ASBMR and NOF Comment Letter to CMS on Proposed Rule Updating Medicare Payment under PFS & FLS Reimbursement Model Recommendation

NOF and ASBMR partnered to send a comment letter to CMS on the proposed rule updating Medicare Payment under Physician fee Schedule (PFS) (CMS-1751). We also worked on creating a White Paper demonstrating how the FLS model can/should be reimbursed by CMS using the Opioid Usage Disorders (OUD), and subsequently approved additional usage disorders, reimbursement models.

The White Paper was shared with more than a dozen organizations in the bone health field and 13 organizations agreed to endorse the White Paper.

The PDF can be downloaded here.

Andrea Medeiros