Everything you need to know about the 2022 MPFS Proposed Rule

Including Remote Therapeutic Monitoring, Care Management, Telehealth—and the importance of submitting stakeholder feedback to CMS

If you missed our MPFS 2022 Proposed Rule breakdown webinar on August 8 (or want to rewatch or share with colleagues), you can view it below.

Is it vital for your business success that CMS approve (or abandon!) a proposed rule?

If you don’t have the resources, expertise, or time to submit stakeholder feedback to CMS before the deadline of September 13, then we can help.



We do everything from helping you understand the impact of each rule to your business to drafting comments to submitting to CMS on your behalf. Click here for the details—and don’t delay. Because this is not a cookie-cutter service, we’ll need about two weeks to draft and finalize comments for you.

That means you must request this service no later than August 23 to insure we meet the CMS deadline.

Additional Resources

We’ve been working to help our clients understand the impact of these Proposed Rules since they first came out on July 13. You can also check out our breakdown of the major points of the 1700+ pages of the Proposed Rule in these two blog posts:

New Remote Therapeutic Monitoring CPT codes introduced in Proposed 2022 Medicare Physician Fee Schedule

Proposed 2022 MPFS: Expansion in Audio-Only Telehealth, Permanent Remote “Direct Supervision”, and Remaining Opportunities for New Permanent Telehealth Codes

We’re also covering the cover the Proposed Rule in our Decoding Healthcare Innovation podcast (episode airs August 11, 2021.)

Whether you choose us to help you submit comments or not, we hope you’ll understand by our efforts how important it is for Stakeholders to provide feedback and help shape the reimbursement framework for 2022.