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- September 14, 2022
Steps Toward Contraceptive Equity: State Legislative Considerations for the 2023 Session
Read moreIn the first regular state legislative session post-Dobbs, many state policymakers and advocates may seek to shore up contraceptive access in their communities. NHeLP has created a checklist of considerations for enshrining contraception rights into state law, based on a range of model access policies. The policy considerations span…
- September 5, 2022
Demographic Data Collection in Medicaid & CHIP: CMS Authority to Collect Race & Ethnicity Data
Read moreCMS must collect information on Medicaid and CHIP enrollees' race and ethnicity to understand program quality and monitor equitable access. Yet, CMS has not formally required state Medicaid programs to collect or report race and ethnicity information in a uniform manner. As a result, data on racial and ethnic…
- August 19, 2022
NHeLP Letter to CCIIO Director, Ellen Montz – Re: Request for Modifications to the Federal Prescription Drug and Maternity Care Essential Health Benefit Standards
Read moreDespite improvements in coverage of Essential Health Benefits (EHB) since the enactment of the Affordable Care Act, significant gaps remain in access to care in various categories of service. In this follow-up letter to leadership at the Center for Consumer Information and Insurance Oversight (CCIIO), NHeLP urges the Department…
- July 28, 2022
Essential Health Benefits: Best Practices in Benchmark Selection
Read moreThe Affordable Care Act (ACA) established a comprehensive set of ten Essential Health Benefits (EHB) that most health plans must cover. Under federal rules, states can select a benchmark plan that defines what the ten benefits look like in each state. However, many states still have no process for…
- June 17, 2022
NHeLP Comment on the 2023 Medicare Hospital Inpatient Prospective Payment Systems (IPPS) Rule and Request for Information on Health Care Quality Disparities
Read moreNHeLP submitted comments on the annual Medicare IPPS Rule. Our comments address a new proposed measure, in which CMS would require hospitals to attest to several health equity domains. We ask CMS to strengthen its requirement for hospitals and programs to address disparities and improve oversight of health equity…