On October 24, we posted AAHD and the Lakeshore Foundation comments to CMS on proposed minimum nursing home staffing standards. Our comments were very condensed comments drafted by the National Consumer Voice for Quality Long-Term Care, Justice in Aging, and some of their colleague organizations. Available here are the combined comments of NAMD-NASDDDS-ADvancing States, associations of state administering agencies, on the possible impact of the rule on Medicaid HCBS: PDF.