“... register with the TMB if the physician delegates prescriptive authority to Advanced Practice Registered Nurses (APRNs). Current registered delegations to APRNs are displayed in this section of the physician profile. ”
“... physicians, and if prescribing drugs, must have a prescriptive delegation agreement with their supervising physician(s).
The Licensure Department of the Texas Physician Assistant Board is committed to furthering the mission of the Board by ensuring quality healthcare for the citizens of Texas ... ”
“... ontrolled substances, or delegate medical acts or prescriptive authority.
Provisional License is available only to applicants for a full medical license and allows the applicant to practice for 270 days in a medically underserved or health professionals shortage area.
Medical License Limited to Unde ... ”
“... ce of the expiration date.
Supervision and Prescriptive delegation:
To register Supervision and/or Delegation, use the online system to file the notice of intent to practice/supervise forms required of PAs and physicians AND to register prescriptive authority, prior to beginning to prac ... ”
“... this considered a facility-based practice?
Is a prescriptive authority agreement required in a hospital or long term care facility-based practice?
At how many facilities can one physician delegate prescriptive authority through protocols?
Who may delegate prescriptive authority in a hospital f ... ”
“Online Supervision and Prescriptive Delegation Registration System - Click to access system.
Use the online system to register prescriptive authority AND to file the notice of intent to practice/supervise as required of PAs and physicians. Hard copy supervision and delegation forms are no lon ... ”
“... ) SUPERVISION & PRESCRIPTIVE DELEGATION REGISTRATION
If you have questions regarding the log in for the Supervision and Prescriptive Delegation Registration System, please use the “HELP” options available in the the upper right hand corner on each ... ”
“... to a patient.
For additional FAQs on prescriptive delegation, visit: http://www.tmb.state.tx.us/page/prescriptive-delegation
”
“... spital privileges, specialty board certification, delegation information, etc.)and some of which is provided and verified by the board (e.g., license status, educational background, disciplinary actions, etc.):
(1) Full name;(2) Place of birth if the physician requests that it be included in the phy ... ”
“... spital privileges, specialty board certification, delegation information, etc.) and can be updated at any time. Many updates are provided by the physician at a time of licensure renewal/registration. An update may be provided by the licensee between renewals, while certain updates MUST b ... ”
“... r tests, and prescribe.
Supervision and Prescriptive Authority Registrations: waived the requirement of physicians having to register with the TMB their supervision and prescriptive authority for PAs and APRNs.For more information on this requirement, visit: https://www.tmb.state.tx.us/pag ... ”
“At this time, the Online Supervision and Prescriptive Delegation Registration system is not set up to accept delegation locations outside of Texas.
Any physician, PA or APRN who does not have a TX practice address and needs to register prescriptive delegation, please contact the Registration Departm ... ”
Description: Medical Board 2006 April Dprc
Document: ... s to include 178.8 Appeals; Chapter 193, Standing Delegation Orders, to include 193.12. Ms. Shackelford presented additions and changes to the proposed amendments. Dr. Anderson moved, Ms. Southard seconded and the motion passed to publish the following proposed additions and deletions in the Texas R ...
Description: Acupuncture 2006 May, Full Board
Document: ... set change in Acupuncture Act,§ 205.255 regarding delegation of approval of Continuing Acupuncture
Education courses to staff.
Agenda item #4 was deferred to the July Board meeting.
Agenda item #5, Report and discussion regarding the status of the proposed Texas Board of Chiropractic Examiners rul ...
Description: Acupuncture 2007 February, CAEA D Hoc
Document: ... and course content requirements; as well as, the delegation to medical board employees of the authority to approve course applications for courses that clearly meet the guidelines. Ms. Garanflo presented information on the approval process for preferred providers of CAE, currently in rule, but not ...
Description: Acupuncture 2007 May, Education
Document: ... course content, usage of preferred providers, and delegation of authority to approve courses to agency staff; was considered. Ms. Garanflo presented a plan to implement written guidelines. Mr. Chernly moved to recommend to the full board that the written guidelines presented by staff be approved as ...
Description: Acupuncture 2009 Jan, Licensure
Document: ... on, recommendation, and possible action regarding delegation of authority to the Executive Director in cases of mental health, physical health, substance abuse, and submission of false statements or documents during the licensure process to
offer orders. Ms. Garanflo described the processes in pla ...
