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NCQA Comments on OMB’s Initial Proposals for Updating Race and Ethnicity Standards
ncqa.org/comment-letter/ncqa-comments-on-ombs-initial-proposals-for-updating-race-and-ethnicity-standards/NCQA supports the expansion of race and ethnicity categories and encourages OMB to provide guidance on implementation to ensure data are meaningful and usable.
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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 Responds to the Senate HELP Committee's PREVENT Pandemics Act Discussion
ncqa.org/comment-letter/ncqa-responds-to-the-senate-help-committees-prevent-pandemics-act-discussion/NCQA urges Congress to modernize exchange of electronic health information to prepare for future pandemics
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NCQA Comments on Medicare Advantage
ncqa.org/comment-letter/ncqa-comments-on-medicare-advantage/The National Committee for Quality Assurance shares recommendations with CMS on how to advance health equity, expand access in coverage and care, and drive innovation to promote person-centered care.
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NCQA Comments on ASTP’s USCDI Draft v6
ncqa.org/comment-letter/ncqa-comments-on-astps-uscdi-draft-v6/NCQA provides recommendations for additions and modifications to USCDI version 6.
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NCQA Comments on CMS’s CY 2025 Physician Fee Schedule Proposed Rule
ncqa.org/comment-letter/ncqa-comments-on-cmss-cy-2025-physician-fee-schedule-proposed-rule/NCQA applauds CMS for its proposals to increase access to quality, coordinated care and urges CMS to continue supporting the transition to digital quality measurement.
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NCQA comments on ONC’s Health Equity by Design concept paper
ncqa.org/comment-letter/ncqa-comments-on-oncs-health-equity-by-design-concept-paper/NCQA is encouraged by the ONC’s proposed approach for Health Equity by Design; suggests some guiding principles to inform the framework.
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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 Comments on ASTP’s USCDI Draft v6
ncqa.org/comment-letter/ncqa-comments-on-astps-uscdi-draft-v6-2/NCQA is pleased to provide comments on the proposals and considerations outlined for USCDI draft v6.
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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.