In March 2026, CMS released updated guidance reinforcing expectations for monitoring, oversight, and accountability across Medicaid and CHIP managed care programs. The guidance emphasizes program integrity, standardized reporting, and the use of data to drive performance improvement and reduce fraud, waste, and abuse.
These updates signal continued federal focus on strengthening state oversight frameworks and ensuring managed care organizations operate with transparency, consistency, and measurable outcomes.
States are required to maintain comprehensive monitoring systems that address core program areas, including access, quality, financial performance, grievance and appeal processes, and program integrity. Data collected through these activities must be actively used to assess and improve managed care program performance.
CMS continues to advance the use of standardized reporting through the Medicaid Data Collection Tool for Managed Care Reporting (MDCT-MCR). Required reporting includes:
These tools are intended to improve consistency in data submission, enhance transparency, and support more effective federal and state oversight.
CMS highlights findings from oversight bodies indicating limited state review of prior authorization denials and variations in denial rates across plans. States are expected to strengthen oversight by:
CMS provides additional clarification regarding network adequacy requirements, particularly related to maternal health services. States have flexibility in defining provider types that meet adequacy standards and are encouraged to adopt more detailed and targeted approaches to better assess access across provider categories and service types.
CMS has implemented Medicaid Managed Care Oversight Reviews (MCORs) as a structured oversight mechanism. These reviews are designed to:
MCORs will rely on standardized reporting data and may include targeted data collection from selected states.
CMS continues to refine reporting requirements and improve data quality through enhanced reporting tools and guidance. Updates to MCPAR, NAAAR, and MLR reporting are intended to:
Additionally, expanded requirements for encounter data reporting through T-MSIS reinforce the importance of comprehensive and timely data submission.
CMS is reinforcing expectations that states use data not only for reporting purposes, but as a core component of oversight, performance evaluation, and program improvement.
Standardized reporting tools and oversight mechanisms are creating greater alignment between federal expectations and state-level monitoring processes, enabling more consistent evaluation across programs.
The guidance places continued emphasis on identifying and addressing fraud, waste, and abuse, particularly through improved financial oversight, prior authorization monitoring, and reporting transparency.
CMS is advancing a more integrated oversight model that connects access, quality, financial performance, and enrollee experience into a unified framework for evaluating managed care programs.
CMS’s approach reflects a continued shift toward structured, data-driven oversight of Medicaid managed care programs. As reporting systems mature and oversight tools expand, state agencies and managed care organizations will be expected to demonstrate not only compliance, but sustained performance and measurable outcomes across all areas of program operations.