Description: Medical Board 2006 April STANDING ORDERS COMMITTEE MEETING MINUTES April 6, 2006
Document: ... n, and possible action on requests for waivers of prescriptive delegation requirements . The committee received a request for waiver of prescriptive delegation from Ruben Bocanegra, M.D. Following discussion, Mr. Turner moved that the Standing Orders Committee recommend to the full board that Dr. Bo ...
Description: Medical Board 2006 April Telemedicine Committee April 7, 2006
Document: ... ude amendments to 174.2, Definitions and to 174.6 Delegation to and Supervision of Telepresenters regarding delegation of tasks and activities by a physician to a telepresenter. Mr. Thomassen presented the proposed changes to 174.2, Definitions and to 174.6 Delegation to and Supervision of Teleprese ...
Description: Medical Board 2006 - August - Standing Orders Committee Meeting Minutes August 25, 2006
Document: ... n, and possible action on requests for waivers of prescriptive delegation requirements . There were none.
Agenda item #3, regarding a report on waivers acted upon by staff. There were none.
Agenda item #4, regarding discussion, recommendation, and possible action regarding proposed amendments to C ...
Description: Medical Board 2006 - February - Standing Orders Committee Meeting Minutes February 2, 2006
Document: ... n, and possible action on requests for waivers of prescriptive delegation requirements. There were none. Agenda item #3, regarding a report on waivers acted upon by staff. Ms. Garanflo reported that staff has received one waiver request which will be posted on the web for public comment.
Agenda ite ...
Description: Medical Board 2006 - June - Minutes of the Diciplinary Process Review Committee June 1, 2006
Document: ... s failure to supervise and oversee the use of the prescriptive medical devices .
Dr. Kalafut moved, Ms. Blackwell seconded and the motion passed to move for a second ISC on Case # 06-0255 based on the following: 1) File indicates enough doubt as to the appropriateness of a colonoscopy performed on ...
Description: Medical Board 2006 - June - Full board Committee Meeting Minutes June 1, 2006
Document: ... inutes and action items with a correction to add "prescriptive" before medical devices on page 4. Dr. Benavides gave a report of the Finance Committee meeting. Dr. Benavides moved, Ms. Blackwell seconded, and the motion passed to approve the Finance Committee meeting minutes and action items. Ms. Bl ...
Description: Medical Board 2006 - June - Standing Orders Committee Meeting Minutes June 1, 2006
Document: ... n, and possible action on requests for waivers of prescriptive delegation requirements . There were none.
Agenda item #3, Report on waivers acted upon by staff. There were none.
Agenda item #4, Discussion, recommendation, and possible action proposed amendments to Chapter 193, Standing Orders:
A. ...
Description: Medical Board 2007 - August - Full Board Committee Meeting Minutes
Document: ... Prescription; and 181.6 Physicians Prescriptions: Delegation, relating to establishing that the verification of a contact lens prescription may substitute for an original signature to create a valid contact lens prescription. No one signed up to present oral comments. No written comments were receiv ...
Description: Medical Board 2007 - June - Standing Orders Committee Meeting Minutes
Document: ... n, and possible action on requests for waivers of prescriptive delegation requirements . There were none.
Agenda item #3, regarding a report on waivers acted upon by staff. There were none.
Agenda item #4, regarding discussion, recommendation, and possible action regarding Rule Review and proposed ...
Description: Medical Board 2007 - November - Full Board Committee Meeting Minutes
Document: ... .D. once it is amended to prohibit supervision or delegation of prescriptive authority to physician assistants and advanced nurse practitioners.
After discussion, Mr. Turner moved, Dr. Anderson seconded, and the motion passed to approve the Agreed Order for Robert N. Crabtree, M.D. as written.
Aft ...
“... d circumstances a physician who issues a standing delegation under chapter 203 generally “is not liable in connection with an act performed under that standing delegation order”). Thus, we cannot conclude that the liability of a physician delegating the administration of anesthesia to a ... ”
Are physicians potentially subject to discipline for violations of the standard of care by CRNAs to whom they have delegated the selection or administration of anesthesia or the care of an anesthetized patient?
Yes, potentially. Although physicians are not required to supervise CRNA’s for delegated tasks, they nonetheless remain subject to potential liability for violations of the standard of care by CRNAs, depending on federal and state statutes and regulations. The degree to which a physician is required to supervise a CRNA during the performance of a task in anesthesia services is left to the “physician’s professional judgment in light of other relevant federal and state laws, facility policies, medical staff bylaws, and ethical standards.” (Texas Attorney General Opinion No. JC-0117). However, physician supervision during the medical management of a patient while undergoing an anesthetic may require supervision dependent on federal and state statutes and regulations.
