Comments and Letters to CMS
Update: On October 31, 2014, CMS released a Final Rule redefining most CME payments as outside of the scope of the Sunshine Act's reporting requirements. This rule was reiterated in April 2015 guidance that details the circumstances in which CME payments are exempt from reporting.
In an effort to encourage the Centers for Medicare and Medicaid Services (CMS) to reverse course on their proposal to revise the Sunshine Act reporting requirements for accredited CME related payments, hundreds of individuals, companies, and organizations have submitted letters and comments to the agency. The full list of organizations who have submitted comments to CMS is available at the bottom of the page.
The CME Coalition submitted public comments to CMS on this proposal on August 29. In its submission, the Coalition embraces the preamble of CMS’s proposed rule, that the criteria for determining Sunshine-exempt continuing education should be expanded. However, the Coalition’s analysis of the proposed rule’s actual language suggests that rather than expanding the exemption beyond the originally designated “five accrediting bodies,” the proposal could instead require additional reporting for both speakers and attendees at CME events. The resulting elimination of the CME exemption could be devastating for the practice of CME.
In its place, the Coalition suggests specific language that it believes could meet CMS’s stated objective of designing a policy whereby “if an applicable manufacturer conveys ‘full discretion’ to the continuing education provider, those payments [should be] outside the scope of the rule,” and thus not reportable.
In an effort to encourage the Centers for Medicare and Medicaid Services (CMS) to reverse course on their proposal to revise the Sunshine Act reporting requirements for accredited CME related payments, hundreds of individuals, companies, and organizations have submitted letters and comments to the agency. The full list of organizations who have submitted comments to CMS is available at the bottom of the page.
The CME Coalition submitted public comments to CMS on this proposal on August 29. In its submission, the Coalition embraces the preamble of CMS’s proposed rule, that the criteria for determining Sunshine-exempt continuing education should be expanded. However, the Coalition’s analysis of the proposed rule’s actual language suggests that rather than expanding the exemption beyond the originally designated “five accrediting bodies,” the proposal could instead require additional reporting for both speakers and attendees at CME events. The resulting elimination of the CME exemption could be devastating for the practice of CME.
In its place, the Coalition suggests specific language that it believes could meet CMS’s stated objective of designing a policy whereby “if an applicable manufacturer conveys ‘full discretion’ to the continuing education provider, those payments [should be] outside the scope of the rule,” and thus not reportable.
Bipartisan Congressional Letters, Legislation
On September 18th, House Energy & Commerce Committee, Health Subcommittee Chairman Michael Burgess, M.D. (TX) and Ranking Democrat Frank Pallone (NJ) sent a letter to CMS Administrator Marilyn Tavenner regarding her agency's proposal to eliminate the CME exemption from the Physician Payments Sunshine Act. These two members represent the leadership of the House of Representatives Subcommittee with jurisdiction over most federal healthcare policy. It is a tremendous show of support for continuing medical education that they have come together from across the aisle to lend their voice to this effort.
In part, the letter reads, “we encourage (CMS) to exempt from its reporting requirements any payments related to the support of certified CME in order to ensure robust physician participation in this important activity without concern for Sunshine Act reporting rules.”
In part, the letter reads, “we encourage (CMS) to exempt from its reporting requirements any payments related to the support of certified CME in order to ensure robust physician participation in this important activity without concern for Sunshine Act reporting rules.”
Bipartisan CME Letter from Burgess, Pallone | |
File Size: | 434 kb |
File Type: |
In a concurrent effort with his congressional letter to the Centers for Medicare and Medicaid Services (CMS), Health Subcommittee Chairman Michael Burgess, M.D. (R-TX) partnered with Rep. Allyson
Schwartz (D-PA) to introduced bipartisan legislation (H.R. 5539) to exempt both CME
payments and the value of medical texts from the Sunshine Act reporting
requirements.
