- Staff Submission to Indiana Health Department Regarding the COPA Application of Union Health and Terre Haute Regional Hospital ( )
- FTC Staff Comment to Department of Labor on Proposed Amendments to Regulations Implementing the Mental Health Parity and Addiction Equity Act ( )
- FTC Staff Comment Concerning North Carolina Senate Bill 743 ( )
- FTC Staff Submission to NYS Health Department Regarding the COPA Application of SUNY Upstate Medical University and Crouse Health System ( )
- FTC Staff Comment to Department of Veterans Affairs Concerning Authority of VA Professionals to Practice Healthcare ( )
- FTC Staff Comment to Texas Health and Human Services Commission Regarding Certificate of Public Advantage Applications ( )
- FTC Staff Comment to Attorney General of Texas Concerning Certified Registered Nurse Anesthetists (CRNA) Regulations ( )
- FTC Staff Letter to the Centers for Medicare and Medicaid Services Regarding the Interim Final Rule with Policy and Regulatory Revisions in Response to the COVID-19 Public Health Emergency ( )
- FTC Staff Letter to Department of Health and Human Services Concerning the 21st Century Cures Act: Interoperability, Information Blocking and the ONC Health IT Certification Program Rule ( )
- FTC Staff Comment to the Ohio House of Representatives Concerning Ohio House Bill 177 ( )
- FTC Staff Comment to the Kansas House of Representatives Concerning Kansas House Bill 2412 ( )
- FTC Staff Comment to the North Carolina State Board of Dental Examiners Regarding Proposed Rule Changes to 21 N.C. Admin. Code 16W ( )
- Comment of the Staff of the Federal Trade Commission to Massachusetts Rep. Paul J. Donato regarding HB1869 and SB1329 ( )
- FTC Staff Comment Before the Department of Health and Human Services Regarding the 21st Century Cures Act: Interoperability, Information Blocking, and the ONC Health IT Certification Program ( )
- FTC Staff Comment to the FDA Department of Health and Human Services on Its Updated Guidance for Industry on the “Nonproprietary Naming of Biological Products” ( )
- Statement of the Federal Trade Commission to the Alaska Senate Committee on Health & Social Services on Certificate of Need Laws and SB 1 ( )
- Federal Trade Commission Comment On the Food and Drug Administration’s Revised Draft Guidance For Industry, Entitled “Citizen Petitions and Petitions For Stay of Action Subject To Section 505(q) of the Federal Food, Drug, and Cosmetic Act.” ( )
- FTC Staff Comment on New York's proposal to allow licensure by endorsement of Canadian dental licenses ( )
- FTC Staff Comment to Washington State Rep. Paul Graves, regarding S.S.B. 5411/H.B. 1473 ( )
- Federal Trade Commission Staff Comment Before the Pennsylvania State House of Representatives Regarding the Likely Competitive Impact of House Bill 100 On Advanced Practice Registered Nurse-Certified Nurse Practitioners ( )
- FTC Staff Comment Before the Georgia Department of Community Health Regarding the Certificate of Need Application Filed by Lee County Medical Center ( )
- FTC Staff Comment To the Ohio State Senate Regarding the Competitive Effects of SB 330 In Increasing Access To Quality Dental Care, Including Its Provisions For Licensing Dental Therapists ( )
- FTC Staff Comment To the Delaware Board of Speech/Language Pathologists, Audiologists and Hearing Aid Dispensers Regarding Its Proposed Revisions To Its Telecommunication and Telehealth Regulations ( )
- FTC Staff Submission to the Tennessee Department of Health Regarding the Certificate of Public Advantage Application of Mountain States Health Alliance and Wellmont Health System ( )
- FTC Staff Submission to the Southwest Virginia Health Authority and Virginia Department of Health Regarding Cooperative Agreement Application of Mountain States Health Alliance and Wellmont Health System ( )
- FTC Staff Comment to the Delaware Board of Dietetics/Nutrition Regarding Its Proposed Telehealth Regulation ( )
- FTC Staff Comment Before the Delaware Board of Occupational Therapy Concerning its Proposed Telehealth Regulation ( )
- FTC Staff Comment to the Department of Veterans Affairs: Proposed Rule Regarding Advanced Practice Registered Nurses ( )
- FTC Staff/DOJ Joint Comment to Puerto Rico Legislature Regarding SB 991, Which Would Expand the Scope of Practice For Optometrists and Allow Them To Use and Prescribe Medications To Diagnose and Treat Diseases of the Eye ( )
- FTC Staff Comment to the Alabama State Senate Regarding HB 241 and SB 243, Which Would Exempt Health Care Collaborations From Federal Antitrust Laws ( )