APG Comment Letter to CMS on 2025 Physician Fee Schedule and Medicare Shared Savings Program Proposed Rule
Read MoreAmerica’s Physician Groups (APG) appreciates the opportunity to respond to the Centers for Medicare & Medicaid Services’ (CMS) 2024…
APG Response to Senate RFI on the Pay PCPs Act
Read MoreAmerica’s Physician Groups (APG) salutes your efforts to strengthen primary care, and appreciates the opportunity to respond to the…
APG Comment Letter to CMS on Medicare Advantage Data RFI
Read MoreAPG encourages CMS to consider the recommendations and modifications to policies described as further refinements that will also help…
APG Response to DOJ HHS FTC RFI on Consolidation in Health Care Markets
Read MoreAPG believes that there are legitimate areas of concern that the Department of Justice and FTC should monitor closely…
APG Comment Letter on 2025 Medicare Advantage Advance Notice
View CommentsAPG appreciates and welcomes CMS’s proposed policies in this Advance Notice and supports the agency’s ongoing efforts to ensure…
APG Comment Letter to CMS on Proposed Policy Changes to Medicare Advantage and Medicare Part D
Read MoreAPG appreciates and welcomes CMS’s proposed policies in this proposed rule and supports the agency’s ongoing efforts to ensure…
APG Comment Letter to CMS and ONC on Proposed Information Blocking Rule
Read MoreAPG encourages the agencies to consider modifications to the proposed policies to include flexibility for the agencies to choose…
APG Letter to CMS in Support of Medicare Advantage
Read MoreIn recognition of the fact that MA is increasingly becoming beneficiaries’ preferred choice for Medicare coverage – especially for…
APG Comment Letter to CMS on 2024 Physician Fee Schedule and Medicare Shared Savings Program Proposed Rule
Read MoreAmerica’s Physician Groups (APG) appreciates the opportunity to respond to the Centers for Medicare & Medicaid Services’ (CMS) 2024…
APGComment Letter to CMS on 2024 Home Health Prospective Payment System Rate Update Proposed Rule
View CommentsAPG requests that CMS consider mitigating the impact of the proposed permanent home health payment reduction through a delay,…
APG Letter to CMS on Design of Episode-Based Payment Model RFI
View CommentsAPG looks forward to working with CMS as the agency develops detailed plans for a new episode-based payment model…
APG Letter to CMS Regarding Proposed Rule on Medicaid and CHIP Managed Care Access, Finance, and Quality
View CommentsAmerica’s Physician Groups (APG) appreciates the opportunity to respond to the Centers for Medicare and Medicaid Services’ (CMS) proposed…