On January 27th, 2025, the MLTSS Association submitted comments on the 2026 MA and Part D Proposed Rule. Among its provisions, this rule focuses on improving our integrated care delivery system and the experience of the dually eligible enrollees it serves. We center the experience of dually eligible enrollees and the integrated plans that serve them in our positions and accompanying recommendations to CMS. In general, we support CMS’ efforts to improve beneficiary experiences by streamlining and integrating processes for dually eligible enrollees where appropriate and promoting transparency and enhanced beneficiary protections. In our comments, we articulate this support while highlighting key operational considerations that we believe will be crucial for the successful accomplishment of CMS’ goals.
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