CHA Comments on Physician Fee Schedule Proposed Rule
This post has been archived and contains information that may be out of date.CHA submitted comments on the calendar year 2023 physician fee schedule proposed rule.
This post has been archived and contains information that may be out of date.CHA submitted comments on the calendar year 2023 physician fee schedule proposed rule.
The California Society for Healthcare Engineering (CSHE) — the California chapter of the American Society for Healthcare Engineering — encourages hospital facilities staff or those who provide consultative, advisory products or equipment to health care facilities to join the organization and take advantage of its educational and networking opportunities.
The Hospital Quality Institute is offering a two-part webinar series on Health Equity Basics for Hospitals. The aim is to provide hospitals with the latest information on how to operationalize and execute actionable strategies to identify and address racial and ethnic disparities.
CHA members are invited to register for DataGen’s webinar on the federal fiscal year 2023 inpatient prospective payment system final rule and analysis on Sept. 14 at noon (PT). Registration is required.
The Centers for Medicare & Medicaid Services has issued a final rule that indefinitely delays the current start date of the Radiation Oncology (RO) model to a date to be determined through future rulemaking. The RO model will not begin on Jan. 1, 2023; the start date is not known at this time.
CHA DataSuite has issued a hospital-specific analysis of the Medicare hospital federal fiscal year (FFY) 2024 wage index reclassification.
This post has been archived and contains information that may be out of date.In the Central Valley town of Mendota, where access to health care services is lacking, Madera Community Hospital saw a need to build a medical clinic. In this video, see what it means for families — many of them farmworkers — who […]
The Centers for Medicare & Medicaid Services has released a new resource to assist in determining whether the federal independent dispute resolution process or a specified state law or all-payer model agreement applies for determining out-of-network claims covered under the No Surprises Act.