At a CMS/SHARP meeting 2/12 in a Q&A session one of the panelists (I
believe Stanley Nachimson of CMS) stated that the transaction addenda might
not be finalized by the October 2002 compliance date which would mean
covered entities which cannot support the NDC codes or Provider Taxonomy
(or anything else changed in the addenda) would need to file an extension.

Freida B. Hall
Manager, Cap Gemini Ernst & Young
Health - HIPAA Solution Team
Office: 404.817.4377
CAPComm: �7443743
Results are the Difference

|------------------------+------------------------+------------------------|
|                        |   "Julie Hills"        |                        |
|                        |   <julie.hills@bannerhe|   � � � � To:          |
|                        |   alth.com>            |   <[EMAIL PROTECTED]|
|                        |                        |   g>                   |
|                        |   02/22/2002 03:10 PM  |   � � � � cc:          |
|                        |   Please respond to    |   � � � � Subject:     |
|                        |   transactions         |   837 Addenda          |
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It has not been approved yet, correct? �It still has to go through the
Notice of Proposed Rule Making (NPRM) process? �Does anyone know what the
schedule is for that.

We are trying to decide if we should go with the original implementation
guide or include the changes in the addenda. �If the addenda will be
approved in the next several months we were thinking it would make sense to
include the changes in the addenda. �What are others doing?

Julie Hills



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