SHM Comments on CMS' Measure Development Plan for MACRA
SHM sent comments to Medicare on their Measure Development Plan for MIPS and APM transition.
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SHM sent comments to Medicare on their Measure Development Plan for MIPS and APM transition.
Along with IDSA, ACEP, and SCCM, SHM collaborated on a letter discussing concerns around a sepsis quality measure.
SHM submitted comments on aspects of the Inpatient Prospective Payment System (IPPS), including HRRP, HVBP, HAC, IQR, as well as lessening administrative burdens by eliminating observation care.
SHM Provides Feedback to CMS about Performance Measures included in the List of Measures Under Consideration December 2013
SHM Submits Comments on Proposals for Implementation of the Sunshine Act, PQRS and the Physician Value-Based Payment Modifier
CMS submitted comments on the IPPS Proposed Rule. Our comments oppose the adoption of duplicative measures across in Medicare quality reporting programs.
SHM submitted comments on the quality and performance measurement provisions of the 2023 IPPS proposed rule and responded to a Request for Information on measuring healthcare disparities.
SHM joined a multi-stakeholder letter to CMS regarding proposals related to the Merit-based Incentive Payment System (MIPS) Value Pathway (MVP) proposals. Specifically, the letter urges CMS to
SHM submitted comments on the FY2020 Hospital Prospective Payment System proposed rule. Our comments address Inpatient Quality Reporting (IQR) measures related to hospital harms, opioid safety,
SHM submits comments to the Senate Health, Education, Labor and Pensions (HELP) committee in response to their request for stakeholder suggestions to lower the overall cost of healthcare. Our