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The Policy Committee of the North Carolina Medical Board has drafted a proposed position statement on telemedicine for consideration and possible adoption by the full Board. The Policy Committee discusses position statements in public sessions during regularly scheduled Board meetings. In addition, proposed statements are published on the Board's website and in the Forum before they are considered by the full Board. This allows licensees and other interested parties the opportunity to provide written comments that may influence the final version presented for Board action.
The full text of the proposed position statement on telemedicine appears below. Comments may be submitted to the Policy Committee via email at .(JavaScript must be enabled to view this email address)or post (PO Box 20007, Raleigh, NC 27619).
Telemedicine
"Telemedicine" is the practice of medicine using electronic communication, information technology or other means between a physician in one location and a patient in another location with or without an intervening health care provider.
The Board recognizes that technological advances have made it possible for physicians to provide medical care to patients who are separated by some geographical distance. As a result, telemedicine is a potentially useful tool that, if employed appropriately, can provide important benefits to patients, including: increased access to health care, expanded utilization of specialty expertise, rapid availability of patient records, and the reduced cost of patient care.
The Board cautions, however, that physicians practicing via telemedicine will be held to the same standard of care as physicians employing more traditional in-person medical care. A failure to conform to the appropriate standard of care, whether that care is rendered in-person or via telemedicine, may subject the physician to potential discipline by this Board.
The Board provides the following considerations to its licensees as guidance in providing medical services via telemedicine:
I’m a pathologist licensed in NC, presently practicing in TN. I think this position statement should specifically address radiology, where telemedicine has become an indispensable part of practice, and pathology, where rapidly evolving “virtual slide” technology, not yet quite ready for prime time, is probably going to effect similar changes.
It is important to emphasize confidentiality also. Most e-medicine programs like Relay Health are HIPPA compliant however having a dedicated “AOL” address for billing email encounters is NOT guaranteed to be confidential. It is important to maintain this important part of the interaction.
I have found telemedicine to be very helpful in monitoring ALS patients in the home when they cannot attend clinic later in the disease course. Home monitoring via telemedicine in the presence of the home care RN is helpful for identifying and treating issues before they become problematic.
Depending on how the “Examinations” part of this policy is interpreted, a physician who treats a UTI or vaginitis over the telephone (telemedicine involving a verbal questionnaire) or Secure email could be in violation of this policy. I am sure that the Board does not intend that this would be a violation, so I would hope that clarification would be included in the language to specifically address the provision of care to an established patient using any of the current or newly developed electronic technologies that allow physicians and patients to communicate without being physically together.
Does a Pathologist or Radiologist need consent if they reside in NC and are sending an image to a physician in another State for a Primary interpretation or consultation?
As licenses for telemedicine providers are issued I would recommend that the board consider the development of specific, limited licenses for teleradiology, teledermatology, and telepathology. These applications are well researched and do not require direct patient interaction in the same manner that telepsychiatry requires.
There is a difference between teleconsultation (that may be physician-physician and in the absence of the patient, but with the consultant relying on the requesting physicians data) in which advice is given to the referring physician for their consideration, and telemedicine where the physician is writing notes and providing orders in a medical record for direct implementation. The responsibilities for disclosure to the patient, location of the resulting medical records, and credentialling/privileging of the teleconsultant at the home and referring institution (if hospital-hospital) could differ in requirements. I work in the VA healthcare system, where most of the issues have been well worked out and addressed.
I think this is an excellent statement. It confirms the responsibilities of the clinician while allowing room for future technology to improve patient care. No matter what improvements occur in telecommunications, it does not alter the patient-clinician relatiionship/
In this era of global outreach and one world platform of internet, what is the licensure required if a patient in NC wants to consult a physician located in another country? What are the medico-legal implications in such a circumstance?
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