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Medical Billing Services in Iowa (IA) - 24/7 Medical Billing Services
Leading Medical Billing Services provider in Iowa (IA). Boost your practice revenue with 24/7 Medical Billing Services.
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Leading Accredited Medical Billing and Coding Schools: Your Path to a Rewarding Healthcare Career
Top Accredited Medical Billing and Coding Schools: Your Path to a Rewarding Healthcare Career
The healthcare industry continues to grow, creating a wealth of opportunities for skilled professionals. Among these careers, medical billing and coding play a crucial role in ensuring that healthcare providers receive proper compensation for their services. If you’re looking to enter this field, choosing the right educational institution is paramount. In this article, we will explore some of the top accredited medical billing and coding schools, the benefits of this career, and practical tips for success.
What is Medical Billing and Coding?
Medical billing and coding involve translating healthcare services into standardized codes, which are then used for billing purposes. This field requires precision and a strong understanding of medical terminology, which is why formal education and training are essential.
Benefits of Pursuing a Career in Medical Billing and Coding
Job Stability: The demand for medical billing and coding professionals is expected to grow, offering long-term job security.
Flexible Work Surroundings: Many positions offer remote work opportunities, allowing for a better work-life balance.
Short Training Period: Most programs can be completed in less than two years, getting you into the workforce quickly.
competitive Salary: medical billers and coders can earn a competitive wage, with opportunities for advancement.
Top Accredited Medical Billing and Coding Schools
Here, we highlight some of the best schools that offer accredited medical billing and coding programs.
School Name
Location
program Length
Website
Southern Iowa Community College
Creston, IA
1 year
siccm.edu
Penn Foster College
Online
9 months
pennfoster.edu
University of Phoenix
Online
2 years
phoenix.edu
American national University
Various Locations
1 year
an.edu
Brookline College
Phoenix, AZ
1 year
brooklinecollege.edu
How to Choose the Right Medical Billing and Coding School
When selecting a school, consider the following factors:
Accreditation: Ensure the program is accredited by a recognized body, such as the Commission on Accreditation for Health Informatics and Information Management Education (CAHIIM).
Curriculum: Look for comprehensive programs that cover medical terminology, coding systems, and billing practices.
Adaptability: Assess whether the school offers online or hybrid courses if you require a flexible schedule.
Support Services: Investigate career services and support offered to students and graduates.
Practical Tips for Succeeding in medical Billing and Coding
stay Updated: Healthcare coding standards change regularly, so continuous learning is vital.
Network: Join professional organizations like the American Academy of Professional Coders (AAPC) to connect with others in the field.
Gain Experience: Consider internships or entry-level positions to build your resume while studying.
Case Studies: Successful Graduates
Here are a few examples of individuals who have succeeded in the medical billing and coding field:
Sarah’s Journey
After completing her certificate at Southern Iowa Community college,Sarah quickly secured a remote position with a healthcare provider. She credits her success to the hands-on experience she gained during her studies.
Mike’s Path
Mike studied online at Penn Foster College while balancing a full-time job. the flexibility of the program allowed him to learn at his own pace and eventually transition into a medical coding specialist role at a local hospital.
Conclusion
Medical billing and coding is a rewarding career path that offers numerous opportunities for growth and stability. By choosing one of the top accredited schools listed above, you can acquire the knowledge and skills needed to succeed in this essential part of the healthcare system. Whether you’re looking to make a career change or enter the workforce for the first time, take the first step today by researching your options and applying to the program that best fits your needs. Your future in healthcare awaits!
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Abortion Rights in Iowa
In June 2022, the United States Supreme Court overturned the ruling of the landmark 1973 case Roe v. Wade, which had previously provided federal protections of the right to abortion.
With the responsibility of protecting the right to reproductive freedom left to the states, it can be difficult to keep track of all the constantly changing laws and regulations. To help, we’ve gathered the most important information on your state’s current laws, restrictions, and related details. Below is what you need to know about Iowa’s current abortion legislation.
*Please note, information on this website should not be used as legal advice or as a basis for medical decisions. Consult an attorney and/or a physician for your particular case.
Where does the law currently stand on abortion in the state of Iowa?
Abortion is currently legal but heavily restricted in the state of Iowa.
When did Iowa’s current abortion legislation go into effect?
Following the overturning of Roe v Wade (1973) in 2022, Iowa attempted to enforce a 6-week ban on abortion, which was enjoined by the Iowa Supreme Court, and is not in effect. Since then, the Governor has attempted to challenge this decision but was rejected by the courts, and abortion remains legal in the state of Iowa until 20 weeks. However, Iowa has a variety of medically unnecessary, hostile restrictions to abortion access in place.
For more information on your state’s abortion legislation, see our breakdowns of various abortion bans, restrictions, and protections in the U.S.
Are there any legal restrictions to abortion access in the state of Iowa?
Currently, abortion is legal before the gestational age of 20 weeks in the state of Iowa. Past this point, an abortion is allowed only when necessary to preserve the life or health of the patient, or in the case of a reported rape or incest, as determined by a physician.
The specifics can be read in Iowa Legal Code 146B
I am pregnant in the state of Iowa and wish to terminate my pregnancy. What now?
If you believe your pregnancy meets the requirements for a legal abortion in your state, (see the above on exceptions), schedule an appointment with a trusted physician as soon as possible. If not, you will need to arrange an appointment at a clinic providing abortion services out of state. Make sure the state you choose allows abortions at the gestational age your pregnancy will reach by the appointment date.
If you need financial assistance to do this, there are existing funds to help cover both the procedure and travel costs.
