Comment Letter

NADP Submits Comment Letter on Indiana SB 132

January 9, 2024

On January 8, 2024, Indiana Senators Liz Brown and Ed Charbonneau, who is chair of the Health and Provider Services Committee, introduced SB 132, which covers a host of topics…

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Gavel

NADP Testifies at Hearing and Prepares Joint Trades Comment Letter on Proposed MA DLR Rule

November 1, 2023

On Oct. 2, the Massachusetts Department of Insurance released a proposed rule for dental benefit plans. This content is an exclusive benefit for NADP members. If you’re a member of…

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Colorado: SB 23-179 Draft Rule and Stakeholder Meeting

September 15, 2023

NADP, in partnership with AHIP and ACLI, has submitted comments addressing the draft language proposed in Colorado allowing for the issuance of a virtual card, but not as a replacement…

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RE: SB 5066 “An Act Relating to clarifying that health care benefit managers must file contracts with health carriers with the office of the insurance commissioner” (Feb. 2023)

February 6, 2023

This content is an exclusive benefit for NADP members. If you’re a member of NADP, login, and you’ll get immediate access. If you are not yet a member of NADP,…

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NADP Comments on Proposed Amendment to NY Regulation 62 (October 2022)

October 3, 2022

NADP Comments on Proposed Amendment to NY Regulation 62

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NADP Comments to CMS Seeking Clarification to CY 2023 Physician Fee Schedule (Sept. 2022)

September 5, 2022

In a Sept. 5 comment letter to NADP r requested clarification from the Centers for Medicare and Medicaid regarding calendar year 2023 Physician Fee Schedule which includes medically necessary dental care in Medicare parts A and B.

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Comments to CMS: Health Reimbursement Arrangements (August 2020)

August 7, 2020

The National Association of Dental Plans appreciates the opportunity to comment on the proposed rule regarding “Certain Medical Care Agreements” (RIN 1545-BP31).

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NADP Comments to CMS: 2021 Exchange Notice of Benefit and Payment Parameters (March 2020)

March 2, 2020

The National Association of Dental Plans appreciates the opportunity to comment on the proposed rule regarding “Certain Medical Care Agreements” (RIN 1545-BP31).

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NADP Comments to CMS: Medicaid Fiscal Accountability Rule (MFAR) – (January 2020)

January 31, 2020

The National Association of Dental Plans (NADP) appreciates the opportunity to provide comments on the Proposed Rule: “Medicaid Program; Medicaid Fiscal Accountability Regulation” as issued in the Federal Register on November 18, 2019.

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NADP Comments on Dental in Medicare and H.R. 3 – (October 2019)

October 17, 2019

NADP Comments on Dental in Medicare and H.R. 3

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