Last month, federal agencies published a proposed rule regarding requirements created by the No Surprises Act, a section of the Consolidated Appropriations Act. That proposed rule deals with broker-compensation transparency requirements for individual and short-term limited duration plans as well as information regarding surprise billing of air ambulances. This proposed rule did not deal with compensation disclosure in the group market, so what is happening there? On this week’s episode of the Healthcare Happy Hour, Marcy M. Buckner discusses how NABIP is handling the group-market disclosure requirements ahead of potential regulations and what sort of questions we were able to pose in a meeting with the Department of Labor this week.
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