By Kierstin Reed
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October 9, 2026
Special Edition Nursing Home Network, October 15 at 3pm ET. The Nursing Home Network will meet for a special call on Thursday, October 15 at 3pm ET. The purpose of this call will be to review and provide input on the nursing homes section of the LeadingAge Policy Platform. Please note that this call will not replace the regularly scheduled monthly Nursing Home Network call, scheduled for Tuesday, October 27. Members of the Nursing Home Network will receive the login for the October 15 call by email. Not yet a member of the Nursing Home Network? Register here using your LeadingAge login. New National Shared Credentialing Process for Health Plans Begins Nov. 1. United Healthcare, Cigna and Centene will begin using a shared portal for their contracted providers to submit their credentialing information. For providers participating in these plans and others who join, this means they will submit their credentialing information once instead of once per plan. For more information about the new process, what it means for providers and what to do next, check out the LeadingAge article here . New HUB Resource for Hospice Care in Nursing Homes. LeadingAge is incredibly excited to share our new resource to help providers better coordinate care for nursing home residents receiving hospice services, Hospice Care in Nursing Homes: A Shared Responsibility. The education resource reviews five sections, relationship and communication processes, regulation and reimbursement including regulatory co-management expectations, navigating complex scenarios, care coordination, and tools for building contracts, which were developed from a series of listening sessions with both hospice and nursing home members. MA Disenrollment of SNF Residents in the Spotlight. The Center for Medicare Advocacy reports that nursing homes are disenrolling residents from their Medicare Advantage plans without their knowledge and that the Centers for Medicare and Medicaid Services (CMS) have long-standing guidance that reinforces that these changes should only be initiated by the beneficiary or their authorized representatives. LeadingAge reminds members that such disenrollment actions by nursing homes can result in survey tags and investigations for fraud and abuse, while also can have wide-ranging implications for the beneficiaries. More details can be found in this LeadingAge article including links to the two CMS memos that outline what is permitted and the required steps that must be taken if nursing homes opt to assist beneficiaries and families with these decisions. CMS Updates HAI Measure to Include Claims Data. The Centers for Medicare & Medicaid Services (CMS) released an update to the Skilled Nursing Facilities (SNF) Quality Reporting Program (QRP) measure technical specifications on September 24, re-specifying the Healthcare-Associated Infections (HAI) Requiring Hospitalization measure. This measure will now include Medicare Advantage (MA) encounter data in addition to the Medicare Fee-for-Service data that was already included in calculations. The measure specifications also include updates to risk adjustment based on the inclusion of this data. Read the updated specifications in the technical specification report, available in the Downloads section of the SNF QRP Measures and Technical Information page. Transparency Win: CMS Directs MACs to Publish Quarterly Data on TPE. In a Change Request (CR 14616) published on September 30, 2026, the Centers for Medicare and Medicaid Services (CMS) directs Medicare Administrative Contractors (MACs) to post Target Probe and Educate (TPE) results quarterly on their websites. This is a big win for home health, hospice, and nursing home providers who, until now, had no insights into trends and issues concerning TPE. LeadingAge has repeatedly called for this kind of transparency from MACs, most recently in our response to the Comprehensive Regulations to Uncover Suspicious Healthcare (CRUSH) Request for Information. The changes CMS is requiring will take effect November 2, 2026. CMS states that, at a minimum, MACs must post the three most common reasons per Targeted Probe and Educate prioritized problem on their websites. Additionally, if more than three denial reasons for a specific topic would be useful, the MACs should include those as well. This information will go a long way towards educating the greater provider community regarding what payment processing issues and trends.