State
The National Association of Dental Plans (NADP) is concerned with the New York State
Department of Financial Services’ (DFS) proposed regulation – 23 NYCRR 500 Cybersecurity
Requirements for Financial Services Companies (regulation).
NADP Comments to New York Department of Financial Services Regarding Proposed Cybersecurity Requirements 23 NYCRR 500 (November 2016)
Read MoreNADP Letter to the Massachusetts Health Connector Regarding the Offer of Dental Benefits and Exchange-Certification (June 2016)
Read MoreNADP Comments to the Texas Sunset Commission Regarding Dental Support Organizations and the Staff Report on the State Board of Dental Examiners (June 2016)
Read MoreNADP Comments to Georgia Office of Insurance and Safety Fire Commissioner Regarding implementation of SB 302 on provider directories (May 2016)
Read MoreNADP Comments to South Carolina Department of Consumer Affairs Regarding Discount Medical Plan Organization Proposed Regulation (April 2016)
Read MoreNADP Comments to Ohio Senate Insurance Committee Opposing non-covered services legislation HB 95 (April 2016)
Read MoreThe National Association of Dental Plans (NADP) is concerned with the timeline required
by the checklist for implementing SB 137.
NADP Comments to California Department of Managed Health Care Regarding a checklist for implementation of SB 137 on provider directories (March 2016)
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NADP Comments to Washington Senate Health Care Committee Supporting SB 5158 regarding Dental Service Organizations (January 2017)
NADP Comments to Washington Senate Health Care Committee Supporting SB 5158 regarding Dental Service Organizations (January 2017)
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