Compliance Corner February 2026
HRSA 2025 Year in Review
Revised Version of Consolidated Appropriations Act Passes
$100 Million Investment in Great American Recovery
Confidentiality of Substance Use Disorder (SUD) Patient Records
HRSA 2025 Year in Review
Revised Version of Consolidated Appropriations Act Passes
$100 Million Investment in Great American Recovery
Confidentiality of Substance Use Disorder (SUD) Patient Records
BPHC Program Updates
Updated HRSA Terms and Conditions
Updated Site Visit Protocol and Summary of Changes
UDS Reporting Updates
340B Rebate Model Pilot Program Update
Uniform Data System Reporting Updates
2025 UDS Reporting Webinars Available On-Demand
FTCA Deeming Process Listening Sessions
NACHC 2026 Award Nominations Now Open
New Operational Site Visit Resource Available
Updated Single Audit Threshold
SAC Applications for March 1 and April 1 Starts
HRSA’s GrantSolutions Transition Update
Upcoming GrantSolutions Training Opportunities for HRSA Recipients
Clarification on UDS Reporting Requirements
New Operational Site Visit Resource Available
Updated Single Audit Threshold
SAC Applications for March 1 and April 1 Starts
HRSA’s GrantSolutions Transition Update
Upcoming GrantSolutions Training Opportunities for HRSA Recipients
Clarification on UDS Reporting Requirements
Health Center Program Performance Period Extensions
HRSA Released New Health Center Data
Fiscal Year 2026 SAC NOFOs Released
HRSA Awarded 2025 CHQR Badges
Fiscal Year 2026 Look-Alike Renewal Designation
HRSA Transitions fo GrantSolutions Management System
Lower Out-of-Pocket Costs for Life-Saving Medications
HRSA Administrator Engels Speaks with State Medicaid Directors
HRSA Recognizes National HIV Testing Day
2025 HRSA Healthy Grants Workshop
BPHC Program Updates
Amplifying Health Center Priorities with Members of Congress
NACHC Award Program Nominations
Two New NACHC Award Programs in Partnership with Johnson & Johnson
NACHC Statement on HHS Transformation to Make America Health Again
Telehealth Updates
HIPAA Security Proposed Rule – NACHC Comment Letter
Washington Update
HRSA Announces New Administrator
FTCA Deeming Clinics
Telehealth for Diabetes Management
Regulators are no longer satisfied with documentation alone; they want evidence that your compliance program actively prevents, detects, and corrects risk. Investigators expect to see how issues are identified early, investigated thoroughly, corrected effectively, and monitored over time. Boards demand measurable insight, and leadership needs confidence that exposure is managed before it becomes a liability. The standard has shifted from activity to impact.