Bipartisan CME Legislation from Burgess, Schwartz | |
File Size: | 29 kb |
File Type: |
American Medical Association
On August 5, over 100 medical societies including the American Medical Association (AMA) wrote a letter to CMS. "Our organizations believe that this raises concerns as industry could learn the identities of speakers/faculty and potentially participants after the funds have been transferred through brochures, programs, and other publications, or through their physician-employees' participation in CE [continuing education] activities (either as speakers/faculty or attendees)," the letter states. "Our organizations are concerned that this would have a significant, chilling impact on CE, which runs contrary to the public interest."
Instead, the groups suggested, CMS could modify the exemption slightly so that the exemption applies to cases where the manufacturer doesn't select the speaker and doesn't know who the speaker is beforehand -- without addressing what happens afterward. The letter was also highlighted on Dr. Sanjay Gupta’s blog, The Gupta Guide.
Instead, the groups suggested, CMS could modify the exemption slightly so that the exemption applies to cases where the manufacturer doesn't select the speaker and doesn't know who the speaker is beforehand -- without addressing what happens afterward. The letter was also highlighted on Dr. Sanjay Gupta’s blog, The Gupta Guide.
American Medical Association | |
File Size: | 35 kb |
File Type: |
American Academy of Family Physicians
The American Academy of Family Physicians (AAFP) "strongly disagrees" with the Centers for Medicare and Medicaid Services (CMS) proposal to eliminate the continuing medical education exemption from the Sunshine Act. AAFP, which represents 115,900 family physicians and medical students across the country, wrote to CMS to outline their concerns that the proposal would create "an inadvertent barrier to the development and delivery of high quality certified or accredited CME with the final result of negatively affecting care provided to patients."
"Physicians must stay up to date on the latest medical research and medications so they can provide the most appropriate care to their patients," AAFP states. "Each year, this research results in new treatment breakthroughs, medications, diagnostic procedures, and clinical guidelines." Collaboration between physicians, device manufacturers, and pharmaceutical companies is critical, they argue, if "physicians are to remain current with the latest research and provide state-of-the-art care that the public deserves."
"Physicians must stay up to date on the latest medical research and medications so they can provide the most appropriate care to their patients," AAFP states. "Each year, this research results in new treatment breakthroughs, medications, diagnostic procedures, and clinical guidelines." Collaboration between physicians, device manufacturers, and pharmaceutical companies is critical, they argue, if "physicians are to remain current with the latest research and provide state-of-the-art care that the public deserves."
American Academy of Family Physicians Letter | |
File Size: | 106 kb |
File Type: |
COUNCIL OF MEDICAL SPECIALTY SOCIETIES
The Council of Medical Specialty Societies (CMSS) submitted comments to CMS regarding the proposed elimination of the Sunshine Act’s CME exemption on August 19. The comments—on behalf of 41 medical specialty societies representing 750,000 physicians—advocate for the preservation of the February 2013 Final Rule to “retain in the Open Payments program the safeguards to distinguish independent accredited and certified continuing medical education from promotional education.”
CMSS’ comments specifically address concerns regarding attendees at accredited CME events. “While attendees might not be identified in advance of a CME program, they are certainly identifiable during and after the program,” the letter states. “However, CMS has always recognized that attendees have no relationship with companies which might choose to provide grants of commercial support to CME providers for accredited and certified CME. Therefore, it is not necessary to establish an arbitrary timing proxy for attendees. Attending accredited and certified CME does not establish a reportable relationship with any supporting companies.”
CMSS’ comments specifically address concerns regarding attendees at accredited CME events. “While attendees might not be identified in advance of a CME program, they are certainly identifiable during and after the program,” the letter states. “However, CMS has always recognized that attendees have no relationship with companies which might choose to provide grants of commercial support to CME providers for accredited and certified CME. Therefore, it is not necessary to establish an arbitrary timing proxy for attendees. Attending accredited and certified CME does not establish a reportable relationship with any supporting companies.”
