…functions within healthcare.gov itself; however, these files will also be shared with third-parties to “create innovative and informative tools to help enrollees better understand the plan’s provider network.” NADP members…
Read MoreBy Dr. Mary Lee Conicella, Aetna, Nominations Committee Chair Cultivating leaders is a top priority for NADP. That’s why the Nominations Committee wants all plan members to know there is…
Read MoreNADP will submit comments this week in response to a Centers for Medicare and Medicaid Services (CMS) paperwork reduction act notice that outlines some technical specifications around an Exchange requirement for carriers…
Read MoreNADP submitted comments this month to the Ohio Department of Insurance (ODI) responding to draft rules on provider network disclosures. The letter recommends the ODI specifically exclude standalone dental plans…
Read MoreOn Friday, July 9, NADP sent comments to the U.S. Department of Labor seeking clarity on the scope of requirements for broker and consultant disclosures in the No Surprises Act. The…
Read MoreThe deadline for potential revisions to the American Dental Association’s 2023 Codes on Dental Procedures and Nomenclature (CDT) is quickly approaching. NADP is encouraging our members to take advantage of…
Read MoreMonthlyByte May 2015 NADP Continues Prep for Equitable Treatment Fix While there is likely to be little to no political movement on ACA technical fix-it bills…
Read MoreNADP Pulse By Board Chair Jeremy Hedrick, Careington International Countdown to Virtual CONVERGE With CONVERGE less than a month away, I’m using this month’s column to highlight several aspects of…
Read MoreNADP’s Commission on Advocacy Policy has the task of deciding on how NADP responds to the various draft regulations forwarded by the U.S. Health and Human Services (HHS) and other…
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