Dear Administrator Brooks-LaSure:
"On behalf of the 27 member organizations of the Diabetes Advocacy Alliance (DAA), we are pleased to submit comments to the Centers for Medicare and Medicaid Services (CMS) regarding the CY 2022 Medicare Payment Policies under the Medicare Physician Fee Schedule (PFS) proposed rule (file code CMS-1751-P). We will focus our comments on the sections of the proposed rule concerning the Medicare Diabetes Prevention Program (MDPP) expanded model (section III.L.) and payment for Medical Nutrition Therapy and related services (sections II.K. and III. I.). We appreciate that CMS/CMMI is willing to consider, develop, and implement modifications to the MDPP expanded model to improve its chances for success. We have also commented on payment for Medical Nutrition Therapy and related services (sections II.K. and III. I.)"
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