Council of Medical Specialty Societies Letter | |
File Size: | 158 kb |
File Type: |
Accreditation Council for Continuing Medical Education
The Accreditation Council for Continuing Medical Education (ACCME) believes that CMS should not rescind the Sunshine Act's continuing medical education exclusion, according to a letter sent to the Centers for Medicare and Medicaid Services (CMS). ACCME, the membership based organization responsible for accrediting institutions that offer continuing medical education, expresses support for CMS' original position of excluding accredited CME from required reporting under the Open Payments program. In CMS’ 2012 final rule, which is applicable under current law, the ACCME is one of the five enumerated accrediting bodies that seek to maintain the firewall between commercial support of CME and unscrupulous influence by drug and medical device companies.
The ACCME explains that “the continuing education accreditation, activity approval, and credit systems of the American Academy of Family Physicians, the American Academy of Physician Assistants, the American Dental Association, the American Medical Association, the American Nurses Credentialing Center, the American Osteopathic Associations, and the Association of Regulatory Boards of Optometry already base their requirements on ACCME [Standards for Commercial Support]. Verification could be a next step in order to ensure unity in requirements and interpretation... We believe this would establish a valid mechanism to (a) retain a list of accreditation systems in which the [ACCME standards] are implemented... and (b) provide verification of this implementation using already existing processes within the system of professional self-regulation in accredited continuing education."
The ACCME explains that “the continuing education accreditation, activity approval, and credit systems of the American Academy of Family Physicians, the American Academy of Physician Assistants, the American Dental Association, the American Medical Association, the American Nurses Credentialing Center, the American Osteopathic Associations, and the Association of Regulatory Boards of Optometry already base their requirements on ACCME [Standards for Commercial Support]. Verification could be a next step in order to ensure unity in requirements and interpretation... We believe this would establish a valid mechanism to (a) retain a list of accreditation systems in which the [ACCME standards] are implemented... and (b) provide verification of this implementation using already existing processes within the system of professional self-regulation in accredited continuing education."
Accreditation Council for Continuing Medical Education Letter | |
File Size: | 225 kb |
File Type: |
Pharmacy Groups
On August 20, four leading pharmacists groups -- the Academy of Managed Care Pharmacy, the College of Psychiatric & Neurologic Pharmacists, the International Academy of Compounding Pharmacists, and the National Community Pharmacists Association -- wrote a letter to HHS Secretary Sylvia Matthews Burwell expressing concerns with a provision in CMS recent proposed rule which contains a provision regarding the criteria for exempting certain CME-related payments from reporting pursuant to the Sunshine Act. As representatives of pharmacy stakeholders, the organizations encourage the agency to "maintain a strong reporting exemption for accredited CME and to extend that exemption to programs for continuing pharmacist education (CPE) programs that are certified by bona fide [accrediting] bodies."
The letter reflects analysis of the proposed rule that has been shared by the CME Coalition and many others, that removing section §403.904(g) of the existing regulations would effectively eliminate the Sunshine Act exemption for CME. "We believe that replacing the clear CME exemption with the category of 'indirect payments,' as your proposal suggests, will effectively eliminate the reporting exemption because commercial supporters will automatically report all of these payments rather than risking later discovery of the identity of these physician speakers." The letter goes on to encourage CMS to "promulgate very clear guidance under Open Payments that specifically exempts the reporting of all indirect support or transfers of value related to physician participation or attendance in an accredited CME program."
The letter reflects analysis of the proposed rule that has been shared by the CME Coalition and many others, that removing section §403.904(g) of the existing regulations would effectively eliminate the Sunshine Act exemption for CME. "We believe that replacing the clear CME exemption with the category of 'indirect payments,' as your proposal suggests, will effectively eliminate the reporting exemption because commercial supporters will automatically report all of these payments rather than risking later discovery of the identity of these physician speakers." The letter goes on to encourage CMS to "promulgate very clear guidance under Open Payments that specifically exempts the reporting of all indirect support or transfers of value related to physician participation or attendance in an accredited CME program."