Abortion funds can assist with the medical cost of the abortion itself. Practical Support Organizations, (PSOs), can assist with other costs incurred seeking an out-of-state abortion such as travel, lodging, childcare, provider referrals, emotional support, and judicial bypass for minors, among other needs. Here are a few resources available to those seeking support in Iowa:
Our Justice's Abortion Assistance Fund [Fund & PSO] – Provides support for those seeking an abortion from Iowa. Offers support and financial aid for abortion, lodging, and emergency contraception (the morning-after pill). See their website for more information.
deProsse Access Fund of the Emma Goldman Clinic [Fund & PSO] – Provides support for those seeking an abortion from Iowa. Offers support and financial aid for abortion. See their website for more information.
Chicago Abortion Fund [Fund & PSO] – Provides support for those seeking an abortion from Iowa. Offers financial aid and support for abortion, lodging, transit (local and long-distance), provider referrals, gas money, food assistance, emotional support, rideshare, rental car assistance, childcare assistance, and judicial bypass support. Provides Spanish language support. See their website for more information.
Iowa Abortion Access Fund [Fund] – Provides support for those seeking an abortion from Iowa. Offers financial aid for abortion. See their website for more information.
Midwest Access Coalition [PSO] – Provides support for those seeking an abortion from Iowa. Offers financial aid and support in the form of lodging, transit, gas money, transit (local and long-distance), food assistance, emotional support, rideshare, childcare assistance, and emergency contraception (the morning-after pill). See their website for more information.
National Abortion Hotline [Fund & PSO] – Provides support for those seeking an abortion Nationwide. Offers financial aid for abortion, transit, and provider referrals. Provides Spanish language support. See their website for more information.
Women’s Reproductive Rights Assistance Project [Fund] – Provides funding for those seeking an abortion Nationwide. Offers financial aid for abortion and emergency contraception (the morning-after pill). See their website for more information.
Abortion Freedom Fund [Fund] – Provides funding for those seeking an abortion Nationwide. Offers financial aid for abortion. See their website for more information.
Indigenous Women Rising [Fund] – Provides funding for Indigenous individuals Nationwide seeking an abortion. Offers financial aid for abortion. See their website for more information.
Reprocare [PSO] – Provides support for those seeking an abortion Nationwide. Offers aid in the form of provider referrals, emotional support, language services, and abortion doula services. Provides Spanish language support. See their website for more information.
The Brigid Alliance [PSO] – Provides support for those seeking an abortion Nationwide. Offers aid in the form of provider referrals, emotional support, language services, and abortion doula services. Provides Spanish language support. See their website for more information.
Regardless of the legislation your state currently has in place, remember that safe and legal options are always available. The most important tool you can arm yourself with in these difficult times is knowledge, so stay informed about changes in legislation and policy where you live, and know that there are always resources available to help you through this ♥️
#roe v wade#reproductive justice#iowa#abortion#abortion access#reproductive health#reproductive freedom#scotus#supreme court#pro choice#abortion ban#abortion is healthcare#politics
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Surgical first assistant scope of practice

#SURGICAL FIRST ASSISTANT SCOPE OF PRACTICE CODE#
Intraoperatively, the RN first assistant practices at the direction of the surgeon and should not concurrently function as a scrub nurse. The RN first assistant (RNFA) is a perioperative registered nurse who works with the surgeon and health care team members to provide safe and competent care to patients. Reinstatement Process for Sanctioned Licenses.Board Orders - (including disciplinary actions).Complaints the IBON Will Not Investigate.What Happens if a Complaint is Filed Against Me?.Authorization for Release of Medical Records.Nursing Education Program Survey Site Information.Criteria for Out of State Nursing Programs.Continuing Education - Units of Measurement.Academic Credit to Meet Continuing Ed Requirement.Diagnostic Testing and Treatment of Sleep-Related Disorders Policy.Provision of Nursing Services by Telehealth/Electronic Means.National Transportation Safety Board Recommendation.Iowa Supreme Court Decision - Fluoroscopy.Prescription Monitoring Program (PMP) Prescriber Activity Reports (PARs).Petition for Exemption from Mandate for Electronic Transmission of Prescriptions.LPN Scope of Practice & Assessment Information.License Verification/Notification System.Fee Waiver for Federal Poverty Level Thresholds.NCLEX Candidate Bulletin/Register Online.Endorsement - Licensure from Another State.Opioid Prescribing - Continuing Education Requirements for ARNPs.Iowa Prescription Monitoring Program (PMP).
#SURGICAL FIRST ASSISTANT SCOPE OF PRACTICE CODE#
Petition for Waiver - Iowa Administrative Code.
Other State Boards - Nursing Licensure Compact.
Iowa Center for Nursing Workforce Advisory Committee Members.

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Tweeten lutheran healthcare center

#TWEETEN LUTHERAN HEALTHCARE CENTER PDF#
#TWEETEN LUTHERAN HEALTHCARE CENTER UPDATE#
#TWEETEN LUTHERAN HEALTHCARE CENTER FULL#
Available for fiscal year 2015 and later. PDFs of single or program-specific audits for nonprofit organizations that spent $750,000 or more in Federal grant money in a single fiscal year. Electronic data released prior to October 2021 is also available through Amazon Web Services. Only available for electronically filed documents. Includes complete filing data (financial details, names of officers, tax schedules, etc.) in machine-readable format.
