Attachment R -- AHRQ's Response to Public Comments

Attachment R -- AHRQs Response to Public Comments 041514.docx

2014 and 2015 Medical Expenditure Panel Survey - Insurance Component (MEPS-IC)

Attachment R -- AHRQ's Response to Public Comments

OMB: 0935-0110

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Attachment R -- AHRQ’s Response to Public Comments


Response to comment from Mr. Merrill, New York City Department of Health and Mental Hygiene:


We appreciate the Department’s suggestion for an additional survey question to be included on the plan level MEPS-Insurance Component (MEPS-IC) form beginning in 2014. The question concerned whether the plan was considered “grandfathered” under the PPACA.


A question on grandfathered status was added to the plan form beginning in 2013. The question wording is as follows:


Was this a grandfathered health plan as defined by the Affordable Care Act?” YES/NO/DON’T KNOW


Respondents were directed to the Definition sheet included with the MEPS-IC materials for a description of the term “grandfathered.”


The other two comments received from Mr. Merrill concerned the MEPS-Household Component questionnaire, and so are not relevant to the MEPS-IC.

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