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Store 50 State Survey: Prescribing Controlled Substances via Telehealth 2024
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Prescribing 24.png

50 State Survey: Prescribing Controlled Substances via Telehealth 2024

$349.00

Unlock critical insights into the evolving legal landscape of telehealth and controlled substances with CTeL’s exclusive 50-state report. This meticulously researched guide provides up-to-date information on prescribing controlled substances via telehealth in every U.S. state, helping healthcare providers, legal teams, and telehealth organizations navigate complex regulations.

Add To Cart

Unlock critical insights into the evolving legal landscape of telehealth and controlled substances with CTeL’s exclusive 50-state report. This meticulously researched guide provides up-to-date information on prescribing controlled substances via telehealth in every U.S. state, helping healthcare providers, legal teams, and telehealth organizations navigate complex regulations.

Unlock critical insights into the evolving legal landscape of telehealth and controlled substances with CTeL’s exclusive 50-state report. This meticulously researched guide provides up-to-date information on prescribing controlled substances via telehealth in every U.S. state, helping healthcare providers, legal teams, and telehealth organizations navigate complex regulations.

Research Questions Answered:

Prohibits prescribing controlled substances without a physical examination or a pre-existing physician-patient relationship? 

Law or board policy defines the phrase “physician-patient relationship?” Definition might be found in case law. 

Prescribing laws or board prescribing policies specifically permit physical exam adequate to justify CS prescribing via electronic means? 

Examination must specifically include medical history, physical exam, diagnosis, therapeutic plan, or follow-up? 

Prohibits medical questionnaires/ patient-supplied history as sole basis for prescription? Any distinction drawn between static and dynamic questionnaires? 

State medical board and/or state board of osteopathic medicine have issued policy statements on prescribing or telemedicine? If so, has any such policy statement the force of law? 

Are state laws and regs and board policies silent on prescribing controlled substances? 

State medical board has a restrictive policy against prescribing controlled substances? Consequences for acting in a manner inconsistent with the policy? 

Medicated assistance treatment therapy clinic restricted from prescribing controlled substances via telehealth to help with detox from opioid addiction? 

Defines “controlled substances” in a manner inconsistent with the Feds’, or classify such drugs into categories different from the feds’ Schedules? 

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