Proposed Rule Threatens Americans with Disabilities' Wellbeing and Earned Benefits, Requires More Study and Feedback
"We urge SSA to extend by an additional 45 days the comment period for the notice of Proposed Rulemaking, 'Rules Regarding the Frequency and Notice of Continuing Disability Reviews,'" the members wrote. "Under the proposed rule, SSA will increase the number and frequency of reviews of people who have previously been approved for SSDI and SSI, to see if the person's medical impairment has improved. This process, known as a continuing disability review (CDR), can be extremely complex for beneficiaries to navigate. We are concerned that under the proposed rule, some individuals subject to review will be simply unable to navigate the process and, as a result, lose their benefits even though there is no medical improvement."
The letter was signed by
The full letter can be found here https://waysandmeans.house.gov/sites/democrats.waysandmeans.house.gov/files/documents/Letter%20on%20CDR%20NPRM.pdf and below.
The Honorable
Commissioner
Dear Commissioner Saul:
We write to request that the
Under the proposed rule, SSA will increase the number and frequency of reviews of people who have previously been approved for SSDI and SSI, to see if the person's medical impairment has improved. This process, known as a continuing disability review (CDR), can be extremely complex for beneficiaries to navigate. We are concerned that under the proposed rule, some individuals subject to review will be simply unable to navigate the process and, as a result, lose their benefits even though there is no medical improvement. In addition, the process can create severe and unnecessary stress as beneficiaries fear they will lose their main source of income even though they are still unable to support themselves through work due to their medical impairment.
Over the years,
There are four compelling reasons to extend the comment period by an additional 45 days, to
First, SSA's proposed rule is incredibly complex and would make sweeping changes to SSA's continuing disability review process, including: creating a new CDR category, increasing the frequency of CDRs, and changing the criteria that SSA follows to determine when each individual will be reviewed. The rule's proposed changes would interact in complicated ways with each other and with SSA's existing procedures. In addition, the proposed changes are based on unsupported assertions in the NPRM about changes in medical treatment and employment opportunities for people with disabilities. Thorough evaluation of how the proposed rule would affect SSDI and SSI beneficiaries, and SSA's service delivery, is a complex undertaking that merits more time.
Second, SSA's proposed rule would have a very significant and potentially harmful impact on
Third, the rule is a significant economic regulatory action (under Executive Order 12866, section 3(f)(1), as supplemented by Executive Order 12563). The rule would result in significant administrative expenditures by SSA totaling
Fourth,
In closing, we urge SSA to extend by an additional 45 days the comment period for the Notice of Proposed Rulemaking, "Rules Regarding the Frequency and Notice of Continuing Disability Reviews" (84 Fed. Reg. 63588,
Chairman
Ranking Member
Chairman
Subcommittee on
Ranking Member
Subcommittee on
Chairman
Subcommittee on Worker and Family Support
Ranking Member
Read this original document at: https://waysandmeans.house.gov/media-center/press-releases/house-and-senate-disability-leaders-call-ssa-allow-more-feedback



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