Pharmacy Groups CME Letter | |
File Size: | 86 kb |
File Type: |
Individual Practitioners
Hundreds of individual practitioners have utilized the CME Coalition's comment portal to reach out to CMS. Indeed, CME providers and medical specialists from around the country have submitted comments to CMS telling them that the proposed rule could have a chilling effect on CME, and could negatively impact patient care. Below is a small sample of public outcry elicited by CMS’ proposal:
Justine Gunvalsen, Ohio
Justine Gunvalsen, Ohio
We develop valuable educational programs that are based on the latest evidence and guidelines. CME/CE is not a marketing tool but a highly regulated and important means of continuing education for healthcare providers. The goal of every activity that we develop is to provide clinicians with the tools needed to narrow their practice gaps and improve their clinical care while also empowering patients in their own care. We conduct the research and measure the educational outcomes to measure our achievement of this goal.
As the leading respiratory hospital in the U.S., our world renowned faculty are well-respected educators. I have spoken with faculty who say that if their involvement in CME activities, including honoraria payments, are reported under the Open Payments system, they likely will not participate as it implies they are doing something ‘wrong’… The proposed changes will cause confusion for physician learners who may find it harder to discern certified education from promotional activities if their participation is viewed in the same manner by CMS and the public.
In order to obtain quality speakers, and CME program that will meet our current and future needs we need to be able to attract thought leaders with an ability to communicate their expertise to the physician community at large.
I have already seen that the ‘Sunshine Act’ has discouraged international organizations from inviting US physicians to participate as speakers or attendees, because of the massive amount of paperwork involved in reporting ‘payments’ to US physicians. Misplaced regulation such as this decreases the availability of continuing education activities to US physicians and cuts us out of the mainstream of medical advances.
Full List of Commenting Organizations
Academy of General Dentistry
Academy of Managed Care Pharmacy
Accreditation Council for Continuing Medical Education
Accreditation Council for Graduate Medical Education
Advamed
Alabama Cancer Congress
Alliance for Continuing Education in the Health Professions (ACEhp)
American College of Physicians (ACP)
AMDA – The Society for Post-Acute and Long-Term Care Medicine
American Academy of Allergy, Asthma and Immunology
American Academy of Child & Adolescent Psychiatry
American Academy of CME
American Academy of Dermatology
American Academy of Dermatology (AAD)
American Academy of Dermatology Association
American Academy of Disability Evaluating Physicians
American Academy of Emergency Medicine
American Academy of Family Physicians (AAFP)
American Academy of Hospice and Palliative Medicine
American Academy of Neurology (AAN)
American Academy of Ophthalmology (AAO)
American Academy of Otolaryngology – Head and Neck Surgery
American Academy of Pediatrics (AAP)
American Academy of Physical Medicine and Rehabilitation
American Association for Geriatric Psychiatry
American Association for the Study of Liver Disease (AASLD)
American Association of Clinical Endocrinologists
American Association of Colleges of Osteopathic Medicine (AACOM)
American Association of Neurological Surgeons
American Association of Neuromuscular and Electrodiagnostic Medicine
American Association of Orthopaedic Surgeons
American Board of Medical Specialties
American Cancer Society - Cancer Action Network
American Clinical Neurophysiology Society
American College of Allergy, Asthma and Immunology (ACAAI)
American College of Cardiology
American College of Chest Physicians
American College of Emergency Physicians (ACEP)
American College of Foot and Ankle Surgeons
American College of Gastroenterology
American College of Medical Genetics
American College of Mohs Surgery
American College of Occupational and Environmental Medicine
American College of Osteopathic Internists
American College of Osteopathic Surgeons
American College of Phlebology
American College of Physicians
American College of Preventive Medicine
American College of Radiology (ACR)
American College of Rheumatology
American College of Surgeons
American Congress of Obstetricians and Gynecologists
American Council on Pharmacy Education (ACPE)
American Dental Association
American Gastroenterological Association
American Geriatrics Society
American Hospital Asociation
American Medical Association
American Medical Association (AMA) Final Comments
American Medical Informatics Association (AMIA)
American Nurses Association and American Nurses Credentialing Center
American Osteopathic Association (AOA)
American Podiatric Medical Association
American Psychiatric Association
American Society for Aesthetic Plastic Surgery
American Society of Anesthesiologists
American Society for Clinical Pathology
American Society for Dermatologic Surgery Association
