Comment Letter
NADP Comments to the CA Department of Insurance Responding to Proposed Provider Network Regulations (November 2015)
Read MoreNADP Comments to HHS: Regarding Nondiscrimination in Health Programs and Activities Proposed Rule (November 2015)
Read MoreNADP DDPA AHIP Letter to CCIIO: Urging Correction of the Dental Icon on the FFMs (October 2015)
Read MoreNADP Comments to CCIIO: Regarding Proposed Transparency in Coverage Requirements (October 2015)
Read MoreNADP Comments to CCIIO: Regarding Proposed Essential Health Benefit Benchmarks for Plan Year 2017 (September 2015)
Read MoreNADP Comments to CMS: Regarding Essential Community Provider Data Collection To Support PY 2017 QHP Certification (August 2015)
Read MoreCMS-2390-P and Medicaid and Children’s Health Insurance Program (CHIP)
Programs
NADP appreciates the opportunity to provide comments on the proposed rule CMS-
2390-P regarding “Medicaid Managed Care, CHIP Delivered in Managed Care, Medicaid
and CHIP Comprehensive Quality Strategies, and Revisions related to Third Party
Liability,” published by the Centers for Medicare & Medicaid Services (CMS) in the
Federal Register on June 1, 2015.
NADP Comments to the Centers for Medicare & Medicaid Services Responding to Proposed Rules regarding Medicaid and Children’s Health Insurance Program (CHIP) Programs (July 2015)
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NADP Comments to the CA Department of Insurance Responding to Proposed Provider Network Regulations (Nov. 2015)
The National Association of Dental Plans (NADP) is concerned with the Provider Network
Read MoreAdequacy 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.”