NASP’s Comments to CMS’ Proposed Rule and 2019 Draft Call Letter
NASP represents an industry that focuses on providing high quality patient care first with additional emphasis on clinical outcomes and patient choice. NASP believes that it shares these common goals with the Centers for Medicare & Medicaid Services (CMS) and looks forward to partnering with CMS and all governmental agencies to ensure that all patients have access to the medications they need from the pharmacy of their choosing. In furtherance of these shared goals, NASP has submitted the following comments in response to the Centers for Medicare & Medicaid Services’ (CMS) Proposed Rule entitled, “Advance Notice of Methodological Changes for Calendar Year (2019) for Medicare Advantage (MA) Capitation Rates, Part C and Part D Payment Policies and 2019 draft Call Letter.”