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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).

Learn more about the comment process

AMIA responses are arranged by Federal Agency and Congressional Committee.

Showing 61 - 70 out of 82

AMIA Comments Submitted RE: ICD-10 Delay

May 17, 2012

Re: 45 CFR Part 162 [CMS–0040–P] RIN 0938–AQ13Administrative Simplification: Adoption of a Standard for a Unique Health Plan Identifier; Addition to the National Provider Identifier Requirements; and a Change to the Compliance Date for ICD–10–CM and ICD–10–PCS Medical Data Code Sets

AMIA participates in Coalition for an Informed Patient Identity Integrity Solution

November 29, 2011

Along with several other organizations, AMIA is participating in the Coalition for an Informed Patient Identity Integrity Solution. The Coalition is working to delete prohibiting language from the fiscal year 2012 Labor, HHS Appropriations bill, and to substitute language that would have HHS conduct a study of the health information […]

AMIA Comments on NIST Usability Guidance

November 10, 2011

AMIA acknowledged NIST’s efforts to highlight the importance of usability testing for electronic health records (EHRs) through its issuance of the proposed guidance. AMIA expressed concerns about several aspects of the draft guidance including the following: a limited and narrow identification of EHR users; the need to consider more comprehensive […]

AMIA Comments on Latest Version of NQF Quality Data Model

November 7, 2011

AMIA and its Nursing Informatics Working Group once again provided input to the National Quality Forum (NQF) during an open comment period to solicit input on NQF's Quality Data Model (QDM). In its comments, AMIA recognized the importance of having an information model that clearly defines concepts used in quality […]

AMIA Comments on FDA Mobile Medical Apps Draft Guidance

October 19, 2011

AMIA recently issued comments in response to a U.S. Food and Drug Administration (FDA) draft guidance on mobile medical applications. In the comments, AMIA president Ted Shortliffe noted, among other things, the need for additional clarification, definitions, terms, and terminology in the guidance. Click below to read AMIA's full comments.

AMIA Comments on CMS Proposed Rules for Accountable Care Organizations

June 6, 2011

AMIA submitted comments today on the proposed rule from the Centers for Medicare and Medicaid Services (CMS) on the Medicare Shared Savings Program: Accountable Care Organizations (ACOs).

In the comments, AMIA president Ted Shortliffe asserts that ACOs, especially as enabled by the science of biomedical and health informatics and tools […]

AMIA Comments on NQF Quality Data Model

May 26, 2011

Today, AMIA and its Nursing Informatics Working Group provided input to National Quality Forum (NQF) during an open comment period to solicit input on NQF's Quality Data Model (QDM). The QDM provides a way to describe clinical concepts in a standardized format so that those monitoring clinical performance and outcomes […]