State
The National Association of Dental Plans (NADP) is responding with written comments to the
Washington Office of the Insurance Commissioner’s (OIC) stakeholder draft rules on adjusting
rate and form filing procedures and implementation of Senate Bill (SB) 5023.
NADP Letter to WA Office of the Insurance Commissioner Regarding draft rules on adjusting rate and form filing procedures and implementation of SB 5023 (November 2015)
Read MoreThe National Association of Dental Plans (NADP) is concerned with the Provider Network
Adequacy Regulations as currently drafted. On September 25, the California Department of
Insurance (CDI) released draft regulations making the emergency regulations released on
January 30, 2015 permanent. The draft regulation also expanded and clarified “regulations to
update the implementation of the provider network adequacy framework.”
NADP Comments to the CA Department of Insurance Responding to Proposed Provider Network Regulations (November 2015)
Read MoreNADP Comments to OH Department of Insurance Responding to Draft Rules regarding Provider Network Disclosures (May 2015)
Read MoreNADP Letter to Massachusetts Exchange: Regarding Carrier Request for Responses and Quality Improvement Strategy (May 2015)
Read MoreNADP Press Release Urging Limit on TX Dental Board’s Rulemaking re Dental Support Organizations and Patient Access (May 2015)
Read MoreNADP Update and Infographic: State Interpretations of Reasonable Assurance (May 2015)
Read MoreNADP Comments to TX House Committee on Public Health Supporting HB 2330 regarding dental office support services (April 2015)
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NADP Comments to Massachusetts Jt Committee on Financial Services Opposition to MA HB 951 (January 2016)
NADP Comments to Massachusetts Jt Committee on Financial Services Opposition to MA HB 951 (January 2016)
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