We would love to hear your feedback after this busy week!

Many of you have been engaged in AACIPM’s efforts to craft comments to recent requests from the Centers for Medicare and Medicaid Services (CMS) and Centers for Disease Control (CDC). In the past week or so, they have both released their updated policies: the CMS Physician Fee Schedule CY 2023 and the CDC Clinical Practice Guideline for Prescribing Opioids for Pain (2022)

AACIPM team is pleased to see many of our recommendations included in their revisions and we are working to analyze more to share with you. To help us best understand your organization’s reaction to the releases, please share any feedback you have (e.g., blogposts, notes) and we’ll synthesize them. This will enable our alliance to continue to share a collective voice.

Please send any feedback from you or your organization to Amy@PainManagementAlliance.org by November 15. 

We look forward to hearing from you!

 

Learn more about AACIPM’s Efforts through the following related articles:

Related Article:

AACIPM Issues Recommendations on Comprehensive Pain Management Under Medicare (Sept 2022)

Related Article:

CMS Takes Action on AACIPM Recommendations Regarding Bundled Payments for Integrative Pain Management (July 2022)

Related Article:

AACIPM responds to CDC Opioid Guideline (April 2022)

Related Article:

CDC Releases Opioid Guideline for Public Comment (Feb 2022)

Related Article:

CMS Responds to AACIPM’s Letter on Physician Fee Schedule (Nov 2021)

Related Article:

AACIPM Issues Recommendations to CMS on Payment for Pain Care Services (Sept 2021)