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AMIA’s goal is to improve the legislative and regulatory environment for health informatics research, practice and education through AMIA member expertise.  The primary pathway through which AMIA achieves this goal is by engaging Federal Agencies and Congress on public calls for input, such as Notices of Proposed Rulemakings (NPRMs) or Request for Information (RFIs).

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AMIA responses are arranged by Federal Agency and Congressional Committee.

Showing 11 - 20 out of 42

HIPAA Must Better Promote Information Sharing, Urges AMIA

February 12, 2019

In comments submitted to the Department of Health & Human Services (HHS) Office of Civil Rights (OCR), AMIA recommended that the Office ensure that HIPAA both requires and permits information-sharing upon patient and clinician request, as well as robust penalties for failing to deliver data pursuant to the patient “right […]

AMIA Supports New NIH Data Policy, Encourages Phased Implementation

December 8, 2018

In comments submitted to the NIH, AMIA supported an expansive update to its 2003 data sharing policy, recommending a phased approach to implement new data management and sharing requirements for NIH-funded research. It also noted that quality data management and sharing plans are prerequisite to the NIH’s goals of making […]

AMIA Seeks Harmonization of Data Privacy Policies

November 9, 2018

In response to a Request for Comment from the National Telecommunications and Information Administration, AMIA urged the administration to seek harmonization of federal data privacy policies, while also ensuring that consumer access to and control over his or her data be the baseline for its policies.

AMIA Supports Draft Federal Data Strategy

August 31, 2018

AMIA sent a set of recommendations to the federal government in late July, commenting on its Draft Federal Data Strategy. The nation’s health informatics professionals largely supported the Strategy, identifying ways it could help federal agencies improve data sharing and data availability for research and other supplemental purposes.

AMIA Offers Input to ONC on Information Blocking

August 6, 2018

The following statement was released today by Douglas B. Fridsma, MD, PhD, FACP, FACMI, regarding a letter to ONC about information blocking:

Information blocking is the absence of interoperability, and there are numerous reasons why information may not flow as intended. Some of these reasons are technical, others for business […]

AMIA Outlines Priorities for NIH Data Science Strategy

April 3, 2018

In comments submitted yesterday, the American Medical Informatics Association (AMIA) called on the National Institutes of Health (NIH) to declare that all data generated through its grants align with FAIR data principles. It is not enough that the NIH commit to FAIR data principles, the nation’s experts in health and […]

AMIA Recommends Swift Implementation of Common Rule 2018 Requirements

March 19, 2018

In comments submitted to HHS March 19, 2018, AMIA recommended that HHS proceed swiftly with implementation of revisions to the Common Rule, known as the 2018 Requirements. AMIA recommended that 2018 Requirements be made effective July 19, 2018 and that the compliance date be set as January 19, 2019. This […]

AMIA Comments on CMS Innovation Center RFI

November 21, 2017

In response to a CMS Innovation Center request for information (RFI) on its potential new direction, AMIA offered several suggestions focusing on the interdependency of payment and delivery reforms, supported by health IT and health informatics. AMIA suggested additional guiding principles with which to approach new Innovation Center model design […]

AMIA Comments on NLM Data Science RFI

November 2, 2017

In response to a request for information (RFI) from the National Library of Medicine (NLM), AMIA detailed numerous key challenges and opportunities for data science in health and biomedicine. AMIA further provided policy and research ideas in support of the NLM fulfilling a 2015 Advisory Committee recommendation to become the […]