Since CMS has taken years to create this proposed rule it seems unfair to only
have a comment period of 60 days for those of us that will be effected by this
rule. Much of the language in the proposed rule is vague and difficult for even the
experts to interprete so you can imagine how difficult it is for the rest of us to
understand these new proposals and the 60 day time frame for comments just
complicates this more. I respectfully ask that the comment period be extended
for a minimum of 6 months so the rule can be studied and RHCs can understand
the true impact on our clinics. Thank you in advance for your consideration.
Barbara Berg--WA
This is comment on Proposed Rule
Medicare Program; Changes in Conditions of Participation Requirements and Payment Provisions for Rural Health Clinics and Federally Qualified Health Centers (CMS-1910-P2)
View Comment
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