Compliance Corner June 2025
BPHC Program Updates
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
HRSA Award Update
UDS+ Submission Reporting Period
HRSA Launches New Consumer-Focused Web Pages and Services
2024 UDS Reporting Period Open
New Look-Alike Initial Designation Instructions
Telehealth Policy Updated
Behavioral Health: Join a Community of Practice
Is Your Health Center in the Treatment Locator?
Integrated Behavioral Health in Pediatrics – New Partnership
National Rural Health Day
CMS Releases Fiscal Year 2024 Improper Payment Data for All Programs
Health Center Preparedness and Response Forum: Patients with Access and Functional Needs
COVID-19 Vaccine Access for Health Centers Nationwide
Compliance Corner
$75 Million Investment in Rural Health Care
HRSA Funds Behavioral Health Service Expansions
Introducing Food is Medicine
BPHC CX Summit
Compliance Corner
$75 Million Investment in Rural Health Care
HRSA Funds Behavioral Health Service Expansions
Introducing Food is Medicine
BPHC CX Summit
$100 Million to Navigators Who Will Help Millions of Americans, Especially in Underserved Communities, Sign Up for Health Coverage
HIPAA Privacy Rule to Support Reproductive Health Care Privacy – Model Attestation Published
New Data Show Highest Number of Health Center Patients in Nearly 60 Year History of the Program
Reminder:
National Health Center Week
HRSA Announces More Than $68 Million to Improve Access to HIV Care for Women, Infants, Children and Youth
Health Center COVID-19 Survey to Conclude
CMS Guidance to Aid States in Developing Searchable Health Provider Directories
2023 Uniform Data System (UDS) Data to be Published
CMS
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.