#TWEETEN LUTHERAN HEALTHCARE CENTER PDF#
Bulk PDF downloads since 2017 are available from the IRS. Prior to 2017, these documents were obtained and processed by and ProPublica. You can merge this with the raw filing data using EIN numbers. Includes organization names, addresses, etc. Tweeten Lutheran Health Care Center is a skilled nursing facility offering the best therapy and care in Spring Grove, MN, read more about our services. Includes EINs and summary financials as structured data. Read the API documentation » Get the Dataįor those interested in acquiring the original data from the source, here’s where our data comes from: The data powering this website is available programmatically, via an API. There are 27 nonprofit designations based on the numbered subsections of section 501(c) of the tax code. Small organizations filing a Form 990N "e-Postcard" are not included in this data. Taxable trusts and private foundations that are required to file a form 990PF are also included. Nonprofit Explorer has organizations claiming tax exemption in each of the 27 subsections of the 501(c) section of the tax code, and which have filed a Form 990, Form 990EZ or Form 990PF. Organizations making less than $50,000 don’t have to file either form but do have to let the IRS they’re still in business via a Form 990N "e-Postcard." Which Organizations Are Here?Įvery organization that has been recognized as tax exempt by the IRS has to file Form 990 every year, unless they make less than $200,000 in revenue and have less than $500,000 in assets, in which case they have to file form 990-EZ. tweeten lutheran health care center 125 5th avenue southeast spring grove, mn 55974 12. These audits are copied from the Federal Audit Clearinghouse. Nearby Hospitals Mercy Medical Center - New Hampton, Iowa 50659 Palmer Lutheran Hlth Center - West Union, Iowa 52175 Regional Health Services - Cresco, Iowa. We also link to copies of audits nonprofit organizations that spent $750,000 or more in Federal grant money in a single fiscal year since 2016.
#TWEETEN LUTHERAN HEALTHCARE CENTER UPDATE#
This consists of separate releases by the IRS of Form 990 documents processed by the agency, which we update regularly.
#TWEETEN LUTHERAN HEALTHCARE CENTER FULL#
In addition to the raw summary data, we link to PDFs and digital copies of full Form 990 documents wherever possible. This data release includes only a subset of what can be found in the full Form 990s. The summary data contains information processed by the IRS during the 2012-2019 calendar years this generally consists of filings for the 2011-2018 fiscal years, but may include older records. Lastly, this place received a grade of B- for its short-term care grade and a grade of B- in the area of long-term care.Nonprofit Explorer includes summary data for nonprofit tax returns and full Form 990 documents, in both PDF and digital formats. In addition, Decorah earned a B+ in the area of nursing. Nursing homes with better grades in this area tend to have very few of these severe deficiencies. One key criteria we weigh heavily is the quantity and severity of deficiencies. Our inspection ratings account for several factors found on a nursing home's inspection reports. As a result, we awarded it one of our highest grades in that category with an A. In fact, some of the nursing homes in the city received virtually flawless inspection reports this year. In addition to performing well in its overall grade, most of the facilities in Decorah performed remarkably well in the category of inspections. The occupancy rate is 50, with 50 total beds and 25 residents. This facility was first approved to provide Medicare/Medicaid services 35 years ago, on 2-1-87. This Spring Grove, Minnesota nursing home is not located within a hospital. You can find more information about these in the next section. Tweeten Lutheran Health Care Center is a non-profit owned nursing home. This city's profile was also very consistent as it didn't receive a single weak category grade either. This is as good or better than the city grade of most of the cities in the United States. We awarded this small group of nursing homes a city grade of B, which is a quality grade. There are only 2 nursing homes in the city, which doesn't offer you too many choices. With a population of 13,864, Decorah, Iowa is a small city.

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Medisys provides expert coding & billing services to physician practices. Our billing staff is well versed with billing guidelines in the state Iowa. We make sure that we stay on top of changing procedures and legislations that affect Iowa providers
#Medical Billing Outsourcing#Outsourcing Medical billing services in Iowa#Iowa Medical Billing Outsourcing#Medical Billing Outsourcing in Iowa#Medical Billing Outsourcing Services in Iowa#Outsource Medical Billing Services in Iowa#Outsource Medical Billing Company in Iowa#Revenue cycle management
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Durable Medical Equipment(DME) Billing Services in Iowa (IA) - 24/7 Medical Billing Services
Leading Durable Medical Equipment (DME) Billing Services provider in Iowa (IA). 12+ years of expert DME Billing Services. Call 888-502-0537
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Medisys provides expert coding & billing services to physician practices. Our billing staff is well versed with billing guidelines in the state Iowa. We make sure that we stay on top of changing procedures and legislations that affect Iowa providers
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Medical Billing Services In Iowa (IA)
The state of Iowa, bordered by Missouri and Mississippi rivers, is also known as the Hawkeye state. The main occupation of the people in the city is agriculture. This is one of the most densely populated state flourishing with its agriculture-based economy. Manufacturing, finance, and technology are some of the contributing factors towards its economy. The city is now equipped with the best billing service – 24/7 Medical Billing Services.
The main advantage of using our billing services is that clients get a one-stop solution for all their billing requirements. We provide numerous services to help achieve higher efficiency in medical billing. Our team at 24/7 Medical Billing Services understands how doctors are short pressed for time during the weekdays, and so are patients with their daily routine. With this understanding we make ourselves available 24X7 all through the year to solve coding and billing issues, and help you get your payments on time. Your patients can call us anytime for any kind of clarification regarding the billing while you sit back and keep a tab on the revenue cycle management process remotely. We are here to increase your revenue and cut down operational costs with services that are at par with international standards.
Save time and money, on a daily basis! Enjoy more hours with family and friends
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Dme Mac Supplier Manual Jurisdiction B
Get Free Dme Mac Supplier Manual Jurisdiction B Dme Mac Supplier Manual Jurisdiction B When people should go to the books stores, search instigation by shop, shelf by shelf, it is in point of fact problematic. This is why we present the book compilations in this website. Medicare Supplier Directory National Supplier Clearinghouse (NSC) 866-238-9652 Pricing, Data Analysis and Coding (DME PDAC) 877-735-1326. Medicare DME MAC Contractors. Jurisdiction A - 866-419-9458 Jurisdiction B - 866-590-6727 Jurisdiction C - 866-270-4909 Jurisdiction D - 877-320-0390. DME MAC or ZPIC medical staff must resolve the issue. Acceptability of Faxed Orders and Facsimile or Electronic CMNs or DIFs CMS Manual System, Pub. 100-08, Medicare Program Integrity Manual, Chapter 5, §5.3 When reviewing claims and orders or auditing CMNs or DIFs for DMEPOS, DME MACs and ZPICs.
