Knowledge Center
WEDI provides a full suite of resources designed to help organizations better understand and manage health IT. The Resources section provides access to WEDI’s various tools and library of health IT information.
We strive to make the approval process of our work products as transparent as possible. White papers, issue briefs and surveys must be approved by the Peer Review Committee. Workgroup charters, new workgroups and co-chairs must be approved by the Work Group Leadership Committee. Comment letters and WEDI policies must be approved by the Policy Committee.
Resources
WEDI submits letter to CMS on virtual credit card concerns
Knowledge Center The Workgroup for Electronic Data Interchange is warning that the use of virtual credit cards by healthcare payers to make payments to providers, while mitigating some fraud issues, can cause problems for providers that are out of a plan’s network or use alternative ways to settle claims. Read the Article
Read MoreNo Surprises Act compliance: Sizing up the challenges
Knowledge Center By Fred Bazzoli, Editor-in-Chief, HDM A WEDI forum addresses the difficulties in providing consumers with accurate estimates of healthcare expenses in advance of receiving services. The No Surprises Act is based on the premise that cost-conscious consumers who get accurate healthcare price information before services are delivered will be empowered to make wiser…
Read MoreHHS Asked to ‘Expeditiously Address’ GFE Provision
Knowledge Center A workforce group takes aim at part of the No Surprises Act and asks HHS to act. The Workgroup for Electronic Data Interchange (WEDI) released a letter to HHS regarding the No Surprises Act. The workgroup takes aim at the good faith estimate (GFE) convening provider/facility provision saying it has significant concerns with how…
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WEDI Submits Letter to CMS on Administrative Simplification Guidance
Knowledge Center WEDI submitted comments in response to the publication by CMS of administrative simplification guidance in the areas of: (i) Covered Entities’ responsibility for ensuring Business Associates’ compliance with HIPAA regulations; and (ii) Health plans’ payment of health care claims using Virtual Credit Cards (VCCs) and adopted HIPAA standards for Health Care Electronic Funds…
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