Comment on CMS-2026-1256-0002

AMGAOtherAdvocacy
Summary: The American Medical Group Association (AMGA) submitted a mixed-stance comment regarding the FY 2027 IPPS and LTCH proposed rule. While the organization supports several quality reporting updates and interoperability improvements, it opposes the removal of health equity measures and strongly urges CMS to make the CJR-X model voluntary rather than mandatory.
Please see attached comment letter from AMGA.

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