A/B MAC Jurisdiction L; A/B MAC Jurisdiction M (Processes HH+H claims) A/B MAC Jurisdiction N; return to top. The DME MACs process Medicare Durable Medical Equipment, Orthotics, and Prosthetics (DMEPOS) claims for a defined geographic area or 'jurisdiction,' servicing suppliers of DMEPOS. Learn more about the DME MAC in each. Jurisdiction B Supplier Manual This manual contains an overview of important and useful information for DMEPOS suppliers regarding the MEdicare program. This manual contains an overview of important and useful information for DMEPOS suppliers regarding the MEdicare program.
Dme Mac Supplier Manual Jurisdiction By State
* Georgia Medicare DME Fee Schedule 2020 * DME Provider Medicare Credentialing Requirements 2020 * DME Medicare Info 2020
Medicare Jurisdiction B DME MAC
PDF download:
DME MAC Jurisdiction B Award Fact Sheet – CMS
Sep 3, 2015 … Durable Medical Equipment Medicare Administrative Contractor … The Jurisdiction B DME MAC serves Medicare beneficiaries who reside in …
MM9526 – CMS
Mar 17, 2016 … Implementation of the Award for Jurisdiction B Durable Medical Equipment. (DME ) Medicare Administrative Contractor (MAC) Workload.
CMS Manual System
Mar 11, 2016 … SUBJECT: Implementation of the Award for Jurisdiction B Durable Medical Equipment (DME). Medicare Administrative Contractor (MAC) …
DME Jurisdiction Map – CMS
JA awarded to Noridian December 2015; implementation in progress. * JB awarded to CGS in September 2015; implementation in progress. DME Jurisdiction …
DMERC and DME MAC Contacts – CMS
May 15, 2008 … DMERC and DME MAC Contacts. Revised: May 15 … Region B: 877-299-7900 ( IVR). 866-590-6727 … Region C: 1-800 MEDICARE. Region D: …
Award of DME MAC Contract for Jurisdiction B – CMS
Sep 10, 2015 … Durable Medical Equipment Medicare Administrative Contractor … The Jurisdiction D DME MAC serves Medicare beneficiaries who reside in …
One-Time Notification – CMS
Mar 11, 2016 … Jurisdiction B (JB) Durable Medical Equipment (DME) Medicare … CMS does not construe this as a change to the MAC Statement of Work.
What is a meta description? The meta description is an HTML attribute that provides a brief summary of a web page. Search engines such as Google often display the meta description in search results, which can influence click-through rates. Meta-descriptions play a big role in search results. In case you're unfamiliar with the term, a meta description is the snippet of information below the link of a search result. Its purpose is to describe the contents of the page to the searcher. The end goal is to convince and persuade the searcher to click through to your website. Meta description.
Medicare Claims Processing Manual – CMS
Apr 24, 2012 … 10.1.1 – Payment Jurisdictions Among A/B MACs (B) for Services Paid … 10.1.9.5 – An A/B MAC (B) or DME MAC Receives a Claim for a UMWA.
MEDICARE ENROLLMENT APPLICATION CMS-855S
DMEPOS SUPPLIER STANDARDS FOR MEDICARE ENROLLMENT …. DME MAC: Durable Medical Equipment Medicare …. All States in Jurisdiction B. Illinois .
Medicare Claims Processing Manual – CMS
Jun 30, 1993 … 50.2 – A/B MAC (A) or (HHH) Format for Durable Medical Equipment, …. for covered items, within their claims processing jurisdictions, supplied …
module 4: medicare part b medical insurance – New York State …
Dme Mac Jurisdiction B Supplier Manual Chapter 5
Medicare Part A and Part B MAC for all of New York State is National Government Services. …. NHIC is the Jurisdiction A Durable Medical Equipment Medicare …
Medical Foods for – DHCFP How to use passport photo tool for macbook pro.
May 1, 2016 … APPENDIX B – COVERAGE AND LIMITATIONS POLICIES …. DURABLE Embarrassing medical exams video. MEDICAL EQUIPMENT MEDICARE ADMINISTRATIVE CONTRACTOR …. the DME. MAC Jurisdiction D Supplier Manual, Chapter 3 – Documentation.
Quarterly Listing of Program Issuances-January Through March 2016
May 9, 2016 … Part A/Part B (A/B) Durable Medical Equipment (DME) Medicare … trative Contractor (MAC) and the Single Testing Contractor (STC) …… Award of Medicare Administrative Contractor (MAC) Contract for Jurisdiction 15. 1601 .
CMS-6072-N
Dme Mac Jurisdiction B Or C Supplier Manual Chapter 6
Dec 21, 2016 … (DMEPOS) is a covered benefit under Part B of the Medicare program. …. to one state in each of the DME MAC geographic jurisdictions allows …
Appendix for SEER-Medicare 11/2016 Claims Files – Healthcare …
Employee: a Medicare beneficiary who is still working or a worker who died before retirement … B = End stage renal disease (ESRD) beneficiary in the 18 month coordination period with …. MTUSIND (for DME) … 1998; term. 02/2008) ( replaced by MAC #04202 — see below) …. JURISDICTION 1 — Part B MACs. 01002 = J1 …
Part 1 – Iowa Department of Human Services
May 23, 2014 … 5.1.6.1.2 A/B MAC Jurisdiction 3 . … 5.1.6.1.4 Legacy Medicare Part A and B Contracts . Wd my passport user manual for mac. …. 5.2.4.1.2 Jurisdiction D DME MAC (Noridian) .
