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Comments on the 2027 MA and Part D Proposed Rule

  • eschutz35
  • 16 hours ago
  • 1 min read

On January 25, 2026, the MLTSS Association submitted comments on the Contract Year 2027 Medicare Advantage and Part D Proposed rule. Many of the changes contemplated for CY 2027 in this proposed rule represent meaningful shifts in enrollment policy, contracting requirements, quality measurement, and plan operations. To be successful, these changes must be implemented on timelines that allow health plans and states sufficient opportunity to understand final requirements, make necessary system and operational adjustments, and comply in a manner that avoids disruption to beneficiary coverage, care coordination, or access to services. In our comments, we center the experience of dually eligible individuals and the integrated plans that serve them in our positions and accompanying recommendations.





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