Advocacy Updates

CCIIO Guidance for Marketplace Issuers Regarding Stand-alone Dental Plan Intent to Offer in FFM States (March 2017)

March 7, 2017

CCIIO Guidance for Marketplace Issuers Regarding Stand-alone Dental Plan Intent to Offer in FFM States (March 2017)

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NADP Letters to Administration regarding Tax Policy (March 2017)

March 1, 2017

NADP Letters to Administration regarding Tax Policy (March 2017)

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NADP Letters to Department of Labor and Office of Management and Budget Regarding 2016 Proposed Revision of Annual Information Reports (February 2017)

February 14, 2017

NADP Letters to Department of Labor and Office of Management and Budget Regarding 2016 Proposed Revision of Annual Information Reports (February 2017)

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Joint Letter to Maryland Insurance Administration Regarding network access standards (February 2017)

February 3, 2017

Joint Letter to Maryland Insurance Administration Regarding network access standards (February 2017)

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NADP Letter to Administration and Congress Regarding the Affordable Care Act and the possible development of policy alternatives and modifications (January 2017)

January 31, 2017

NADP Letter to Administration and Congress Regarding the Affordable Care Act and the possible development of policy alternatives and modifications (January 2017)

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Joint Letter to CMS: Regarding the Medicare Advantage Benchmark Cap (January 2017)

January 30, 2017

Joint Letter to CMS: Regarding the Medicare Advantage Benchmark Cap (January 2017)

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Joint Letter to CMS Regarding the Medicare Advantage benchmark cap (January 2017)

January 30, 2017

Joint Letter to CMS Regarding the Medicare Advantage benchmark cap (January 2017)

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NADP Comments to Washington Senate Health Care Committee Supporting SB 5158 regarding Dental Service Organizations (January 2017)

January 19, 2017

NADP Comments to Washington Senate Health Care Committee Supporting SB 5158 regarding Dental Service Organizations (January 2017)

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NADP Comments to Department of Labor responding to a proposal to increase reporting requirements under Form 5500 (December 2016)

December 5, 2016

he National Association of Dental Plans (NADP) appreciates the opportunity to provide
comments on the proposed amendments to Department of Labor (DOL) regulations relating to
annual reporting requirements under Part 1 of the Employee Retirement Income Security Act
of 1974 (ERISA). The proposal would amend reporting requirements to the Form 5500 Annual
Return/Report of Employee Benefit Plan and Form 5500-SF Short Form Annual Return/Report
of Small Employee Benefit Plan (Form 5500.)

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NADP Comments to Department of Labor Increased reporting requirements under Form 5500 (December 2016)

December 5, 2016

NADP Comments to Department of Labor Increased reporting requirements under Form 5500 (December 2016)

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