Resource Types
APG Letter to CMS Regarding Proposed Rule on Medicaid and CHIP Managed Care Access, Finance, and Quality
View CommentsAmerica’s Physician Groups (APG) appreciates the opportunity to respond to the Centers for Medicare and Medicaid Services’ (CMS) proposed…
America’s Physician Groups Asks Congress to Move Full Speed to Value-Based Health Care
Read MoreThe Medicare Access and CHIP Reauthorization Act of 2015 (MACRA) was a great step forward for its time, but…
America’s Physician Groups: CMS’s “Making Care Primary” Model “Vital to Stimulating Spread of Value-Based Care”
Read MoreAmerica’s Physician Groups salutes the Centers for Medicare & Medicaid Services on its announcement today of the Making Care…
Group Sign-On Letter to HHS on Medicaid Unwinding
View CommentsTo prevent a civil rights and health equity disaster, we urge you to make the strongest possible use of…
APG Comment Letter to FTC on Non-Compete Clause Rule
Read MoreAPG does not wish to take the same position as some physician groups have, which is to oppose any…
APG Welcomes CMS’s Plans to Phase In Medicare Advantage Risk Adjustment Model Changes
Read MoreAmerica’s Physician Groups (APG) today expressed satisfaction that the Centers for Medicare & Medicaid Services (CMS) has elected to…
APG Letter to Senate HELP Committee on Health Care Workforce Shortages
View CommentsAmerica’s Physician Groups (APG) appreciates the opportunity to respond to the committee’s request for information on health care workforce…
CMS Proposed Changes to Medicare Advantage Pose Potential Harms to Disadvantaged Beneficiaries and Primary Care
Read MoreChanges that the Centers for Medicare & Medicaid Services (CMS) proposes in risk adjustment for Medicare Advantage (MA) could…
APG Comment Letter to CMS on Advance Notice for Medicare Advantage
Read MoreAPG proposes that CMS postpone for one year the implementation of the proposed clinical revisions to the risk adjustment…
APG Comment Letter on 2024 Medicare Advantage and Part D Proposed Rule
View CommentsAlthough this letter and its content pertain to the 2024 Medicare Advantage and Part D Proposed Rule, APG’s member…
APG Comments to Congressional RFI on Improving Coverage for Dual Eligibles
Read MoreRemoving existing barriers to coordination of care, aligning enrollment, and providing incentives to integrate care will lead to improved…