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AHA Comments on CMS' Proposed Notice of Benefit and Payment Parameters for 2027
AHA comments on the Centers for Medicare & Medicaid Services’ (CMS’) proposed Notice of Benefit and Payment Parameters for 2027.
AHA/ACEP, Others Urge CMS to Allow Hospitals to Post Anti-violence Signage in EDs
We respectfully request that the Centers for Medicare & Medicaid Services (CMS) issue clear guidance enabling hospitals to post appropriate signage in emergency departments (EDs) to discourage threats and acts of violence against health care workers, consistent with the Emergency Medical Treatment and Labor Act (EMTALA).
AHA Letter to HRSA Regarding a New Concerning Development with the 340B Program
AHA letter to the Health Resources and Services Administration about a new concerning development with the 340B Program.
AHA Comments on ASTP/ONC Health Care Technology Interoperability Proposed Rule
The American Hospital Association provides comment on the “Health Data, Technology and Interoperability: ASTP/ONC Deregulatory Actions to Unleash Prosperity” (HTI-5) proposed rule.
AHA Response to HHS RFI on AI in Health Care
The American Hospital Association provides comments on the Health and Human Services request for information on accelerating the adoption and use of artificial intelligence (AI) as part of clinical care.
AHA Comments on Department of Education's Federal Student Loan Limits Proposal
The American Hospital Association comments on the Department of Education’s proposed rule implementing borrowing limits for federal student loans.
AHA Responds to FTC Chairman Comments on Mergers
The American Hospital Association responds to FTC chairman mergers remarks made at the George Mason Law Review 29th Annual Antitrust Symposium.
AHA Submits Comments on CMS Proposed Rule on Prohibiting 'Sex-Rejecting Procedures' for Children
The AHA today submitted a comment letter responding to the Centers for Medicare & Medicaid Services’ proposed rule that would prohibit hospitals participating in the Medicare and Medicaid programs from performing “sex-rejecting procedures” on individuals under 18 years of age.
AHA Comments on RFI for Reauthorization of the Pandemic and All-Hazards Preparedness Act
The American Hospital Association comments on request for information on the reauthorization of the Pandemic and All-Hazards Preparedness Act.
AHA Comments on CMS Proposed GLOBE Model
While the AHA broadly supports the Administration’s objectives as described in the proposed rule, we believe the GLOBE Model as proposed lacks critical operational details that, if not properly clarified, could create additional burden for hospitals and health systems.