Request for Information: Comprehensive Review of the Essential Health Benefits Framework and Typical Employer Plan Standard
Details
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- Title
- Request for Information: Comprehensive Review of the Essential Health Benefits Framework and Typical Employer Plan Standard
- Posted
- Jun 15, 2026
- Comment period
- Jun 15, 2026 – Jul 16, 2026
- FR Doc
- 2026-11994
- CFR
- 45 CFR Part 156
Overview
What the public is saying — stance, who's commenting, and the issues they raise.
Stance breakdown
Who commented
Breakdown by commenter type.
Comments over time
Weekly arrivals, stacked by stance.
Support × commenter type
How each type splits across stance.
Issues raised
The docket's canonical issues. Select one to browse its comments.
Position map
Who stands where on each issue?
Every non-silent position is backed by an excerpt from the comment.
Issues shown
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| Organization | Ehb definition and affordability | Premium costs | Preventive care coverage | Out-of-pocket costs | Adult dental services |
|---|---|---|---|---|---|
AbbVie Inc BusinessSupport AbbVie Inc., a large biopharmaceutical company, supports the review of Essential Health Benefits (EHB) and urges HHS to | · | · | · | ||
All Copays Count Coalition AdvocacySupport The All Copays Count Coalition, representing 55 non-profit patient advocacy and provider organizations, supports the pro | · | · | · | ||
American Academy of Dermatology Association AdvocacySupport The American Academy of Dermatology / Association supports the CMS review of the Essential Health Benefits (EHB) framewo | · | · | · | · | · |
American Academy of Pediatric Dentistry (AAPD) Trade associationSupport The American Academy of Pediatric Dentistry (AAPD) supports the continued recognition of pediatric dental services as an | · | · | · | ||
American Cancer Society Cancer Action Network AdvocacySupport The American Cancer Society Cancer Action Network (ACS CAN) supports a comprehensive review of the Essential Health Bene | · | · | · | ||
American College of Emergency Physicians Trade associationSupport The American College of Emergency Physicians (ACEP) supports the CMS review of the Essential Health Benefits (EHB) frame | · | · | · | · | · |
American College of Gastroenterology AdvocacySupport The American College of Gastroenterology (ACG) supports the review of the Essential Health Benefits (EHB) framework and | · | · | · | · | |
American College of Obstetricians & Gynecologists Trade associationSupport The American College of Obstetricians & Gynecologists (ACOG) supports the proposed review of the Essential Health Benefi | · | · | · | · | · |
American College of Physicians AdvocacySupport The American College of Physicians (ACP) supports the requirement that qualified health plans provide an Essential Healt | · | · | |||
American Hospital Association Trade associationSupport The American Hospital Association (AHA) supports maintaining a robust and comprehensive Essential Health Benefits (EHB) | · | · | · | · | |
American Lung Association AdvocacySupport The American Lung Association supports the existing Essential Health Benefits (EHB) framework and urges HHS to strengthe | · | · | · | ||
American Medical Association Trade associationOppose The American Medical Association (AMA) opposes changes to the Essential Health Benefits (EHB) framework, arguing that th | · | · | · | · | |
American Nurses Association Trade associationSupport The American Nurses Association (ANA) supports state flexibility in defining the scope of Essential Health Benefits (EHB | · | · | · | ||
American Parkinson Disease Association AdvocacySupport The American Parkinson Disease Association (APDA) supports the review of the Essential Health Benefits (EHB) framework, | · | · | · | ||
Biotechnology Innovation Organization AdvocacySupport The Biotechnology Innovation Organization (BIO) supports the review of the Essential Health Benefits (EHB) framework, ad | · | · | |||
Boehringer Ingelheim Pharmaceuticals, Inc. BusinessSupport Boehringer Ingelheim Pharmaceuticals, Inc. | · | · | |||
Breakthrough T1D AdvocacySupport Breakthrough T1D, a research and advocacy organization for type 1 diabetes, supports CMS's efforts to improve health pla | · | · | |||
California Department of Insurance GovernmentSupport Ricardo Lara, the California Insurance Commissioner, submits comments on behalf of the California Department of Insuranc | · | · | · | · | |
California Department of Managed Health Care GovernmentSupport The California Department of Managed Health Care (DMHC) supports the current regulatory framework for Essential Health B | · | · | · | · | · |
CareQuest Institute for Oral Health AdvocacySupport The CareQuest Institute for Oral Health, a nonprofit organization, urges CMS to remove the prohibition on including rout | · | · | · | · | |
Coalition of State Rheumatology Organizations Trade associationSupport The Coalition of State Rheumatology Organizations (CSRO) supports the review of the Essential Health Benefits (EHB) fram | · | · | |||
Coalition to Transform Advanced Care AdvocacySupport The Coalition to Transform Advanced Care (C-TAC) supports the RFI but urges CMS to ensure that any updates to the Essent | · | · | · | · | |
Colorado Consumer Health Initiative AdvocacySupport The Colorado Consumer Health Initiative (CCHI) supports maintaining and expanding the Essential Health Benefits (EHB) fr | · | · | · | ||
Consumers for Quality Care AdvocacySupport Consumers for Quality Care (CQC), a coalition of patient advocates, urges CMS to preserve and strengthen the existing Es | · | · | · | · | |