Improving Audits: How We Can Strengthen the Medicare Program …

The Impact of Current CMS Strategies to Reduce Medicare FFS Improper Payment Rate …. The same MACs now process both Part A and Part B claims, … http://www.cms.gov/Medicare/Medicare-Contracting/Medicare-Administrative- Contractors/DME-MAC- … place for reducing improper payments made in their jurisdiction.
Durable Medical Equipment – Mass.Gov
Mar 5, 2010 … For durable medical equipment, those matters are covered in 130 CMR …. MassHealth DME provider in accordance with 42 CFR 431.52(b) and 130 …. (e) the Region A Durable Medical Equipment Carrier (DME Medicare Administrative … the instructions established by the Region A DME MAC and in …
RL34217, Medicare Program Integrity: Activities to Protect Medicare …
Dme Mac Supplier Manual Jurisdiction Based
Jul 12, 2011 … Medicare program integrity activities are funded in statute, largely through …. 6 DME includes hospital beds, wheelchairs, respirators, walkers, artificial …. implementing the A/B MAC contracts in two other Jurisdictions (11 and …
Download US Complaint in Intervention – US Department of Justice
Sep 2, 2015 … from Medicare prior to supplying DME to Medicare patients, and the … Court may exercise personal jurisdiction over Qualium Corporation d/b/a …. Palmetto GBA ( “Palmetto”) was the MAC responsible for processing Medicare.
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Loading and Unloading Equipment Services in Wichita KS | A1 Mobile Mechanics Of Wichita
More information is at: http://mobilemechanicwichitakansas.org/loading-and-unloading-equipment-service-near-me/ Looking for a towing service to move from one house to another in Lincoln but you have not found a moving company that can help you, you’ve found your answer. Whether you are moving into Wichita KS for your first time, or if you are moving out of the city, we can provide you with movers that can accommodate your needs. We are from A1 Mobile Mechanics Of Wichita will help you to do everything you need without any damage to your package. Our Loading and Unloading services are far better than any other in terms of advance tools and specimen. So you just need to call us for Costs? Free Estimate.
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Contact us: A1 Mobile Mechanics of Wichita 24-hour mobile mechanic roadside assistance services in Wichita, KS! CALL: (316) 201-9247 MOBILE MECHANIC WEBSITE: www.mobilemechanicwichitakansas.org Service Area: 55 Cities within 30 miles of Wichita, KS: Andale, KS | Andover, KS | Argonia, KS | Augusta, KS | Belle Plaine, KS | Bentley, KS | Benton, KS | Buhler, KS | Burns, KS | Burrton, KS | Cheney, KS | Clearwater, KS |Colwich, KS | Conway Springs, KS | Danville, KS | Derby, KS | Douglass, KS | Elbing, KS | Garden Plain, KS | Goddard, KS | Greenwich, KS | Halstead, KS | Harper, KS | Haven, KS | Haysville, KS | Hesston, KS | Hutchinson, KS | Kechi, KS | Maize, KS | Mayfield, KS | Mcconnell AFB, KS | Milan, KS | Milton, KS | Mount Hope, KS | Mulvane, KS | Murdock, KS | Newton, KS | North Newton, KS | Norwich, KS | Peck, KS | Potwin, KS | Pretty Prairie, KS | Rock, KS | Rose Hill, KS | Sedgwick, KS | South Hutchinson, KS | Towanda, KS | Udall, KS | Valley Center, KS | Viola, KS | Walton, KS | Wellington, KS | Whitewater, KS | Winfield, KS | Yoder, KS ZIP CODES: 67001 – Andale | 67016 – Bentley | 67017 – Benton | 67020 – Burrton | 67025 – Cheney | 67026 – Clearwater | 67030 – Colwich | 67031 – Conway Springs | 67037 – Derby | 67039 – Douglass | 67050 – Garden Plain | 67052 – Goddard | 67055 – Greenwich | 67060 – Haysville | 67067 – Kechi | 67101 – Maize | 67106 – Milton | 67108 – Mt Hope | 67110 – Mulvane | 67118 – Norwich | 67120 – Peck | 67133 – Rose Hill | 67135 – Sedgwick | 67147 – Valley Center | 67149 – Viola | 672xx – Wichita | 67204 – Park City or Wichita | 67219 – Park City or Wichita | 67220 – Bel Aire or Wichita | 67221 – McConnell AFB | 67226 – Bel Aire or Wichita | 67543 – Haven
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Critical Access, Essential Revenue: Tactics for Rural Health Clinics

Rural Health Clinics (RHCs) provide crucial medical services to people with limited resources in the United States' vast rural regions, where communities are dispersed and access to healthcare is restricted. However, a lot of these clinics struggle with severe financial issues that affect their long-term viability and capacity to provide high-quality care.
We'll examine the particular revenue challenges faced by RHCs, as well as present practical solutions to get past them and maintain these vital healthcare providers' financial stability.
Understanding Critical Access Hospitals and Rural Health Clinics
Critical Access Hospitals (CAHs) and Rural Health Clinics (RHCs) are the cornerstones of rural healthcare delivery. RHCs support rural communities with primary care, preventative care, and wellness initiatives, whereas CAHs are designated facilities that offer vital inpatient, outpatient, and emergency services to underserved areas.
Obstacles to Revenue for Rural Health Clinics
Few of the revenue-generating obstacles that RHCs must deal with-
Limited patient numbers
A high proportion of underinsured or uninsured patients
Problems with payment
A National Rural Health Association (NRHA) survey indicates that about 60% of RHCs have negative operating margins, underscoring the financial difficulties these facilities face.
