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- February 3, 2022
California Will Expand Coverage of Medicaid Community-Based Mobile Crisis Intervention Services
Read moreOn January 10, 2022, California Governor Gavin Newsom released his 2022-2023 Budget Proposal that includes a total spending of $286.4 billion in State Funds ($213.1 billion from the General Fund) and another year of historic $217.5 billion investment in health care. The budget proposal builds on existing Medi-Cal expansions…
- February 3, 2022
Medicaid Mobile Crisis Services: A Compassionate Approach to Substance Use Disorders
Read moreAs the U.S. continues to grapple with the COVID-19 pandemic, it is easy to forget that we are in the midst of another epidemic that has taken the lives of over 800,000 individuals since 1999. The drug overdose epidemic was responsible for 70,630 deaths in 2019 and preliminary data…
- February 1, 2022
Children’s Behavioral Health Mobile Response and Stabilization Services
Read moreMobile Response and Stabilization Services (MRSS) is a specific kind of mobile crisis service and stabilization service for children and youth with behavioral health conditions. It is an upstream intervention for children and youth that are beginning to experience an acute behavioral health issue and are in crisis. This…
- January 31, 2022
Gender-Affirming Care for Youth is Still Good Health Care
Read moreLast year we wrote that “Laws should not serve as a weapon to criminalize and discriminate against our transgender and gender-expansive youth by preventing access to the health services they need. . . . Now is the time stand up for transgender and gender-expansive youth.” Unfortunately, legislators in…
- January 27, 2022
NHeLP Comments on 2023 Letter to Issuers in the Federally-Facilitated Exchange
Read moreNHeLP submitted comments on the draft Letter to Issuers from CCIIO. The Letter to Issuers provides more detailed requirements for qualified health plans participating in HealthCare.gov.
- January 27, 2022
NHeLP Comments on Georgia Section 1332 State Innovation Waiver
Read moreNHeLP submitted comments during the reopened comment period regarding Georgia's Section 1332 State Innovation Waiver. NHeLP recommends that HHS withdraw its approval of this waiver because it would impose a number of unlawful conditions on coverage and access to care for the marketplace and Medicaid populations.