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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 58

AMIA Tells CMS to Orient Hospital Reporting Policies Towards Public Health

July 7, 2020

In comments filed with CMS last week, AMIA wrote that while it supports proposals to provide hospitals with flexibilities in how they comply with the Promoting Interoperability Program, it also strongly urges CMS to consider how it can leverage this and other programs to help mitigate and recover from the […]

AMIA Response to OIG Information Blocking

June 22, 2020

In response to a Notice of Proposed Rulemaking by the HHS Office of Inspector General, AMIA encouraged officials to finalize its policies on civil monetary penalties for information blocking with a “period of learning,” by establishing an effective date 60 days following publication of a final rule in the Federal […]

AMIA Lends Support to FCC Telehealth Pilot Program

August 29, 2019

In comments to the Federal Communications Commission (FCC), AMIA supported its proposal to create a new Connected Care Pilot program that funds connected care projects for low-income Americans and veterans. The pilot would help providers fund broadband services for patients who will participate in telehealth studies; FCC hopes to measure […]

AMIA Applauds PI Program Flexibilities for Hospitals, Reiterates Support for Activity-Based Approach to Demonstrating Health IT Use

June 26, 2019

In comments submitted to the Centers for Medicare & Medicaid Services (CMS), the American Medical Informatics Association (AMIA) supported proposed flexibilities in how hospitals comply with the Promoting Interoperability (PI) Program and those that incentivize them to continue investments in health IT. However, they continued to urge CMS to more […]

AMIA Urges Feds to Think Beyond Traditional Care Boundaries for ‘Future Vision’ of Interoperability

March 15, 2019

In comments submitted to the National Science Foundation’s (NSF) Networking and Information Technology Research and Development Program (NITRD), AMIA supported their future vision for interoperability among medical devices, electronic health records, and other systems within the healthcare ecosystem. In doing so, AMIA observed that the future of interoperability will undoubtedly […]

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 Calls on HHS to Decouple Clinical Documentation and Administrative Requirements

January 29, 2019

In comments submitted to ONC and CMS, AMIA recommended that the Department of Health and Human Services orient its documentation burden reduction strategy towards a long-term goal of decoupling clinical documentation from billing, regulatory, and administrative compliance requirements. AMIA highlighted the unique opportunity to leverage informatics tools and methodologies to […]

AMIA Supports National Testing Collaborative for Health IT

December 20, 2018

In response to a Request for Information from the Centers for Disease Control and Prevention, AMIA urged HHS officials to focus on narrow use cases, such as CDS or eCQMs, when conceptualizing a national collaborative for health IT testing. AMIA also outlined the pros/cons of focusing on CDS versus eCQMs […]

HIPAA Modernization Needed, Experts Say

December 5, 2018

Partnering with AHIMA, AMIA recommended that policymakers modernize HIPAA by either establishing a new term, “Health Data Set,” which includes all clinical, biomedical, and claims data maintained by a Covered Entity or Business Associate, or by revising the existing HIPAA “Designated Record Set” definition and require Certified Health IT to […]