Additionally, Texas Attorney General Opinion No. KP-0353 found “In authorizing physicians to delegate the administration of anesthesia to CRNAs, the Legislature did not expressly limit the liability of the delegating physician. See TEX. OCC. CODE § 157.058; cf. id. § 157.004(c) (providing that in specified circumstances a physician who issues a standing delegation under chapter 203 generally “is not liable in connection with an act performed under that standing delegation order”). Thus, we cannot conclude that the liability of a physician delegating the administration of anesthesia to a CRNA is limited solely to the determination of competency. Questions of physician liability in any specific context are highly factual and not an appropriate determination for the opinion process. See Tex. Att’y Gen. Op. No. GA-0446 (2006) at 18 (“Questions of fact are not appropriate to the opinion process.”) (Page 4 with emphasis added.)
“... eral and state statutes and regulations regarding delegation. The physician retains responsibility of the medical management of the patient. Therefore, the delegating physician must consider the delegatee’s education, training, and experience prior to delegating. Additionally ... ”
When is Physician supervision of a CRNA required?
Regardless of the circumstances when supervision is or is not required, it is important to remember that the delegating physician must abide by all required federal and state statutes and regulations regarding delegation. The physician retains responsibility of the medical management of the patient. Therefore, the delegating physician must consider the delegatee’s education, training, and experience prior to delegating. Additionally, delegation may be revoked by the delegating physician at any time.
The Texas Attorney General has issued three opinions on CRNA supervision. The latest opinion found that although physician supervision of a CRNA is not required in Texas Occupations Code Sec. 157.058, other federal and state statutes and regulations may require physician supervision of a CRNA, a CRNA may not administer an anesthetic that is a controlled substance outside the presence of a physician, and the Legislature did not expressly limit the liability of the delegating physician.
Specifically, Texas Attorney General Opinion KP-0353 found “Section 157.058 of the Occupations Code does not, by itself, require a physician who properly delegates anesthesia-related tasks to a certified registered nurse anesthetist (“CRNA”) to supervise the performance of those acts.” (Page 5)
However, KP-0353 also found “…the language of chapter 157 is not the only relevant authority to consider in addressing the question of physician supervision over acts delegated to a CRNA. Federal regulations limiting Medicare coverage and conditioning hospital participation in Medicare and Medicaid programs require physician supervision of a CRNA when administering anesthesia in certain circumstances. See, e.g., 42 C.F.R. §§ 416.42(b)(2), 482.52(a)(4), 485.639(c)(1)(v), (2) (requiring a CRNA to operate under a physician’s supervision when administering anesthesia in certain circumstances). Furthermore, a CRNA may not administer an anesthetic that is a controlled substance outside the presence of a physician. See TEX. HEALTH & SAFETY CODE §§ 481.002(1)(A) (defining “administer” to require agent to apply controlled substance in presence of physician), .071(a) (prohibiting physician from causing controlled substance to be administered under physician’s “direction and supervision” except for valid medical purpose and in course of medical practice). And a CRNA may not obtain an anesthetic that is a dangerous drug unless a physician has listed that CRNA as the physician’s designated agent. See id. §§ 483.001(4) (defining “designated agent”), .022(a) (requiring physician to name each designated agent in writing). (Page 3 with emphasis added.)
Finally, KP-0353 found “Whether and the extent to which physician supervision is required for an act delegated to a CRNA will depend on the specific act delegated, the type of facility in which the CRNA performs the act, and any relevant regulations of that facility. And while section 157.058 authorizes a physician to delegate to a CRNA, a physician is never required to do so. If a physician is concerned about a CRNA’s ability to perform a delegated act or desires to limit the delegation, the physician retains the authority to refrain from delegating, to limit the delegation, or to supervise the delegation to whatever extent the physician determines necessary. In sum, the authority to delegate provided by section 157.058 of the Occupations Code does not eliminate the need to comply with all other applicable statutes, regulations, bylaws, ethical standards, and a physician’s own professional judgment. See TEX. OCC. CODE § 157.007 (“An act delegated by a physician under [chapter 157] must comply with other applicable laws.”). (Page 4 with emphasis added.)
