CCEHI and Children's Health Initiative Comments on RFI for Pediatric Alternative Payment Model Concepts.

Center for Consumer Engagement in Health Innovation and Children's Health Initiative joint comment letter on the Request for Information (RFI) on Pediatric Alternative Payment Model Concepts.

Non-Emergency Medical Transportation Sign-On Letter

Sign-on letter of organizations strongly urging the Energy and Commerce Committee to reject H.R. 1394, which removes the federal assurance of non-emergency medical transportation (NEMT) under Medicaid.

CCEHI Comments on CMS 2018 Call Letter

Center for Consumer Engagement in Health Innovation comments on the CMS 2018 Advance Notice and Call Letter for changes in Medicare Advantage plans.

CCEHI Comments on CMS 2018 Call Letter

Center for Consumer Engagement in Health Innovation comments on the CMS 2018 Advance Notice and Call Letter for changes in Medicare Advantage plans.

CCEHI Comment Letter on PACE Innovation Act Request for Information

Center for Consumer Engagement in Health Innovation comments on the Programs of All-Inclusive Care for the Elderly (PACE) Innovation Act Request for Information (RFI).

CCEHI Response to HCBS RFI January 2017

Center for Consumer Engagement in Health Innovation comments to RFI: Federal Government Interventions to Ensure the Provision of Timely and Quality Home and Community Based Services.

CCEHI Comment Letter on the Health Care Payment Learning & Action Network’s Draft White Paper on Primary Care Payment Models

Center for Consumer Engagement in Health Innovation comments on the Health Care Payment Learning & Action Network’s Draft White Paper on Primary Care Payment Models.

CCEHI Comment Letter on the State Innovation Model Concepts RFI

Center for Consumer Engagement in Health Innovation comments regarding the request for information on State Innovation Model Concepts.

CCEHI Comment Letter on the proposed new PACE program rule

Center for Consumer Engagement in Health Innovation comments on CMS's proposed rule on the Programs of All-Inclusive Care for the Elderly (PACE).

CCEHI Comment Letter on Medicaid Quality Measures

Center for Consumer Engagement in Health Innovation comments on the Medicaid Quality Measures Project Team’s measure specifications and justification for quality measures currently under development and testing.

CCEHI Comment Letter on Indiana Non-Emergency Medical Transportation waiver

Center for Consumer Engagement in Health Innovation comments on Indiana’s request to extend its Non-Emergency Medical Transportation waiver.

CCEHI Comments on the proposed Medicare Physician Fee Schedule for CY 2017

Center for Consumer Engagement in Health Innovation comment letter on the proposed Medicare Physician Fee Schedule for CY 2017.

CCEHI Comments on MassHealth 1115 Medicaid Demonstration Project Amendment and Extension Request

Center for Consumer Engagement in Health Innovation comment letter on MassHealth 1115 Medicaid Demonstration Project Amendment and Extension Request

CCEHI Comments on NQF Draft Report on Person and Family Centered Care

Center for Consumer Engagement in Health Innovation comments on the National Quality Forum (NQF) Draft Report on Person and Family Centered Care, 2015-2016, regarding the decision not to recommend endorsement of measure #2967.

CCEHI Comment Letter on Iowa NEMT Waiver

Center for Consumer Engagement in Health Innovation comments on Iowa’s request to extend its Non-Emergency Medical Transportation waiver as part of its §1115 waiver extension application.

CCEHI Comment Letter on 2016 draft report of the MAP Dual Eligible Beneficiaries Workgroup

Center for Consumer Engagement in Health Innovation comments on National Quality Forum 2016 draft report of the Measure Application Partnership Dual Eligible Beneficiaries Workgroup (MAP Workgroup).

CCEHI Comment Letter on National Quality Forum Third Interim Report on HCBS

Center for Consumer Engagement in Health Innovation comments on National Quality Forum third interim report: "Address Performance Measure Gaps in Home and Community-Based Services to Support Community Living: Priorities for Measure Development."

CCEHI Comment Letter on Medicare-Medicaid Plan Quality Rating and Performance Data Strategy Update

Center for Consumer Engagement in Health Innovation comments to the Medicare-Medicaid Plan (MMP) Quality Rating and Performance Data Strategy Update.

CCEHI Comment Letter on the Quality Payment Program

Center for Consumer Engagement in Health Innovation Comment Letter to CMS on the Quality Payment Program.

CCEHI comments on Draft 2017 National MMP Enrollment Guidance

Center for Consumer Engagement in Health Innovation Comment Spreadsheet on the Draft 2017 National Medicaid-Medicare Plan (MMP) Enrollment Guidance.

CCEHI Comment Letter on HCPLAN Performance Measurement White Paper

Center for Consumer Engagement in Health Innovation comment letter on the Healthcare Payment Learning & Action Network’s Draft White Paper, “Accelerating and Aligning Population-Based Payment Models: Performance Measurement”

Community Catalyst co-signed letter to CMS on proposed Medicare Part B drug coverage rule

Center for Consumer Engagement in Health Innovation comment sign-on letter to the Centers for Medicare and Medicaid Services on proposed rule to test value-driven payment and delivery system models for prescription drugs covered under Medicare Part B.

CCEHI HCPLAN Financial Benchmarking Comment Letter

Center for Consumer Engagement in Health Innovationcomment letter on the Healthcare Payment Learning & Action Network’s Draft White Paper, “Accelerating and Aligning Population-Based Payment Models: Financial Benchmarking.”

CCEHI HCPLAN Patient Attribution White Paper Comment Letter

Center for Consumer Engagement in Health Innovation comment letter on the Health Care Payment Learning & Action Network’s Draft White Paper, “Accelerating and Aligning Population-Based Payment Models: Patient Attribution.”

CCEHI Comments on CMS’ 2017 Advance Notice and Call Letter

The Center for Consumer Engagement in Health Innovation is pleased to submit these comments in support of two provisions contained in CMS’ 2017 Advance Notice and Call Letter.

Community Catalyst Comments on MACRA MDP

The Center for Consumer Engagement in Health Innovation at Community Catalyst respectfully submits the following comments to the Draft CMS Quality Measure Development Plan (MDP).

Comments on the Virginia Department of Medical Assistance Services Proposed §1115 Unified Waiver

Community Catalyst respectfully submits the following comments regarding the Commonwealth of Virginia’s application for a §1115 Demonstration Waiver.

Letter to the Senate Finance Committee's Chronic Care Working Group

The Center for Consumer Engagement in Health Innovation at Community Catalyst respectfully submits the following comments to the Chronic Care Working Group’s Policy Options Document.

Comments on the second interim report of the National Quality Forum HCBS Measure Gap Project

Center for Consumer Engagement in Health Innovation comment letter to the National Quality Forum in response to second interim report "Addressing Performance Measure Gaps in Home and Community-Based Services - Synthesis of Evidence and Environment Scan."

Comments on Medicare and Medicaid Programs; Revisions to Requirements for Discharge Planning for Hospitals, Critical Access Hospitals, and Home Health Agencies (CMS-3317-P)

Community Catalyst respectfully submits comments on Medicare and Medicaid Programs; Revisions to Requirements for Discharge Planning for Hospitals, Critical Access Hospitals, and Home Health Agencies (CMS-3317-P)