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Comment LetterNCQA 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.
Comment LetterNCQA Responds to CMS’s 2023 Medicare Advantage Advance Notice
ncqa.org/comment-letter/ncqa-responds-to-cmss-2023-medicare-advantage-advance-notice/NCQA provides CMS feedback on promoting electronic clinical data for quality reporting for Star Ratings
Comment LetterNCQA 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
Comment LetterNCQA 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.
Comment LetterNCQA Comments on CMS Proposed Prior Authorization Rule
ncqa.org/comment-letter/ncqa-comments-on-cms-proposed-prior-authorization-rule/NCQA supports proposals to streamline prior authorization, electronic data sharing, and standards for electronic exchange of social risk data.
Comment LetterNCQA supports ACL’s Strategic Framework for Action
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.
Comment LetterNCQA Comments on CMS Interim Final COVID Rule
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.
Comment LetterNCQA Comments on CMS Opioid Action Plan
ncqa.org/comment-letter/ncqa-comments-on-cms-opioid-action-plan/NCQA urges support for non-opioid pain management, evidence-based treatment and expanded access to care.
Comment LetterNCQA Comments on National Vaccine Plan
ncqa.org/comment-letter/ncqa-comments-on-national-vaccine-plan/NCQA urges data standardization and validation and encouraging increased immunization information systems reporting
Comment LetterNCQA Comments on Proposed 2020 MACRA Rule
ncqa.org/comment-letter/ncqa-comments-on-proposed-2020-macra-rule/NCQA supports the move to smaller sets of specialty-specific, outcome-based and population health measures in the Merit-based Incentive Payment System (MIPS).
Comment LetterNCQA Comments on Proposed Rule for Inpatient and Long-term Care Hospitals
ncqa.org/comment-letter/ncqa-comments-on-proposed-rule-for-inpatient-and-long-term-care-hospitals/NCQA supports requiring EHR certification for electronic clinical quality measures and urges CMS to use our certification program that is the most rigorous.
Comment LetterNCQA Comments on CMS Proposed Rule for Improving Interoperability and Patient Access
ncqa.org/comment-letter/ncqa-comments-on-cms-proposed-rule-for-improving-interoperability-and-patient-access/NCQA supports CMS proposed rule to stop data blocking and improve interoperability and patient access.