CAHC joined with the Health Benefits Institute (HBI) to comment on the 2023 Notice of Benefit and Payment Parameters (NBPP) Proposed Rule. In the letter, we make the following key recommendations:
- Concern with the overall direction of the NBPP, which we are concerned will lead to market volatility including, fewer plan offerings and increased premiums and out-of-pocket costs.
- The proposed rule hamstrings agents, brokers and web brokers from being able to serve consumer needs and instead imposes additional federal regulations that impede flexibility and will likely lead to consumer confusion.