Tactics for Optimizing Revenue for Rural Health Clinics
Rural Health Clinics (RHCs) face distinct revenue challenges due to patient demographics and geographic limitations. To address these, RHCs must focus on patient engagement, revenue cycle management, technology adoption, community partnerships, regulatory compliance, and coding improvement.
These strategies ensure optimal revenue generation, supporting RHCs in providing vital healthcare services to rural populations.
Patient Engagement and Outreach
By providing wellness initiatives, health education seminars, and preventative care services, RHCs can become respected healthcare partners in their communities and foster patient satisfaction and loyalty. A survey conducted by the Rural Policy Research Institute (RUPRI) found that patients are more inclined to go to RHCs that provide extensive and easily accessible services for their care.
Collaborations with the Community and Assistance
RHCs can get extra resources, financing opportunities, and grant support by working with neighborhood organizations, civic leaders, and other healthcare providers to broaden their service offerings and target marginalized communities. Strong community collaborations at RHCs lead to better financial performance and higher patient satisfaction rates, according to a University of Iowa study.
Innovation and Technology Integration
Electronic health record (EHR) systems, telemedicine platforms, and other digital health solutions can be implemented to lessen administrative hassles associated with paper-based workflows, improve patient access to services, and improve care coordination. Higher patient engagement and better health outcomes are reported by RHCs who use telehealth technology, according to research from the Agency for Healthcare Research and Quality (AHRQ).
Adherence to Regulations and Enhancement of Quality
Rehab centers (RHCs) show their dedication to patient safety, high-quality care, and regulatory compliance. It follows local, state, and federal standards, taking part in quality improvement efforts, and seeking accreditation from reputable healthcare organizations. The Centers for Medicare & Medicaid Services (CMS) reports that accredited RHCs have better patient satisfaction scores and less adverse event rates.
Outsource to RHC Billing Company
In conclusion, strategic approaches can assist in overcoming the major income issues faced by rural health clinics and ensuring their financial viability. RHCs can prosper in the current healthcare environment by emphasizing improving coding and documentation, streamlining revenue cycle management, patient involvement, community partnerships, technological innovation, and regulatory compliance.
24/7 Medical Billing Services is a reputable RHC billing company that offers customized solutions to maximize revenue cycles and guarantee rural healthcare providers' financial stability. Reach out to us right away 888-502-0537 to discover more and start down toward financial success today.
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Hawaii Officials Discuss Ways State Can Petition DEA For Exception To Federal Marijuana Schedule I Classification
By: Jason Karimi, WeedPress Contributor Title: Hawaii Officials Discuss Ways State Can Petition DEA For Exception To Federal Marijuana Schedule I Classification Sourced From: weedpress.wordpress.com/2021/03/25/hawaii-officials-discuss-ways-state-can-petition-dea-for-exception-to-federal-marijuana-schedule-i-classification/ Published Date: Fri, 26 Mar 2021 05:30:39 +0000
The roughly 2,000 Facebook followers and email subscribers here at WeedPress should be intrigued. On Tuesday this week, Hawaii’s Health, Human Services, and Homelessness committee discussed Hawaii House Concurrent Resolution 132. HCR 132 directs Hawaii officials to begin the process of “requesting the Department of Health to submit a request to the Drug Enforcement Administration for an exception to regulations and a petition to initiate proceedings for federal rulemaking to clarify that the state-authorized use of medical cannabis does not violate the federal controlled substances act.”
Below is recent discussion by Hawaii officials, as well as the full text of the proposal. Discussion is two minutes; the text is roughly one single-spaced page.
To view original video by clicking here: Hawaii House of Representatives YouTube channel.
Special thanks to Kurt Hanna of the Minnesota chapter of Republicans Against Marijuana Prohibition (RAMP) for the find. Follow RAMP_MN on Twitter. To read more on Minnesota’s effort

Follow RAMP on twitter at twitter.com/ramp_mn
Similar legislation is being advanced and discussed in Minnesota. Iowa officials have also agreed to apply to DEA for a federal exemption as well. Click here to follow WeedPress on Facebook for more upcoming articles as we continue our 12 year effort to end this unnecessary conflict between state and federal law — and bring law and order to otherwise lawful state medical marijuana industries.
Read more at WeedPress: Minnesota Bill Requireing Minnesota’s Medical Marijuana Progrm Be Exempted From Federal Law ADVANCES
Read more at Marijuana Moment: Iowa Officials To Seek Federal Marijuana Exemption From DEA
Other medical cannabis states are on board with following this already provided for legal remedy, most notably those of Iowa and Minnesota, who have been leading the effort by the states to properly exempt state medical marijuana industry from federal laws.
https://twitter.com/MNFamilyCouncil/status/441014202686140416
Back in 2014, the Minnesota Family Council (@MNFamilyCouncil on twitter), claimed that state marijuana laws are seemingly in violation of federal law. See the Family Council’s 2014 tweet on the right. Glad to report the Council should be satisfied that there is a solution advancing in cold Minnesota to the Minnesota Family Council’s wisely perceived problem.
Our current system of government already allows a process and solution to solve this the conflict between state and federal marijuana laws, and these three states, Hawaii, Iowa, and Minnesota, are in the lead to use this solution, 26 years after the first medical marijuana law was passed to allow for compassionate marijuana medicines to be provided to patients who otherwise could not find adequate relief for their medical conditions.
As the Hawaii House Health, Human Services, & Homelessness Committee discussed this past Tuesday March 23, the solution to the Minnesota Family Council’s problem with medical marijuana is found in Title 21 Code of Federal Regulations section 1307.03, which allows the Administrator of the Drug Enforcement Administration to grant exceptions to certain federal regulations.
