The Centers for Medicare & Medicaid Services (CMS) recently published the fiscal year (“FY”) 2026 proposed rule for Hospital Inpatient Prospective Payment Systems (IPPS) (the “Proposed Rule”). Comments to the Proposed Rule must be submitted by 5 p.m. EDT on June 10, 2025.

The Proposed Rule reflects a number of broader policy changes announced by the Trump Administration through its Executive Orders and other agency actions, including an effort to de-regulate and to limit the use of notice and comment rulemaking unless it is otherwise required by statute; and removing hospital quality measures related to health equity, social drivers of health, and COVID-19 vaccination coverage among health care personnel. The Proposed Rule does not include anticipated changes to the Medicare Conditions of Participation for hospitals related to gender affirming care; those may still be forthcoming in the Medicare payment proposed rules for hospital outpatient services and physician and other health care professionals’ services that will be published in early July.

Other policy proposals of significant interest to academic medical centers and other hospitals include:

Payment Update

The Proposed Rule includes a projected 2.4% increase in IPPS payment rates for eligible general acute care hospitals, which will increase Medicare hospital payments nationwide by $4 billion. Notable components of the projected expenditures include a $1.5 billion projected increase in Medicare uncompensated care payments to disproportionate share hospitals in FY 2026, as well as $234 million in additional payments for inpatient cases involving new medical technologies in FY 2026, primarily driven by continuing new technology add-on payments (NTAP) for several technologies.

Request for Information on Deregulation

Pursuant to President Trump’s January 31, 2025 Executive Order 14191, Unleashing Prosperity Through Deregulation, CMS specifically requests public input on approaches and opportunities to streamline regulations and reduce administrative burdens on providers, suppliers, beneficiaries, Medicare Advantage and Part D plans, and other interested parties participating in the Medicare program. Among other things, CMS requests information about existing regulatory requirements and policy statements that could be waived or modified without compromising patient safety or the integrity of the Medicare program, changes to simplify reporting and documentation requirements without affecting program integrity, and requirements or processes that are duplicative either within the Medicare program itself or across other health care programs (including Medicaid, private insurance, and state or local requirements).

Like other agencies, CMS requests all comments related to the deregulation RFI be submitted through a program-specific weblink

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