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  1. NCQA supports ACL’s Strategic Framework for Action

    Last modified 09.22.2020
    ncqa.org/comment-letter/ncqa-supports-acls-strategic-framework-for-action/

    NCQA strongly supports ACL guidance, including best practices for states to use in integrating services and improving outcomes for older adults and people with disabilities.

  2. NCQA Comments on CMS Interim Final COVID Rule

    Last modified 06.03.2020
    ncqa.org/comment-letter/ncqa-comments-on-cms-interim-final-covid-rule/

    NCQA strongly supports regulatory changes to expand telehealth and believes many should remain after this crisis ends. It also is critical to maintain the quality reporting and feedback infrastructure and assess the pandemics impact on quality.

  3. NCQA Comments on CMS Maternal and Infant Health Care in Rural Communities RFI

    Last modified 05.31.2020
    ncqa.org/comment-letter/ncqa-comments-on-cms-maternal-and-infant-health-care-in-rural-communities-rfi/

    NCQA identifies important quality measures and other steps to improve the quality of rural maternal and infant health care.

  4. NCQA Supports CDC's Adapting Clinical Guidelines for the Digital Age Initiative

    Last modified 05.19.2020
    ncqa.org/comment-letter/ncqa-supports-cdcs-adapting-clinical-guidelines-for-the-digital-age-initiative/

    NCQA support's the CDC's Adapting Clinical Guidelines for the Digital Age initiative to speed the advance of new clinical evidence to its implementation in practice.

  5. NCQA Comments on Patients over Paperwork

    Last modified 01.09.2020
    ncqa.org/comment-letter/ncqa-comments-on-patients-over-paperwork/

    NCQA urges CMS to increase bonuses points for electronic reporting to support the move to digital quality measurement.

  6. NCQA Comments on External Quality Review Protocols of Managed Care Organizations

    Last modified 01.09.2020
    ncqa.org/comment-letter/ncqa-comments-on-external-quality-review-protocols-of-managed-care-organizations/

    NCQA supports the addition of non-duplication language for mandatory EQR-related activities to reduce burden on managed care plans and states.

  7. NCQA Comments on Medicare Advantage 2020 Call Letter

    Last modified 03.01.2019
    ncqa.org/comment-letter/ncqa-comments-on-medicare-advantage-2020-call-letter/

    NCQA urges CMS to provide maximum flexibility on new supplemental benefits for the chronically ill that are not primarily health related.

  8. NCQA Response to CMS RFI on Accreditor Conflicts of Interest

    Last modified 02.20.2019
    ncqa.org/comment-letter/ncqa-response-to-cms-rfi-on-accreditor-conflicts-of-interest/

    NCQA describes our policies and procedures for preventing conflicts of interest in our health plan accreditation program.

  9. NCQA Comments on Medicaid Managed Care Proposed Rule

    Last modified 01.15.2019
    ncqa.org/comment-letter/ncqa-comments-on-medicaid-managed-care-proposed-rule/

    NCQA supports harmonizing Medicaid rules with those for Medicare and Marketplace plans, but does not believe states should apply private accreditor standards.

  10. NCQA Comments on MACRA Measure Development Plan

    Last modified 01.15.2019
    ncqa.org/comment-letter/ncqa-comments-on-macra-measure-development-plan/

    NCQA supports CMS' plans for building a patient-centered measure portfolio prioritizing disparities, patient-centered measurement and patient-reported outcomes.

  11. NCQA Comments on Proposed Star Ratings System for Duals

    Last modified 01.15.2019
    ncqa.org/comment-letter/ncqa-comments-on-proposed-star-ratings-system-for-duals/

    NCQA provides feedback on CMS' effort to develop a star rating system for Financial Alignment Initiative Medicare-Medicaid Plans.