On behalf of the Board of Directors of the Community Oncology Alliance (“COA”), we are submitting this comment letter regarding a proposed rule by the Centers for Medicare & Medicaid Services (“CMS”) on streamlining the prior authorization process. In this document, we refer to this prior authorization proposed rule (CMS-0057-P) as the “Proposed Rule.”
COA Comments to CMS on Streamlining the Prior Authorization Process
On behalf of the Board of Directors of the Community Oncology Alliance (“COA”), we are submitting this comment letter regarding a proposed rule by the Centers for Medicare & Medicaid Services (“CMS”) on streamlining the prior authorization process. In this document, we refer to this prior authorization proposed rule (CMS-0057-P) as the “Proposed Rule.”
COA Comments to CMS on Streamlining the Prior Authorization Process
On behalf of the Board of Directors of the Community Oncology Alliance (“COA”), we are submitting this comment letter regarding a proposed rule by the Centers for Medicare & Medicaid Services (“CMS”) on streamlining the prior authorization process. In this document, we refer to this prior authorization proposed rule (CMS-0057-P) as the “Proposed Rule.”