Delta Dental of CA BusinessSupport Jeff Album of Delta Dental expresses support for the CMS decision to exclude routine non-pediatric dental services from | · | · | · | · | |
Elevance Health BusinessSupport Elevance Health supports the HHS's decision to restore the ACA's original statutory framework for Essential Health Benef | · | · | · | ||
Families USA AdvocacySupport Families USA, a nonpartisan health care consumer advocacy organization, supports the continued use of the benchmark plan | · | · | · | · | · |
Gilead Sciences BusinessSupport Gilead Sciences, Inc. | · | · | · | · | |
Hello Heart BusinessSupport Hello Heart, a digital health company, supports the CMS review of the Essential Health Benefits (EHB) framework and advo | · | · | · | ||
Hemophilia Alliance and National Bleeding Disorders Foundation AdvocacySupport The Hemophilia Alliance and the National Bleeding Disorders Foundation advocate for maintaining and strengthening Essent | · | · | |||
HIV Health Care Access Working Group (HHCAWG) AdvocacySupport The HIV Health Care Access Working Group (HHCAWG), a coalition of organizations representing HIV medical providers and a | · | · | · | ||
HIV Medicine Association AdvocacySupport The HIV Medicine Association (HIVMA) supports maintaining robust Essential Health Benefits (EHB) standards to ensure peo | · | · | · | ||
HIV+Hepatitis Policy Institute (on behalf of 94 patient groups) AdvocacySupport The HIV+Hepatitis Policy Institute, representing 94 patient organizations, supports the current Essential Health Benefit | · | · | · | · | |
Insurance Watchdog Coalition AdvocacySupport The Insurance Watchdog Coalition (IWC) urges CMS to maintain and strengthen the Essential Health Benefits (EHB) framewor | · | · | · | · | |
Let Kids Hear and Let California Kids Hear AdvocacySupport Michelle Marciniak, representing Let Kids Hear and Let California Kids Hear, urges CMS to issue a sub-regulatory clarifi | · | · | · | · | |
Nati AdvocacySupport The National Health Council (NHC) supports the CMS review of the Essential Health Benefits (EHB) framework, urging the a | · | · | |||
National Council for Mental Wellbeing AdvocacySupport The National Council for Mental Wellbeing, a membership organization representing mental health and substance use treatm | · | · | · | ||
National Patient Advocate Foundation AdvocacySupport The National Patient Advocate Foundation (NPAF) supports CMS's review of the Essential Health Benefits (EHB) framework, | · | · | · | · | |
National Pharmaceutical Council AdvocacySupport The National Pharmaceutical Council (NPC) supports the comprehensive review of the Essential Health Benefits (EHB) frame | · | · | · | ||
New York City Department of Health and Mental Hygiene GovernmentSupport The New York City Department of Health and Mental Hygiene supports the current Essential Health Benefits (EHB) framework | · | · | · | · | |
NY State of Health GovernmentSupport NY State of Health supports the current flexibility for states to define the scope of Essential Health Benefits (EHBs) t | · | · | · | · | · |
Solutions Group Services, LLC BusinessSupport Asbel Montes, representing Solutions Group Services, LLC and the Ground Ambulance and Patient Billing Advisory Committee | · | · | · | · | · |
The Carter Center, Rosalynn Carter Mental Health and Caregiver Program AdvocacySupport The Carter Center's Rosalynn Carter Mental Health and Caregiver Program supports the review of the Essential Health Bene | · | · | · | · | |
The Federation of American Hospitals Trade associationSupport The Federation of American Hospitals (FAH) supports maintaining a broad and comprehensive scope of Essential Health Bene | · | · | · | · | |
Triage Cancer AdvocacySupport Triage Cancer, a national nonprofit, supports a comprehensive review of the Essential Health Benefits (EHB) framework, u | · | · |
2 organization-typed comments could not be identified.
Explorer
Every mirrored comment — filter by stance, campaign, or issue.
- Jul 15, 2026Comment on CMS-2026-2081-0001SupportGovernment📎 Attachment
NY State of Health supports the current flexibility for states to define the scope of Essential Health Benefits (EHBs) through state-specific benchmark plans. They argue that this flexibility allows states to respond to specific population needs, foster innovation, and align with state-specific regulations and market conditions.
Read comment → - Jul 15, 2026Comment on CMS-2026-2081-0001SupportOther📎 Attachment
Covered California, the state's health insurance marketplace, argues that CMS should preserve state flexibility in the EHB-benchmark framework to allow for local market tailoring. They also urge CMS to maintain the current two-year implementation timeline to ensure market stability and allow sufficient time for regulators and issuers to coordinate changes.
Read comment → - Jul 14, 2026Comment on CMS-2026-2081-0001SupportGovernment📎 Attachment
The California Department of Managed Health Care (DMHC) supports the current regulatory framework for Essential Health Benefits (EHB), advocating for state flexibility and local control in selecting benchmark plans. They urge CMS to maintain existing language that allows states to select specific benefits to address coverage gaps and request an extension of the RFI response time.
Read comment → - Jul 14, 2026Comment on CMS-2026-2081-0001SupportGovernment📎 Attachment
Ricardo Lara, the California Insurance Commissioner, submits comments on behalf of the California Department of Insurance regarding the Essential Health Benefits (EHB) framework. He argues against the current moratorium on EHB updates, requesting that CMS process existing submissions under current regulations and provide states with greater flexibility to add benefits.
Read comment →