Hawaii’s language also states “BE IT FURTHER RESOLVED that when making a petition for federal rule making in accordance with Title 21 Code of Federal Regulations section 1308.43, the Department of Health is urged to offer the following proposed language: “§1307. State Authorization. The listing of marijuana as a controlled substance in Schedule I does not apply to the state-authorized use of marijuana, and persons using marijuana in compliance with state law are exempt from registration.”” Read the full text of HCR 132 below:
HOUSE OF REPRESENTATIVESH.C.R. NO.132THIRTY-FIRST LEGISLATURE, 2021H.D. 1STATE OF HAWAII
HOUSE CONCURRENT
RESOLUTION
REQUESTING THE DEPARTMENT OF HEALTH TO SUBMIT A REQUEST TO THE DRUG ENFORCEMENT ADMINISTRATION FOR AN EXCEPTION TO REGULATIONS AND A PETITION TO INITIATE PROCEEDINGS FOR FEDERAL RULEMAKING TO CLARIFY THAT THE STATE-AUTHORIZED USE OF MEDICAL CANNABIS DOES NOT VIOLATE THE FEDERAL CONTROLLED SUBSTANCES ACT.
WHEREAS, when Act 228, Session Laws of Hawaii 2000 (Act 228), was enacted, Hawaii became the first state to authorize the use of medical marijuana to treat debilitating medical conditions including cancer, glaucoma, human immunodeficiency virus, acquired immune deficiency syndrome, and other chronic or debilitating diseases; and
WHEREAS, at the time Act 228 was enacted there was ample evidence to show that medical marijuana helps to alleviate pain and has other benefits for severely ill patients; and
WHEREAS, federal law expressly prohibits the use of marijuana, despite the evidence of the benefits of using medical cannabis; and
WHEREAS, this lack of clarity between state and federal marijuana laws has repercussions for medical cannabis patients and the State’s medical cannabis dispensaries, including loss of employment and discrimination in child custody hearings, federally subsidized housing, and applications for federal firearms permits, life insurance, and disability insurance for patients who use medical cannabis in compliance with state law; and
WHEREAS, Title 21 Code of Federal Regulations section 1307.03 allows the Administrator of the Drug Enforcement Administration to grant exceptions to certain federal regulations; and
WHEREAS, obtaining an exception from the federal Controlled Substances Act for the state-authorized use of medical cannabis would benefit the State’s residents who use medical cannabis and the State’s medical cannabis dispensaries; now, therefore,
BE IT RESOLVED by the House of Representatives of the Thirty-first Legislature of the State of Hawaii, Regular Session of 2021, the Senate concurring, that the Department of Health is requested to submit a request to the Drug Enforcement Administration for an exception to regulations and a petition to initiate proceedings for federal rulemaking to clarify that the state-authorized use of medical cannabis does not violate the federal Controlled Substances Act; and
BE IT FURTHER RESOLVED that when making the request for an exception to regulations, the Department of Health is urged to argue that Hawaii’s medical cannabis laws do not create any positive conflict with state or federal drug laws and to request a written acknowledgement from the Drug Enforcement Administration that the listing of marijuana as a controlled substance in Schedule I of the federal Controlled Substances Act does not apply to the non-prescription use of cannabis under Hawaii’s medical cannabis registry and medical cannabis dispensary programs; and
BE IT FURTHER RESOLVED that when making a petition for federal rule making in accordance with Title 21 Code of Federal Regulations section 1308.43, the Department of Health is urged to offer the following proposed language: “§1307. State Authorization. The listing of marijuana as a controlled substance in Schedule I does not apply to the state-authorized use of marijuana, and persons using marijuana in compliance with state law are exempt from registration.”; and
BE IT FURTHER RESOLVED that certified copies of this Concurrent Resolution be transmitted to the members of Hawaii’s Congressional Delegation, Governor, Attorney General, and Director of Health.

Curated by Thc 420 Hemp
Via https://weedpress.wordpress.com/2021/03/25/hawaii-officials-discuss-ways-state-can-petition-dea-for-exception-to-federal-marijuana-schedule-i-classification/
source https://lauragfollett.weebly.com/blog/hawaii-officials-discuss-ways-state-can-petition-dea-for-exception-to-federal-marijuana-schedule-i-classification
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Hawaii Officials Discuss Ways State Can Petition DEA For Exception To Federal Marijuana Schedule I Classification
By: Jason Karimi, WeedPress Contributor Title: Hawaii Officials Discuss Ways State Can Petition DEA For Exception To Federal Marijuana Schedule I Classification Sourced From: weedpress.wordpress.com/2021/03/25/hawaii-officials-discuss-ways-state-can-petition-dea-for-exception-to-federal-marijuana-schedule-i-classification/ Published Date: Fri, 26 Mar 2021 05:30:39 +0000
The roughly 2,000 Facebook followers and email subscribers here at WeedPress should be intrigued. On Tuesday this week, Hawaii’s Health, Human Services, and Homelessness committee discussed Hawaii House Concurrent Resolution 132. HCR 132 directs Hawaii officials to begin the process of “requesting the Department of Health to submit a request to the Drug Enforcement Administration for an exception to regulations and a petition to initiate proceedings for federal rulemaking to clarify that the state-authorized use of medical cannabis does not violate the federal controlled substances act.”
Below is recent discussion by Hawaii officials, as well as the full text of the proposal. Discussion is two minutes; the text is roughly one single-spaced page.
youtube
To view original video by clicking here: Hawaii House of Representatives YouTube channel.
Special thanks to Kurt Hanna of the Minnesota chapter of Republicans Against Marijuana Prohibition (RAMP) for the find. Follow RAMP_MN on Twitter. To read more on Minnesota’s effort

Follow RAMP on twitter at twitter.com/ramp_mn
Similar legislation is being advanced and discussed in Minnesota. Iowa officials have also agreed to apply to DEA for a federal exemption as well. Click here to follow WeedPress on Facebook for more upcoming articles as we continue our 12 year effort to end this unnecessary conflict between state and federal law — and bring law and order to otherwise lawful state medical marijuana industries.
