
The American Society of Interventional Pain Physicians (ASIPP) has submitted four comment letters to the Centers for Medicare & Medicaid Services (CMS) addressing important policy, payment, and coding issues affecting interventional pain physicians, independent practices, ambulatory surgery centers, and Medicare beneficiaries.
The letters address the CY 2027 Physician Fee Schedule proposed rule, the Ambulatory Specialty Model (ASM), proposed changes to ambulatory surgical center payments and neuromodulation procedure reimbursement, and CMS’s Request for Information regarding the Current Procedural Terminology (CPT) coding and valuation process.
Across these comments, ASIPP continues to advocate for appropriate reimbursement, preservation of independent practices, continued beneficiary access to non-opioid interventional pain care, and greater transparency and fairness in Medicare payment and coding policies.
Read the Full Comment Letters
- ASIPP/SIPMS Comments on CY 2027 Physician Fee Schedule Proposed Rule (CMS-1848-P)
- ASIPP/SIPMS Comments on the Ambulatory Specialty Model (ASM)
- ASIPP/SIPMS Comments on CY 2027 OPPS and ASC Payment System Proposed Rule (CMS-1850-P)
- ASIPP Comments on CMS Request for Information on Current Procedural Terminology (CPT)