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ARE YOU AFFECTED BY THE PROPOSED CMS GUIDELINES? If You Purchase Leads, Sell Leads Or Are Involved In Marketing, Then YES!

Hey TCPA World, I wanted to provide some additional insight to the CMS Proposed Rules published in late December 2022. We want to make sure that you understand the implications of these proposed rules. Comments Are Due In 14 Days! (see information below)

Are you a lead generator?  

Are you a lead aggregator?  

Are you a lead seller? 

Are you an insurance sales agent? 

Do you use Business Reply Cards or Scope of Appointment for lead generation?  

Are you responsible for quality assurance related to Medicare or Medicare Advantage? 

Are you responsible for marketing related to Medicare or Medicare Advantage? 

Do you use the Medicare logo?  

Do you plan educational events followed by marketing to consumers related to Medicare or Medicare Advantage?  

Are you responsible for operations related to Medicare Advantage?  

Are you a Third-Party Marketing Organization (TPMO)?  

Do you work with a Third-Party Marketing Organization (TPMO)?  

Do you know someone who may qualify for any of these?  If so, please share!! 

THEN, you should absolutely review our earlier blog and the CMS Proposed Rules at *2022-26956.pdf (federalregister.gov).  

As I mentioned, the proposed changes will have some significant impact to the marketing and lead generation industry surrounding Medicare, Medicare Advantage, Marketing Standards and Implementation.  

 Some proposed changes include:  

COMMENTS WANTED 

CMS solicits comment on these marketing and communications proposals and whether the proposed regulatory changes will sufficiently achieve the goals outlined of protecting beneficiaries. Comments may be submitted via email to http://www.regulations.gov, or mail (regular, overnight or express).  

Comments are DUE BY 5 P.M. ON FEBRUARY 13, 2023.  

Remember, the Troutman Firm is here for you. You, too, deserve to win!  

Til next time, Countess!! 

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