“APRNs or PAs may prescribe schedule II drugs in the following situations: (1) in a hospital facility-based practice, in accordance with policies approved by the hospital's medical staff or a committee of the hospital's medical staff as provided by the hospital's bylaws to ensure patient safety ... ”
Who can prescribe Schedule II drugs under physician delegation?
APRNs or PAs may prescribe schedule II drugs in the following situations:
(1) in a hospital facility-based practice, in accordance with policies approved by the hospital's medical staff or a committee of the hospital's medical staff as provided by the hospital's bylaws to ensure patient safety and as part of care provided to a patient who:
(A) has been admitted to the hospital for an intended length of stay of 24 hours or greater; or
(B) is receiving services in the emergency department of the hospital; or
(2) as part of the plan of care for the treatment of a person who has executed a written certification of a terminal illness, has elected to receive hospice care, and is receiving hospice treatment from a qualified hospice provider.
“... pital anddoes not qualify as an eligible site for delegation of schedule II authority. The physician may only delegate authority to prescribe controlled substances in schedules III through V in this setting. Authority to prescribe dangerous drugs, nonprescription drugs and devices may be ... ”
Can schedule II authority be delegated in a free standing emergency department that is affiliated with a hospital?
No. A free standing emergency department is not located within the hospital anddoes not qualify as an eligible site for delegation of schedule II authority. The physician may only delegate authority to prescribe controlled substances in schedules III through V in this setting. Authority to prescribe dangerous drugs, nonprescription drugs and devices may be delegated in any setting.
“Yes. Nothing changed for delegation of prescriptive authority for controlled substances in schedules III through V. ”
Can APRNs and PAs in hospital-based clinics continue to prescribe drugs in schedules III through V?
Yes. Nothing changed for delegation of prescriptive authority for controlled substances in schedules III through V.
“... ian who may be subject to discipline for improper delegation dependent upon the facts and circumstances of each case, and how state statutes and regulations apply in those situations. ”
Is a CRNA under a valid delegation order, subject to discipline by the Texas Medical Board under the Medical Practice Act for a violation of the standard of care in the selection and administration of anesthesia or the care of an anesthetized patient?
No, while the selection and administration of anesthesia is a medical act, if such an act was validly delegated to a CNRA by a physician, the act is considered to be within the practice of nursing and governed by the Nursing Practice Act. Any discipline for a violation of the standard of care by a CRNA would be carried out by the Texas Board of Nursing under the authority of the Nursing Practice Act. Ultimate responsibility and accountability for the medical management of a patient under anesthesia remains with the delegating physician who may be subject to discipline for improper delegation dependent upon the facts and circumstances of each case, and how state statutes and regulations apply in those situations.
“... endent authority to administer anesthesia without delegation by a physician.” (Page 5). Since the selection and administration of anesthesia is a medical act, CRNAs must be properly delegated this act by a physician. A CRNA who administers anesthesia without proper delegation from a ... ”
Are CRNA’s authorized to practice independent of physician supervision and delegation?
No, neither the Medical Practice Act nor the Nursing Practice Act authorize independent practice by a CRNA. Additionally, Texas Attorney General Opinion No. KP-0266 found “A certified registered nurse anesthetist does not possess independent authority to administer anesthesia without delegation by a physician.” (Page 5). Since the selection and administration of anesthesia is a medical act, CRNAs must be properly delegated this act by a physician. A CRNA who administers anesthesia without proper delegation from a physician would be liable for the unlicensed practice of medicine.
“... m. If there is a change to the scope of the delegation, physicians must notify the Board within 30 days of this change.PAs are likewise required to register their supervising physicians with the Board prior to beginning to practice under the employment or prescriptive authority agreement.  ... ”
Do I have to let the Medical Board know about my delegates/supervising physicians?
Yes, if you are a physician or a physician assistant.
Physicians are required to register all PAs and APRNs that they supervise prior to the delegates beginning to work for them. If there is a change to the scope of the delegation, physicians must notify the Board within 30 days of this change.
PAs are likewise required to register their supervising physicians with the Board prior to beginning to practice under the employment or prescriptive authority agreement. They are also required to notify the Board within 30 days of any change to the scope of the delegation.
APRNs should look to guidance provided by the Texas Board of Nursing for how to register their delegating physicians, as the Medical Board does not have licensing authority for nurses.