American Society for Gastrointestinal Endoscopy
American Society for Radiation Oncology
American Society for Reproductive Medicine
American Society for Surgery of the Hand
American Society of Anesthesiologists
American Society of Bariatric Physicians
American Society of Cataract and Refractive Surgery
American Society of Clinical Oncology
American Society of Colon and Rectal Surgeons
American Society of Dermatopathology
American Society of Echocardiography
American Society of Hematology
American Society of Nephrology
American Society of Neuroradiology
American Society of Nuclear Cardiology
American Society of Plastic Surgeons
American Society of Radiation Oncology
American Society of Retina Specialists
American Society of Transplant Surgeons
American Speech Language Hearing Association
American Transplant Society
American Thoracic Society
American Urogynecologic Society
American Urological Association
American Women’s Association
Annenberg Center for Health Sciences
Aplastic Anemia and International MDS Foundation
Arizona Medical Association
Arkansas Medical Society
Association for Hospital Medical Education (AHME)
Association for Molecular Pathology
Association of Community Cancer Centers
Association of American Medical Colleges
Association of Health System Pharmacists (ASHP)
Bayer
Biotech Industry Association (BIO)
California Association of Family Physicians (CAFP)
California Medical Association
Chinese American Medical Association of So. California
Clinical Care Options
CME Coalition
Coalition for Healthcare Communications
Coalition for State Rheumatology Associations
College of American Pathologists
College of Psychiatric and Neurologic Pharmacists
Colorado Medical Society
Community Oncology Alliance
Connecticut Medical Association
Connecticut State Medical Society
Council of Medical Specialty Societies (CMSS)
Council on Podiatric Medical Education
DermaSciencesDickson Consulting
Digestive Health Physicians Association
Dignity Health
Educational Measures Letter
Endocrine Society
Federation of State Medical Boards
Florida Medical Association, Inc.
Global Education Group
Hawaii Medical Association
Healthcare Leadership Council
Heart Failure Society of America
Heart Rhythm Society Letter to CMS
Idaho Medical Association
Illinois State Medical Society
Indiana State Medical Association
Infectious Diseases Society of America
International Academy of Compounding Pharmacists
Iowa Medical Society
Iowa Oncology Society
Johnson and Johnson
Joint Council of Allergy Asthma and Immunology
Kansas Medical Society
Kentucky Medical Association
Large Urology Group Practice Association
Louisiana State Medical Society
Maine Medical Association
Massachusetts Medical Society
MedChi, The Maryland State Medical Society
Medical Association of Georgia
Medical Association of the State of Alabama
Medical College of Wisconsin
Medical Device Manufacturers Association
Medical Group Management Association
Medical Society of Delaware
Medical Society of New Jersey
Medical Society of the District of Columbia
Medical Society of the State of New York
Medical Society of Virginia
Med-IQ
Memorial Hermann Health System
Mercy Health System
Michigan State Medical Society
Minnesota Medical Association
Minnesota Society of Clinical Oncology
Mississippi State Medical Association
Missouri State Medical Association
Montana Medical Association
National Board of Medical Examiners
National Community Pharmacists Association
National Comprehensive Cancer Network
National Hemophilia Foundation
National Lipid Association
Nebraska Medical Association
Nevada State Medical Association
New Hampshire Medical Society
New Jersey Academy of Family Physicians
New Mexico Medical Society
North American Center for Medical Education
North American Spine Society
North Carolina Academy of Family Physicians
North Carolina Medical Society
North Dakota Medical Association
Ohio Academy of Family Physicians
Ohio Foot and Ankle Medical Association
Ohio State Medical Association
Oklahoma State Medical Association
Oregon Medical Association
PAH Foundation
Pan American Allergy Society
Pennsylvania Academy of Family Physicians
Pennsylvania Medical Society
Pfizer
PhRMA
PIM
Premier
Reed Elsevier
Renal Physicians Association
Rhode Island Medical Society
Rockpointe
Society for Cardiovascular Angiography and Interventions (SCAI)
Society for Translational Oncology
Society for Vascular Surgery
Society of Academic Continuing Medical Education (SACME)
Society of Critical Care Medicine
Society of General Internal Medicine
Society of Gynecologic Oncology
Society of Hospital Medicine
Society of Interventional Radiology
Society of Nuclear Medicine and Molecular Imaging
Society of Thoracic Surgeons
South Carolina Medical Association
South Dakota State Medical Association
Stryker
Summa Health System
Tennessee Medical Association
Texas Alliance for CME
Texas Health Resources
Texas Medical Association
The Endocrine Society
Utah Medical Association
Vermont Medical Society
Virginia Association of Hematologists and Oncologists
Washington State Medical Association
West Virginia Oncology Society
West Virginia State Medical Association
Wyoming Medical Society
*Links courtesy of Policy and Medicine.
