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Letter to HHS and Attorney General on Crisis Services, Health Equity and Criminal Justice
Letter to HHS Secretary Becerra and Attorney General Garland seeking an immediate, coordinated federal response to the gross violations of civil rights and unethical practices described in a recent New York Times investigation of Acadia Hospital. -
Regulatory Comment to CMS on Medicare, Criminal Justice, Crisis Services, Maternal Mental Health and Telehealth
Regulatory comment to Administrator Brooks-LaSure on proposed changes to Medicare and Medicaid payment policy for CY 2025, offering recommendations to increase access to mental health treatments and medications. -
Regulatory Comment to CMS on Criminal Justice and Medicare
Regulatory comment to CMS, encouraging them to finalize the CY25 Medicare Outpatient Prospective Payment System proposed rule, which would improve access to Medicare for people on parole, probation, and other statuses. -
Regulatory Comment to CMS on Medicare and Crisis Services
Regulatory comment to Administrator Brooks-LaSure in response to the CMS proposed rule for CY 2025 Medicare Physician Fee Schedule and Other Changes to Part B Payment. -
Regulatory Comment to OMB on Peer Support Workforce
Regulatory comment to the Office of Management and Budget, supporting the creation of a new SOC code for peer support specialists, which would allow for much needed data collection to assess the size, economic impact, and geographic distribution of the fast-growing peer workforce. -
Letter to Congressional Committee Leadership on Mental Health Workforce, Mental Health Funding and Telehealth
Letter to the Senate Finance Committee and House Energy and Commerce Committee, uplifting the importance of several behavioral health workforce issues and policy recommendations for consideration during the duration of the 118th Congress. -
Regulatory Comment to DOJ on Criminal Justice and Research and Treatment Innovation
Regulatory comment in support of the Bureau of Justice Assistance’s (BJA) proposed “Death in Custody Reporting Act Program Collection.” -
NAMI-led Regulatory Comment to the FCC on Proposed Rule for Georouting for 988
Regulatory comment to the Federal Communications Commission (FCC) on behalf of the Reimagine Crisis partner organizations, voicing support for the FCC’s proposed rule to implement georouting for 988 so that calls to the 988 Lifeline can be routed to the nearest call center. -
Regulatory Comment to the FCC in Response to Their Proposed Rule on Georouting for 988
Regulatory comment to the Federal Communications Commission (FCC) in response to proposed rules to implement “georouting” for 988, so that calls to the 988 Suicide and Crisis Lifeline can be routed to the nearest crisis call center. -
Statement on Criminal Justice, Health Equity and Social Supports
Statement from NAMI CEO Daniel H. Gillison, Jr. on the disappointing U.S. Supreme Court ruling in City of Grants Pass v. Johnson and its consequences for people with mental illness who are unhoused.
