The Centers for Medicare & Medicaid Services (CMS) has implemented several significant updates to the Federal IDR Portal's web forms on July 1, 2025. Since then, we have received a lot of questions about the changes, so we wanted to add some clarity about how the updates impact the dispute submission process.
These changes affect how disputes are initiated, how health plan types are classified, and include new validation requirements. Here's what FHAS clients need to know about these updates.
1) Updated Health Plan Type Classifications
CMS has refined the terminology for health plan types to be more precise:
2) New Requirements for Specific Plan Types
Church Plans and Non-Federal Governmental Plans: If you're a health plan initiating a dispute and you select either a church plan or non-federal governmental health plan (such as state or local government plans), you must now specify whether the plan is “fully-insured” or “self-insured.”
Self-Insured Health Plans: If you’re a self-insured health plan initiating a dispute, you must now indicate whether you have opted into any relevant specified state laws that apply to the items and services in dispute. This information is crucial for determining applicable regulations and payment standards.
3) Enhanced Cooling Off Period Validations
New Field - Dispute Reference Number: Initiating parties must now enter the dispute reference number when they indicate that the dispute was initiated following the completion of the 90-calendar-day cooling off period.
Automatic Verification: The system will then verify that there's a payment determination associated with that reference number issued at least 90 calendar days before your current submission date.
4) New Date of Service Validations
Timeline Validation: The system checks that all claim dates of service occur before the open negotiation start date (unless initiating parties indicate that they received an extension approval or the 90-day cooling off period applies)
Batched Disputes: The system now verifies that all items or services are within 30 business days of each other (unless the 90-day cooling off period applies)
5) Duplicate Prevention Measures
The CMS portal now prevents submission of duplicate dispute line items that share the same claim number, date of service, or service code as previously submitted dispute line items.
Incorrect Duplicate Determinations
Although this was meant to stop ineligible disputes from being submitted, some scenarios incorrectly prevented eligible disputes. We've identified two such scenarios:
If you encounter either scenario, email the federal IDR questions inbox explaining why your dispute isn't a duplicate and provide relevant supporting documentation for CMS to grant an extension.
1) Reorganized Layout
The first page within the IDR Entity Selection Response web form has been reorganized to include the following:
2) Health Plan Type Attestation Requirements
You must now attest to whether the health plan type selected by the initiating party is correct. If you disagree:
If you select "Other," you must choose from specific categories where the No Surprises Act doesn't apply:
Selecting "Other" automatically populates the Federal Applicability section to indicate the dispute isn't eligible for Federal IDR.
Critical Limitation: Health plans can only attest to ONE health plan type per dispute, even in batched disputes that might involve multiple plan types. If this limitation occurs, contact the FHAS Account Services team with proof of the claim's health plan type for us to determine eligibility accurately.
If a non-initiating health plan didn't complete the IDR Entity Selection Response form, the Notice of Offer form now includes dynamic content requiring:
Common Client Question: "What happens if the health plan selects a different health plan type than what I originally selected?"
FHAS Response Process: When health plan types differ between parties, FHAS will request additional information and proof to determine the accurate health plan type (if we don’t already have access to this information). We will:
As always, the FHAS Account Team is here to help navigate these changes. If you have questions about how these updates affect your specific situations or need assistance with dispute submissions, please don't hesitate to contact our client services team at IDRE@fhas.com or 800-664-7177.
For the complete text of CMS's official announcement, visit the CMS No Surprises Act Notices page.