Change |
Detailed Information |
Reason for the change |
Edited langauge in the background section |
Made minor update to the language in the background discussion to clarify and provide additional context. We also provided detailed information on the changes to the collection burden and the causes |
Make a few technical corrections and clarify language |
SSA-Section 1 |
Replaced the FISMA cite with an updated cite |
the existing cite is outdated |
SSA-Section 3 |
replaced 99% with all and cited that exploring using digital signture |
we only receive electronic requests and are exploring the use of digital signature for all non-federal stakeholders |
SSA-Section 6 |
made minor updates to add that there are a number of statutory and regulatory requirements |
wanted to reflect that there are requirements beyond CMS policies and procedures that dictate the collection |
SSA-Section 10 |
Updated the language to reflect that there is a new system that tracks the disclosure |
There is a new system, EPPE, that tracks the disclosure |
SSA-Section 12 |
Made changes to the wages and hourly costs. |
Since this estimates the respondents’ costs, we used the BLS rather than the GS schedule for the wage estimates. We also incuded fringe benefits |
SSA-Section 12 |
In addition, recent experience has shown that the time to complete an LDS DUA has slightly increased. |
We wanted to reflect the feedback that this was a more accurate estimate |
SSA-Section 12 |
The state DUA form and the Mediciad Agency DUA form have been removed. |
The state DUA form and the Mediciad Agency DUA form are no longer in use so they have been removed. |
SSA-Section 14 |
the government hourly wage was increased to include fringe benefits |
this is consistent with approach used in other PRA packages |
Signature Addendum form |
There were slight modifications to the signature addendum form |
Reflects feedback from users |