Discussion of CMLA Policy on Clinician Role in an Accredited Motion Lab

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carollo
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Discussion of CMLA Policy on Clinician Role in an Accredited Motion Lab

Postby carollo » Wed May 23, 2018 2:03 pm

At the 2018 CMLA Workshop, held in conjunction with the 2018 GCMAS Annual Meeting in Indianapolis, we introduced the new CMLA Policy on the Clinician's Role in a CMLA accredited clinical motion lab. The policy is live now and open for public discussion in this forum for the next several months. The policy statement itself can be found publicly under the "Resources" tab on the main http://www.CMLAinc.org page, or available directly via this link:

http://www.cmlainc.org/docs/CMLA%20Poli ... _FINAL.pdf

Please post your comments as replies to this post. CMLA BoD will review and consider your posts during this public comment period. The public comment period will close August 31, 2018.

NOTE: Anyone can read the policy and follow the policy discussion forum, but to post a reply you need to already have a CMLAinc.org membership and be logged in; otherwise you must request a new registration. The link to register appears when you try to post a comment or response.

If you already are registered at CMLAinc.org, you can use your usual login credentials. Be advised that if you are not making a comment on behalf of the lab you represent, it would be best to create a personal login by submitting a new, personal registration request. CMLA will attempt to authenticate your registration request within 1 day of receiving your request. You can facilitate this authentication process by including "CMLA Policy Discussion" somewhere in the optional fields available during the registration process.

Thanks for your continued support of accreditation activities. We look forward to your comments.
James Carollo
CMLA Forum Moderator
Sdennis
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Location: Childrens Hospital Los Angeles

Re: Discussion of CMLA Policy on Clinician Role in an Accredited Motion Lab

Postby Sdennis » Wed May 30, 2018 7:50 pm

The guidelines identify non-licensed providers as individuals who are able to provide services protected by Physical State Practice Acts - specifically clinical exam (which in most labs is a physical therapy evaluation) and interpretation of data with recommendations within the scope of practice. This identifies that the clinical practitioners must have a scope of practice to begin with. The AMA guidelines are also quite clear that the services should be provided only by a licensed healthcare provider. This is to protect the public as well as the institutions and the individuals providing the service. CMLA should support and respect the guidelines and laws established to protect patients and practitioners. Licensure insures practitioners have received the education and training to safely provide care in a global sense. Competencies developed by the laboratories show care in a specific area is adequate, but does not deal with the broader education and training covered by licensure. The AMA's identification of a Qualified Healthcare Professional (QHP) is misrepresented in these documents. A QHP has a license that insures they have the proper training, education and has a scope of service that identifies the breadth and limitations of that training and education.

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