Comment Letter
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.
Read MoreThe National Association of Dental Plans appreciates the opportunity to comment on the proposed rule regarding “Certain Medical Care Agreements” (RIN 1545-BP31).
Read MoreThe National Association of Dental Plans appreciates the opportunity to comment on the proposed rule regarding “Certain Medical Care Agreements” (RIN 1545-BP31).
Read MoreThe 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.
Read MoreNADP Comments on Dental in Medicare and H.R. 3
Read MoreNADP Letter to Congressional Leadership Regarding the Health Insurance Tax (September 2019)
Read MoreOn behalf of the American Council of Life Insurers (ACLI1), America’s Health Insurance Plans (AHIP2), and the National Association of Dental Plans (NADP3) thank you for the opportunity to provide comments on Senate Bill 444.
Read MoreNADP comments to the Rhode Island House Committee on Health, Education and Welfare opposing HB 5190 (March 2019)
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NADP Comments on Proposed Amendment to NY Regulation 62 (October 2022)
NADP Comments on Proposed Amendment to NY Regulation 62
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