Read more at WeedPress: Minnesota Bill Requireing Minnesota’s Medical Marijuana Progrm Be Exempted From Federal Law ADVANCES
Read more at Marijuana Moment: Iowa Officials To Seek Federal Marijuana Exemption From DEA
Other medical cannabis states are on board with following this already provided for legal remedy, most notably those of Iowa and Minnesota, who have been leading the effort by the states to properly exempt state medical marijuana industry from federal laws.
https://twitter.com/MNFamilyCouncil/status/441014202686140416
Back in 2014, the Minnesota Family Council (@MNFamilyCouncil on twitter), claimed that state marijuana laws are seemingly in violation of federal law. See the Family Council’s 2014 tweet on the right. Glad to report the Council should be satisfied that there is a solution advancing in cold Minnesota to the Minnesota Family Council’s wisely perceived problem.
Our current system of government already allows a process and solution to solve this the conflict between state and federal marijuana laws, and these three states, Hawaii, Iowa, and Minnesota, are in the lead to use this solution, 26 years after the first medical marijuana law was passed to allow for compassionate marijuana medicines to be provided to patients who otherwise could not find adequate relief for their medical conditions.
As the Hawaii House Health, Human Services, & Homelessness Committee discussed this past Tuesday March 23, the solution to the Minnesota Family Council’s problem with medical marijuana is found in Title 21 Code of Federal Regulations section 1307.03, which allows the Administrator of the Drug Enforcement Administration to grant exceptions to certain federal regulations.
Hawaii’s language also states “BE IT FURTHER RESOLVED that when making a petition for federal rule making in accordance with Title 21 Code of Federal Regulations section 1308.43, the Department of Health is urged to offer the following proposed language: “§1307. State Authorization. The listing of marijuana as a controlled substance in Schedule I does not apply to the state-authorized use of marijuana, and persons using marijuana in compliance with state law are exempt from registration.”” Read the full text of HCR 132 below:
HOUSE OF REPRESENTATIVESH.C.R. NO.132THIRTY-FIRST LEGISLATURE, 2021H.D. 1STATE OF HAWAII
HOUSE CONCURRENT
RESOLUTION
REQUESTING THE DEPARTMENT OF HEALTH TO SUBMIT A REQUEST TO THE DRUG ENFORCEMENT ADMINISTRATION FOR AN EXCEPTION TO REGULATIONS AND A PETITION TO INITIATE PROCEEDINGS FOR FEDERAL RULEMAKING TO CLARIFY THAT THE STATE-AUTHORIZED USE OF MEDICAL CANNABIS DOES NOT VIOLATE THE FEDERAL CONTROLLED SUBSTANCES ACT.
WHEREAS, when Act 228, Session Laws of Hawaii 2000 (Act 228), was enacted, Hawaii became the first state to authorize the use of medical marijuana to treat debilitating medical conditions including cancer, glaucoma, human immunodeficiency virus, acquired immune deficiency syndrome, and other chronic or debilitating diseases; and
WHEREAS, at the time Act 228 was enacted there was ample evidence to show that medical marijuana helps to alleviate pain and has other benefits for severely ill patients; and
WHEREAS, federal law expressly prohibits the use of marijuana, despite the evidence of the benefits of using medical cannabis; and
WHEREAS, this lack of clarity between state and federal marijuana laws has repercussions for medical cannabis patients and the State’s medical cannabis dispensaries, including loss of employment and discrimination in child custody hearings, federally subsidized housing, and applications for federal firearms permits, life insurance, and disability insurance for patients who use medical cannabis in compliance with state law; and
WHEREAS, Title 21 Code of Federal Regulations section 1307.03 allows the Administrator of the Drug Enforcement Administration to grant exceptions to certain federal regulations; and
WHEREAS, obtaining an exception from the federal Controlled Substances Act for the state-authorized use of medical cannabis would benefit the State’s residents who use medical cannabis and the State’s medical cannabis dispensaries; now, therefore,
BE IT RESOLVED by the House of Representatives of the Thirty-first Legislature of the State of Hawaii, Regular Session of 2021, the Senate concurring, that the Department of Health is requested to submit a request to the Drug Enforcement Administration for an exception to regulations and a petition to initiate proceedings for federal rulemaking to clarify that the state-authorized use of medical cannabis does not violate the federal Controlled Substances Act; and
BE IT FURTHER RESOLVED that when making the request for an exception to regulations, the Department of Health is urged to argue that Hawaii’s medical cannabis laws do not create any positive conflict with state or federal drug laws and to request a written acknowledgement from the Drug Enforcement Administration that the listing of marijuana as a controlled substance in Schedule I of the federal Controlled Substances Act does not apply to the non-prescription use of cannabis under Hawaii’s medical cannabis registry and medical cannabis dispensary programs; and
BE IT FURTHER RESOLVED that when making a petition for federal rule making in accordance with Title 21 Code of Federal Regulations section 1308.43, the Department of Health is urged to offer the following proposed language: “§1307. State Authorization. The listing of marijuana as a controlled substance in Schedule I does not apply to the state-authorized use of marijuana, and persons using marijuana in compliance with state law are exempt from registration.”; and
BE IT FURTHER RESOLVED that certified copies of this Concurrent Resolution be transmitted to the members of Hawaii’s Congressional Delegation, Governor, Attorney General, and Director of Health.

Curated by Thc 420 Hemp
source https://weedpress.wordpress.com/2021/03/25/hawaii-officials-discuss-ways-state-can-petition-dea-for-exception-to-federal-marijuana-schedule-i-classification/
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