Search for: "Administrative Committee, Providence Health System Group Insurance Plan" Results 121 - 140 of 622
Sorted by Relevance | Sort by Date
RSS Subscribe: 20 results | 100 results
19 Sep 2014, 3:29 pm by Cynthia Marcotte Stamer
 plan administrators and other services providers,  and governments on health care, retirement, employment, insurance, and tax program design, administration, defense and policy. [read post]
4 Jan 2011, 11:56 am by Cynthia Marcotte Stamer
  Board Certified in Labor and Employment Law by the Texas Board of Legal Specialization, Chair of the American Bar Association (ABA) RPTE Employee Benefit & Other Compensation Group, a Council Member of the ABA Joint Committee on Employee Benefits, and Past Chair of the ABA Health Law Section Managed Care & Insurance Interest Group, Ms. [read post]
25 Jan 2007, 2:18 am
The president's health plan would, in fact, put a cap on a $200 billion-a-year tax break that now goes disproportionately to those with the most generous and costly employer-provided health insurance plans. [read post]
1 Mar 2017, 12:55 pm by Cynthia Marcotte Stamer
Stamer has worked throughout her career health care, health benefit and insurance and health information technology, data and related process and systems development, policy and operations design, management, product development, innovation, administration, public policy, regulatory compliance, enforcement, contracting, privacy and data security and related matter. [read post]
26 Jun 2013, 6:21 am by Cynthia Marcotte Stamer
A Fellow in the American College of Employee Benefit Council, immediate past Chair of the American Bar Association (ABA) RPTE Employee Benefits & Other Compensation Group and current Co-Chair of its Welfare Benefit Committee, Vice-Chair of the ABA TIPS Employee Benefits Committee, a council member of the ABA Joint Committee on Employee Benefits, and past Chair of the ABA Health Law Section Managed Care & Insurance Interest… [read post]
7 Dec 2019, 9:54 am by Cynthia Marcotte Stamer
Stamer has worked extensively with domestic and international hospitals, health care systems, clinics, skilled nursing, long term care, rehabilitation and other health care providers and facilities; medical staff, accreditation, peer review and quality committees and organizations; billing, utilization management, management services organizations, group purchasing organizations; pharmaceutical, pharmacy, and prescription benefit management and… [read post]
12 Oct 2017, 4:22 pm by Cynthia Marcotte Stamer
Expanding access to AHPs can help small businesses overcome this competitive disadvantage by allowing them to group together to self-insure or purchase large group health insurance. [read post]
22 Apr 2024, 5:00 pm by Anna Mikhaylina
The interim final regulations provide that: Fully insured group health plans may satisfy the RxDC requirements by entering into a written agreement with the insurance company to report on their behalf. [read post]
23 Jan 2017, 2:47 pm by Cynthia Marcotte Stamer
In the case of insured health plans, sponsors, insurers and administrators also will need to consider whether their ability to take advantage of the federal relieve available is blocked or restricted by state insurance statutes, regulations or other administrative requirements. [read post]
22 Oct 2021, 1:08 pm by Jon L. Gelman
FEMA also awarded a $1.5 million grant to the University of Arizona to study the extent of firefighter exposure to PFAS and resulting health impacts.Department of Health and Human ServicesThe Department of Health and Human Services continues to review the rapidly evolving science on human health and PFAS, including through a groundbreaking study by Centers for Disease Prevention and Control (CDC) and Agency for Toxic Substances and Disease Registry (ATSDR) in… [read post]
1 Oct 2021, 9:19 am by Cynthia Marcotte Stamer
Part 318 (“Health Breach Rule”) unless the breach is covered by and addressed in accordance with the Health Insurance Portability & Accountability Act (“HIPAA”) Breach Notification for Unsecured Protected Health Information, 45 CFR Parts 160 and 164 (“HIPAA Breach Rule”) applicable to health plans, health care providers, health care clearinghouses and their service… [read post]
21 Dec 2010, 5:03 pm by Steven Boutwell
Section 6401(a) of the ACA requires a provider of medical or other items or services or a supplier, as a condition of enrollment in Medicare, Medicaid or the Children’s Health Insurance Program (“CHIP”), to establish a compliance program that contains certain core elements. [read post]
20 Nov 2014, 1:06 pm by Cynthia Marcotte Stamer
 plan administrators and other services providers,  and governments on health care, retirement, employment, insurance, and tax program design, administration, defense and policy. [read post]
8 Jan 2019, 12:38 pm by Cynthia Marcotte Stamer
Payers and employer group health plans which purchase health care have little information on health outcomes. [read post]
25 Mar 2024, 6:38 am by Cynthia Marcotte Stamer
Health plans, their fiduciaries, health plan sponsors and insurers, and their administrative and other service providers may find these updates helpful to plan and communicate with plan members, providers and others as part of their efforts to fulfill their own Health Insurance Portability and Accountability Act (HIPAA) Privacy, Security, and Breach Notification Rules, the claims, notice… [read post]
17 Dec 2019, 8:40 pm by Cynthia Marcotte Stamer
  As a part of this work, she has continuously and extensively worked with domestic and international employer and other management clients including hospitals, health care systems and other health care organizations, management services organizations, group purchasing organizations; creditors, debtors, bankruptcy trustees and other change organizations; consultants; investors; payroll and other technology and other services and product vendors; products and… [read post]
5 Nov 2023, 3:10 pm by Cynthia Marcotte Stamer
In the course of its investigation, OCR requested in its June 23, 2015 Data Request that DADS provide a copy of its current HIPAA administrative and technical policies and procedures. [read post]
3 Jan 2013, 12:46 pm by Cynthia Marcotte Stamer
” In light of this latest clear warning, health plans and their fiduciaries, sponsors and administrators, health care providers, health care clearinghouses and their business associates should review plans, practices and data security as affecting ePHI and other protected health information on mobile and other devices. [read post]
14 Mar 2019, 7:29 am by Cynthia Marcotte Stamer
Stamer’s clients include employers and other workforce management organizations; employer, union, association, government and other insured and self-insured health and other employee benefit plan sponsors, benefit plans, fiduciaries, administrators, and other plan vendors;   domestic and international public and private health care, education and other community service and care organizations; managed care… [read post]