Comment on CMS-2026-1256-0002
Mayo ClinicOtherAdvocacy
Summary: Mayo Clinic submitted a detailed comment expressing mixed positions on various components of the proposed rule. While they support certain modifications to residency program criteria and sepsis quality reporting goals, they oppose the repeal of the NTAP pathway, the mandatory nature of the CJR-X model, and specific new requirements for cost allocation and overhead componentization.
Please see attachment.