2016
NADP Comments to Department of Labor Increased reporting requirements under Form 5500 (December 2016)
Read MoreThe 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 MoreJoint letter to Congress Supporting CHIP (October 2016)
Read MoreNADP Comments to HHS: Response to Proposed Notice of Benefit and Payment Parameters for 2018 (October 2016)
Read MoreNADP Comments to Department of the Treasury: Supporting Proposed Changes to the Calculation of ACA Premium Tax Credits (September 2016)
Read MoreNADP Comments to NM Office of Superintendent of Insurance Requesting exemption from medical credentialing forms (July 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 More
NADP Comments to Department of Labor responding to a proposal to increase reporting requirements under Form 5500 (December 2016)
he National Association of Dental Plans (NADP) appreciates the opportunity to provide
Read Morecomments 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.)