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2025dcm_bush-batchelder1.pdf
• Standard of proof you must demonstrate (preponderance of the evidence / clear and convincing) Other considerations to develop your objectives: • Has another agency/entity also investigated and, if so, what is the status or outcome? • Other entities to consider: employer, regulatory, union, criminal, other BON’s • *Is a referral to another entity necessary? • *Can you collaborate? • *Can you share information? • Is there an MOU requirement? • Does the MOU need to be updated /renewed? • ...
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2018DCM_NPDB.pdf
https://www.npdb.hrsa.gov/hcorg/reportingStateLicensure.jsp What must be reported to NPDB Three key points actions taken against health care practitioners as a result of formal proceedings publicly available NPDB Guidebook April 2015 E-57 - E-58 Exceptions to the three key points Always reportable § Summary/Emergency Suspensions § Cease & Desist of Unlicensed Practice § Actions within an agreement with licensee oIf reportable action within agreement, report action (not agreement) NPDB Guidebook ...
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2021AM_aroots.pdf
Description of the steps, processes and terms used by each jurisdiction in their registration / licensure activities for domestic applicants. 2. Identification of the approximate number cross jurisdictional applicants 3. Identification of the similarities, issues, challenges or difficulties currently encountered by jurisdictions in the registration / licensing of applicants from other INRC jurisdictions. PHASE 2: Outcomes 48 Expected Completion: LATE 2021 IMPLICATIONS + FUTURE PROSPECTS ...
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Advisory Opinions
Manual. Analysis: Pursuant to the above referenced provisions of the NLC eligibility of an applicant for licensure under the compact includes the requirement that the applicant must hold an “unencumbered license .” In making the determination of eligibility upon application for a multistate license, “the licensing board in the issuing party state shall ascertain, through the coordinated licensure information system, whether there are any encumbrances on any license or multistate licensure privilege held by the applicant and “whether any adverse action has been taken against any license or multistate licensure privilege held by the applicant . . .”
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Transcript_2021SciSymp_lcusack.pdf
What is the role and influence of nursing regulation on continuing professional development? The research design was a bibliometric analysis because it offered a quick https://www.ncsbn.org/15185.htm ©2021 National Council of State Boards of Nursing, Inc. All rights reserved. 2 insight into scientific activity by quantifying the volume of papers in a particular field of study. Many nurse regulators have, as part of their initial registration, or licensure, or renewal process, a requirement for CPD.
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SAMPLE_Narrative_Champions.pdf
It also removes the requirement that the Board of Nursing review protocols, which has constituted a significant workload for the BON staff over the years. BON staff will now be able to focus those work efforts on processing ARNP applications for licensure and getting these highly sought after health care practitioners to work in XXX state sooner.
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Transcript_2022DCM_amaples-henley.pdf
And, there's actually a requirement that the home state licensing board shall give the same priority and effect to reported conduct received from a remote state as it would if such conduct had occurred within the home state. In so doing, the home state shall apply its own state laws to determine appropriate action.
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Transcript_2021SciSymp_jspetz.pdf
For example, in West Virginia, those in treatment must have four hours of therapy per month, one of which must be one on one. The state has a significant shortage of therapists. Some NPs expressed frustration that they couldn't offer medication treatment in some parts of the state because there were no therapists to fulfill the therapy requirement. Prior authorization requirements exist for some Medicaid plans and commercial insurance as well in various states around the country.
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2024nlc-legal-forum-faqs.pdf
Privilege to Practice: Disciplinary Actions and Leading the Investigation III. Emerging Issues – OIG & Law Enforcement Actions 5 Section I: Common Compact Issues A. Sharing Investigative Information Between Compact States B. Reciprocal Investigative Subpoenas C. Primary State of Residence - 60 Day Rule D. Privilege to Practice E. Issues specific to travel nursing F. FAQs as a Resource 6 A. Sharing Investigative Information Between Compact States • Not just a courtesy, but a requirement • Article VI • Information may be designated as confidential • Article VI(D), (E), (F) 7 B.
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Microsoft PowerPoint - Training session 1_011321_
“As the organizations representing…state…licensing boards…that regulate the practice of medicine, pharmacy and nursing, … (we) affirm that in a consumer protection model, health care practice occurs where the recipient of healthcare services is located.” Source: The Tri-Regulator Collaborative Position Statement on Practice Location for Consumer Protection 25 Where Does Practice Take Place?