letter/ncqa-comments-on-astps-draft-uscdi-quality-dataset/NCQA applauds ASTP’s efforts to develop comprehensive datasets to support quality use cases and we thank ASTP for including HEDIS data element needs in USCDI+ Quality.
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NCQA Comments on ASTP’s Health Data, Technology, and Interoperability Proposed Rule
ncqa.org/comment-letter/ncqa-comments-on-astps-health-data-technology-and-interoperability-proposed-rule/NCQA commends ASTP for its proposals to promote nationwide interoperable health data exchange and makes recommendations for further enhancement.
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NCQA Comments on ONC’s Draft USCDI+ Maternal Health Dataset
ncqa.org/comment-letter/ncqa-comments-on-oncs-draft-uscdi-maternal-health-dataset/NCQA is supportive of the included elements in the draft dataset to support maternal health services and outcomes and offers recommendations to improve its completeness and specificity.
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NCQA Comments on ONC’s USCDI Draft v5
ncqa.org/comment-letter/ncqa-comments-on-oncs-uscdi-draft-v5/NCQA is pleased to provide comments on the proposals and considerations outlined for USCDI version 5.
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NCQA Comments on ONC’s Draft USCDI+ Behavioral Health Dataset
ncqa.org/comment-letter/ncqa-comments-on-oncs-draft-uscdi-behavioral-health-dataset/NCQA believes it is critical to keep all USCDI+ datasets consistent and coordinated with each other to ensure alignment of efforts and successful use of the datasets. NCQA makes recommendations for the USCDI+ BH data elements, level of specificity and integration of elements related to physical health.
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NCQA Responds to CMS’s CY 2025 Medicare Advantage Advance Notice
ncqa.org/comment-letter/ncqa-responds-to-cmss-cy-2025-medicare-advantage-advance-notice/NCQA supports CMS’s proposed updates for the Star Ratings program and appreciates CMS’s continued efforts to promote measure alignment across programs and adopt measures that leverage electronic clinal data.
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NCQA Responds to CMS’s CY 2025 Medicare Advantage Policy and Technical Changes Proposed Rule
ncqa.org/comment-letter/ncqa-responds-to-cmss-cy-2025-medicare-advantage-policy-and-technical-changes-proposed-rule/NCQA commends CMS on their proposals to improve access to behavioral health and supplemental benefits and incorporate health equity components into plans’ utilization management operations. NCQA encourages CMS to finalize select D-SNP proposals and embed digital quality measures into quality ratings and payment programs.
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NCQA Comments on HHS’s Information Blocking Proposed Rule
ncqa.org/comment-letter/ncqa-comments-on-hhss-information-blocking-proposed-rule/NCQA supports HHS’s efforts to establish disincentives for Medicare providers engaging in information blocking, inform the public of those providers, and expand upon information blocking disincentives in the future.
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NCQA Comments on HHS Proposed Rule on Discrimination on the Basis of Disability
ncqa.org/comment-letter/ncqa-comments-on-hhs-proposed-rule-on-discrimination-on-the-basis-of-disability/NCQA supports efforts to advance health equity for those with disabilities.
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NCQA Comments on CMS’s CY 2024 Physician Fee Schedule Proposed Rule
ncqa.org/comment-letter/ncqa-comments-on-cmss-cy-2024-physician-fee-schedule-proposed-rule/NCQA highlights health equity, person-centered care, behavioral health care, and digital transformation in their comments on the CMS Physician Fee Schedule proposed rule.