Pursuant to 45 CFR Parts 144 and 146, I'm submitting the following information
regarding MHPAEA, Mental Health Parity and Addiction Equity Act of 2008. From
twenty-five years of professional experience as an administrator and executive for
a variety of private behavioral health service provider organizations, I also speak as
a consumer with over thirteen years of continuous sobriety and recovery from
addiction and major depressive disorder.
It is vital that "best practices" are sought from current, successful business and
clinical model.
Immediate access, cost-effectiveness and successful clinical outcomes should be
the primary indicators when assessing best practices. Third party payors
(including HMO's), behavioral health organizations (MCO's), utilization review and
administrative service organizations, and treatment provider organizations should
be surveyed to determine what business and clinical models render the best
results.
Medicare, TriCare and Medicaid should be allowed to purchase behavioral health
facility-based services from the private sector without the "hospital model" which
severely escalates cost. Hospital based addiction treatment is disproportinately
more expensive than treatment rendered in non-hospital but State-certified/
licensed settings.
I would greatly appreciate an opportunity to assist or testify in this effort.
Comment on FR Doc # E9-09629
This is comment on Proposed Rule
Request for Information Regarding the Paul Wellstone and Pete Domenici Mental Health Parity and Addiction Equity Act of 2008
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