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23 Results Found
AHA Letter to FDA on AI-enabled Medical Devices
The AHA supports AI policy frameworks that balance flexibility to drive market-based innovations with appropriate safeguards to protect privacy and patient safety.
AHA Responds to Department of Commerce’s RFI on PPE and Medical Equipment
AHA comments on the Department of Commerce’s request for public comment on its Section 232 national security investigation on personal protective equipment (PPE), medical consumables and medical equipment.
AHA Responds to OSTP Request on AI Policies for Health Care
The American Hospital Association (AHA) provides comments on the Office of Science and Technology Policy (OSTP) request for information regarding regulatory reform on artificial intelligence (AI).
AHA Comments on HHS RFI on MAHA Initiative
AHA comments on the U.S. Department of Health and Human Services request for information to ensure lawful regulation and unleash innovation to promote better health.
AHA Details Legislative Priorities for Congressional Leaders
Hospitals and health systems are experiencing significant financial pressures that challenge their ability to provide 24/7 care for the patients and communities they serve. As Congress begins to focus on its end-of-the-year work, America’s hospitals and health systems respectfully request that you consider the following priorities.
AHA Response to OMB Deregulation RFI
AHA responds to the Office of Management and Budget Deregulation Request for Information.
AHA Letter to CMS on the Rural Health Transformation Program
AHA urges the CMS to ensure that the Rural Health Transformation Program funding prioritizes payments to hospitals through an efficient and streamlined state application and award process.
AHA Comments on CMS Skilled Nursing Facility FY 2026 Proposed Payment
AHA comments on the Centers for Medicare & Medicaid Services’ (CMS) fiscal year (FY) 2026 SNF prospective payment system (PPS) proposed rule.
AHA Comments on CMS Inpatient Rehabilitation Facility FY 2026 Proposed Payment Rule
AHA comments on the Centers for Medicare & Medicaid Services’ (CMS) fiscal year (FY) 2026 IRF prospective payment system (PPS) proposed rule.