Comment on CMS-2026-2377-0002

Christina TidwellSupportIndividual
Summary: The commenter supports the CMS proposal to establish national payment for health and well-being coaching services under specific CPT codes. They argue that Nurse Coaches can bridge the gap between clinical advice and patient implementation, promoting person-centered, value-based care.
I am in strong support of the Centers for Medicare & Medicaid Services’ (CMS) proposal to establish national payment for individual and group health and well-being coaching services under CPT codes 0591T, 0592T, and 0593T. Nurse Coaches can help bridge the gap between what patients are advised to do and what they are realistically able to implement in their daily lives. They work with patients to identify meaningful goals, address barriers, build confidence and self-management skills, and develop sustainable strategies for improving health and managing chronic conditions. This approach is consistent with the broader movement toward person-centered care and value-based healthcare. Rather than relying solely on episodic interactions within the healthcare system, health coaching provides patients with ongoing support between visits and helps them translate clinical recommendations into achievable actions. Recognizing qualified Nurse Coaches within the reimbursement framework would also make better use of the existing healthcare workforce and expand access to professional support without requiring every aspect of chronic disease management to occur within a traditional physician visit. Now is the time for this important change.

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