Academy of Managed Care Pharmacy
Accreditation Council for Continuing Medical Education
Accreditation Council for Graduate Medical Education
Advamed
Alabama Cancer Congress
Alliance for Continuing Education in the Health Professions (ACEhp)
American College of Physicians (ACP)
AMDA – The Society for Post-Acute and Long-Term Care Medicine
American Academy of Allergy, Asthma and Immunology
American Academy of Child & Adolescent Psychiatry
American Academy of CME
American Academy of Dermatology
American Academy of Dermatology (AAD)
American Academy of Dermatology Association
American Academy of Disability Evaluating Physicians
American Academy of Emergency Medicine
American Academy of Family Physicians (AAFP)
American Academy of Hospice and Palliative Medicine
American Academy of Neurology (AAN)
American Academy of Ophthalmology (AAO)
American Academy of Otolaryngology – Head and Neck Surgery
American Academy of Pediatrics (AAP)
American Academy of Physical Medicine and Rehabilitation
American Association for Geriatric Psychiatry
American Association for the Study of Liver Disease (AASLD)
American Association of Clinical Endocrinologists
American Association of Colleges of Osteopathic Medicine (AACOM)
American Association of Neurological Surgeons
American Association of Neuromuscular and Electrodiagnostic Medicine
American Association of Orthopaedic Surgeons
American Board of Medical Specialties
American Cancer Society - Cancer Action Network
American Clinical Neurophysiology Society
American College of Allergy, Asthma and Immunology (ACAAI)
American College of Cardiology
American College of Chest Physicians
American College of Emergency Physicians (ACEP)
American College of Foot and Ankle Surgeons
American College of Gastroenterology
American College of Medical Genetics
American College of Mohs Surgery
American College of Occupational and Environmental Medicine
American College of Osteopathic Internists
American College of Osteopathic Surgeons
American College of Phlebology
American College of Physicians
American College of Preventive Medicine
American College of Radiology (ACR)
American College of Rheumatology
American College of Surgeons
American Congress of Obstetricians and Gynecologists
American Council on Pharmacy Education (ACPE)
American Dental Association
American Gastroenterological Association
American Geriatrics Society
American Hospital Asociation
American Medical Association
American Medical Association (AMA) Final Comments
American Medical Informatics Association (AMIA)
American Nurses Association and American Nurses Credentialing Center
American Osteopathic Association (AOA)
American Podiatric Medical Association
American Psychiatric Association
American Society for Aesthetic Plastic Surgery
American Society of Anesthesiologists
American Society for Clinical Pathology
American Society for Dermatologic Surgery Association
American Society for Gastrointestinal Endoscopy
American Society for Radiation Oncology
American Society for Reproductive Medicine
American Society for Surgery of the Hand
American Society of Anesthesiologists
American Society of Bariatric Physicians
American Society of Cataract and Refractive Surgery
American Society of Clinical Oncology
American Society of Colon and Rectal Surgeons
American Society of Dermatopathology
American Society of Echocardiography
American Society of Hematology
American Society of Nephrology
American Society of Neuroradiology
American Society of Nuclear Cardiology
American Society of Plastic Surgeons
American Society of Radiation Oncology
American Society of Retina Specialists
American Society of Transplant Surgeons
American Speech Language Hearing Association
American Transplant Society
American Thoracic Society
American Urogynecologic Society
American Urological Association
American Women’s Association
Annenberg Center for Health Sciences
Aplastic Anemia and International MDS Foundation
Arizona Medical Association
Arkansas Medical Society
Association for Hospital Medical Education (AHME)
Association for Molecular Pathology
Association of Community Cancer Centers
Association of American Medical Colleges
Association of Health System Pharmacists (ASHP)
Bayer
Biotech Industry Association (BIO)
California Association of Family Physicians (CAFP)
California Medical Association
Chinese American Medical Association of So. California
Clinical Care Options
CME Coalition
Coalition for Healthcare Communications
Coalition for State Rheumatology Associations
College of American Pathologists
College of Psychiatric and Neurologic Pharmacists
Colorado Medical Society
Community Oncology Alliance
Connecticut Medical Association
Connecticut State Medical Society
Council of Medical Specialty Societies (CMSS)
Council on Podiatric Medical Education
DermaSciencesDickson Consulting
Digestive Health Physicians Association
Dignity Health
Educational Measures Letter
Endocrine Society
Federation of State Medical Boards
Florida Medical Association, Inc.
