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NCQA Comments on CMS’s Advancing Interoperability and Improving Prior Authorization Processes proposed rule
ncqa.org/comment-letter/ncqa-comments-on-cmss-advancing-interoperability-and-improving-prior-authorization-processes-proposed-rule/NCQA applauds CMS’s efforts to improve the exchange of health information; supports digitizing prior authorization as an opportunity to improve both patient and provider experience.
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NCQA Comments on CMS RFI to Transition to All Digital Quality Measures (dQMs) by 2025
ncqa.org/comment-letter/ncqa-comments-on-cms-rfi-to-transition-to-all-digital-quality-measures-dqms-by-2025/NCQA is proud to share the following steps we have taken (and the steps we plan to take) to drive quality measurement toward a digital future—we believe many of these steps align closely with the vision described in the RFI and should contribute to CMS’s goal of fully digital reporting by 2025.
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NCQA Comments on CMS’s CY2026 Physician Fee Schedule
ncqa.org/comment-letter/ncqa-comments-on-cmss-cy2026-physician-fee-schedule/NCQA provides comments on wellness and prevention quality measures, chronic disease management and digital quality measurement.
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NCQA Comments on CMS’s 2026 Hospital Inpatient Prospective Payment System Proposed Rule
ncqa.org/comment-letter/ncqa-comments-on-cmss-2026-hospital-inpatient-prospective-payment-system-proposed-rule/NCQA provides comments on the following considerations outlined for digital quality measurement: FHIR eCQM conversion activities, data standardization, the eCQM reporting timeline and measure development and reporting tools.
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NCQA Responds to HHS Health Technology Ecosystem RFI
ncqa.org/comment-letter/ncqa-responds-to-hhs-health-technology-ecosystem-rfi/NCQA highlights digital quality measures, FHIR-based interoperability, and comprehensive data integration to advance digital health tools and improve patient outcomes.
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NCQA Comments on 2023 Medicaid Managed Care Proposed Rule
ncqa.org/comment-letter/ncqa-comments-on-2023-medicaid-managed-care-proposed-rule/NCQA supports CMS proposed rule to make it easier for states to leverage NCQA Health Plan Accreditation for non-duplication.
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NCQA Responds to CMS RFI: Episode-Based Payment Model
ncqa.org/comment-letter/ncqa-responds-to-cms-rfi-episode-based-payment-model/NCQA provides comments on the CMS RFI in the following areas: care delivery and incentive structure alignment; quality measures, interoperability and multi-payer alignment; and health equity.
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NCQA Comments on Medicaid Core Set Reporting
ncqa.org/comment-letter/ncqa-comments-on-medicaid-core-set-reporting/NCQA provides recommendations to CMS for how to evolve the Medicaid Core Set reporting requirements and promote improvements in quality and reductions in disparities across the country.
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NCQA Responds to CMS CY 2023 Physician Fee Schedule Proposed Rule
ncqa.org/comment-letter/ncqa-responds-to-cms-cy-2023-physician-fee-schedule-proposed-rule/The National Committee for Quality Assurance (NCQA) thanks you for the opportunity to provide feedback on the Physician Fee Schedule proposed rule.
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NCQA Comments on CMS’s 2023 Hospital Inpatient Prospective Payment System Proposed Rule
ncqa.org/comment-letter/ncqa-comments-on-cmss-2023-hospital-inpatient-prospective-payment-system-proposed-rule/NCQA is pleased to provide comments on CMS’s considerations for the future of digital quality measurement and principles for measuring health care disparities across CMS quality programs.
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NCQA Response to RFI ON Leveraging Technology for Chronic Disease Management
ncqa.org/comment-letter/ncqa-response-to-rfi-on-leveraging-technology-for-chronic-disease-management/NCQA describes how moving to digital quality can help leverage technology to improve chronic care management for older, underserved adults.
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NCQA Comments on ONC Health IT Strategic Plan
ncqa.org/comment-letter/ncqa-comments-on-onc-health-it-strategic-plan/NCQA supports this plan that will foster the interoperability and data governance needed for moving to digital quality measures (dQM).