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CLASP provided comments to the Title X Notice of Proposed Rulemaking, “Ensuring Access to Equitable, Affordable, Client-Centered, Quality Family Planning Services,” published in the Federal Register on April 15, 20
CLASP wrote a letter in response to the National Institute of Mental Health's Request for Information to inform their research priorities to improve mental health outcomes among populations experiencing health inequities in the United States.
CLASP submits the following comments in response to Georgia’s 1332 waiver request to exit the federal marketplace with no substitution. CLASP has deep concerns about Georgia’s wavier request because it would eliminate the central source of help for the roughly 500,000 Georgians who enroll in private health plans or Medicaid through healthcare.gov.
CLASP submitted comments in support of the New Jersey's 1115 continuity of care waiver demonstration, which would allow it to expand postpartum Medicaid coverage for 180 days after childbirth and allow continuous eligibility during this period.
CLASP submitted comments on Oklahoma’s Sooner 2.0 Healthy Adult Opportunity (HAO) waiver application and raises serious concerns about the effects of the waiver on the coverage and health outcomes of Medicaid beneficiaries in Oklahoma.
CLASP submitted comments on Missouri’s Targeted Benefits for Pregnant Women and Demonstration.
CLASP submitted comments in response to Indiana’s section 1115 demonstration project known as the Healthy Indiana Plan.
CLASP submitted comments on the Department of Health and Human Services and the Centers for Medicare and Medicaid Services proposed rule: Patient Protection and Affordable Care Act; HHS Notice of Benefit and Payment Parameters for 2021
CLASP submitted comments in support of the Illinois 1115 continuity of care and administrative simplification waiver demonstration, which would allow it to expand postpartum Medicaid coverage for 12 months after childbirth and allow continuous eligibility during this period. If approved, parents and babies would be more likely to access and experience continuity of care in the first year of life, increasing positive health outcomes for both.
CLASP submitted comments opposing Georgia’s application for its section 1115 waiver that would allow it to apply work requirements as a condition of eligibility for Medicaid. The proposal would also limit its expansion of Medicaid and require individuals with incomes as low as 51 percent of the FPL to pay premiums.