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U.S. Chamber of Commerce Comment Letter to EBSA on Proposed Regs for Incentives for Nondiscriminatory Wellness Programs in Group Health Plans (PDF)
U.S. Chamber of Commerce
[Opinion] Jan. 28, 2013
"The Chamber is concerned about several substantive components of the Proposed Rule including: (1) the requirement that employers provide essentially personalized wellness programs based on each individual employee's exacting circumstances; (2) the unwarranted level of customization that the proposed rule requires regarding the offering of a reasonable alternative reward; and (3) the regulatory proposal to improperly link of the definition of 'tobacco use' under carrier rating requirements and wellness programs."
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