Dear Administrator Brooks-LaSure:
"On behalf of the 29 member organizations of the Diabetes Advocacy Alliance (DAA), we are pleased to submit comments to the Centers for Medicare and Medicaid Services (CMS) regarding the CY 2023 Medicare Payment Policies under the Medicare Physician Fee Schedule (PFS) proposed rule (file code CMS-1770-P).
The DAA is diverse in scope, with our members representing patient, professional and trade associations, other non-profit organizations, and corporations, all united to change the way diabetes is viewed and treated in America. Since 2010, the DAA has worked with legislators and policymakers to increase awareness of, and action on, the diabetes epidemic."