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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 Link to more items from this source
[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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