Global Education Group
Hawaii Medical Association
Healthcare Leadership Council
Heart Failure Society of America
Heart Rhythm Society Letter to CMS
Idaho Medical Association
Illinois State Medical Society
Indiana State Medical Association
Infectious Diseases Society of America
International Academy of Compounding Pharmacists
Iowa Medical Society
Iowa Oncology Society
Johnson and Johnson
Joint Council of Allergy Asthma and Immunology
Kansas Medical Society
Kentucky Medical Association
Large Urology Group Practice Association
Louisiana State Medical Society
Maine Medical Association
Massachusetts Medical Society
MedChi, The Maryland State Medical Society
Medical Association of Georgia
Medical Association of the State of Alabama
Medical College of Wisconsin
Medical Device Manufacturers Association
Medical Group Management Association
Medical Society of Delaware
Medical Society of New Jersey
Medical Society of the District of Columbia
Medical Society of the State of New York
Medical Society of Virginia
Med-IQ
Memorial Hermann Health System
Mercy Health System
Michigan State Medical Society
Minnesota Medical Association
Minnesota Society of Clinical Oncology
Mississippi State Medical Association
Missouri State Medical Association
Montana Medical Association
National Board of Medical Examiners
National Community Pharmacists Association
National Comprehensive Cancer Network
National Hemophilia Foundation
National Lipid Association
Nebraska Medical Association
Nevada State Medical Association
New Hampshire Medical Society
New Jersey Academy of Family Physicians
New Mexico Medical Society
North American Center for Medical Education
North American Spine Society
North Carolina Academy of Family Physicians
North Carolina Medical Society
North Dakota Medical Association
Ohio Academy of Family Physicians
Ohio Foot and Ankle Medical Association
Ohio State Medical Association
Oklahoma State Medical Association
Oregon Medical Association
PAH Foundation
Pan American Allergy Society
Pennsylvania Academy of Family Physicians
Pennsylvania Medical Society
Pfizer
PhRMA
PIM
Premier
Reed Elsevier
Renal Physicians Association
Rhode Island Medical Society
Rockpointe
Society for Cardiovascular Angiography and Interventions (SCAI)
Society for Translational Oncology
Society for Vascular Surgery
Society of Academic Continuing Medical Education (SACME)
Society of Critical Care Medicine
Society of General Internal Medicine
Society of Gynecologic Oncology
Society of Hospital Medicine
Society of Interventional Radiology
Society of Nuclear Medicine and Molecular Imaging
Society of Thoracic Surgeons
South Carolina Medical Association
South Dakota State Medical Association
Stryker
Summa Health System
Tennessee Medical Association
Texas Alliance for CME
Texas Health Resources
Texas Medical Association
The Endocrine Society
Utah Medical Association
Vermont Medical Society
Virginia Association of Hematologists and Oncologists
Washington State Medical Association
West Virginia Oncology Society
West Virginia State Medical Association
Wyoming Medical Society
*Links courtesy of Policy and Medicine.