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An additional influential person who we should forward our letters of concern about Telemedicine and HR 3880 should be: Dr. James N. Thompson, M.D Federation of State Medical Boards of the United States PO Box 619850 Dallas, TX 75261-9850 phone: (817) 868-4000 / fax: (817) 868-4099 I couldn't find an email address for him, but this appears to be his AMA listing, has the same PO Box and phone # as FSMB: http://dbapps.ama-assn.org/iwcf/iwcfmgr206/SESSION_ID=2134416/SESSION_AR=63/frm_name=aps_result?action_detail.x=hello&row=0&key=1&amap=N&form_type=r&mem=N]Dr James N. Thompson AMA Listing Of those who testified before the House, he is about the only one willing to consider phone consult Telemedicine as a viable practice of medicine. Dr. Thompson is the CEO of FSMB. ------------------------------------------------------ Back in April 2002, Dr. Thompson designed the following guidelines for the practice of Internet Medicine: Quote: ---------------------------------------------------------- Excerpts from Dr. Thompson's testimony before the House on 03/18/04: Statement of the Federation of State Medical Boards of the United States Committee on Government Reform United States House of Representatives Presented by James N. Thompson, M.D. President and CEO Internet Pharmacy Consumer Protection Act March 18, 2004 http://reform.house.gov/UploadedFiles/FSMB%20-%20Thompson%20Testimony.pdf Early Interest in Use of Internet for Practice of Medicine As I indicated at the hearing this Committee held in March 2003, the Federation has been actively involved as a national leader on the use of telecommunications and the Internet in the practice of medicine for a number of years. In 1996, the Federation published A Model Act to Regulate the Practice of Medicine Across State Lines. In 2000, it published guidelines for Internet prescribing. In 2002, it published Model Guidelines for the Appropriate Use of the Internet in Medical Practice, one of the first national standards established for Internet medical practice. Those guidelines, which the Federation recommends be adopted by state medical boards, include a key provision: “A documented patient evaluation, including history and physical evaluation adequate to establish diagnoses and identify underlying conditions and/or contraindications to the treatment recommended/provided, must be obtained prior to providing treatment, including issuing prescriptions, electronically or otherwise.” ------------------------------------------------------- My take on this is the Dr. Thompson is open to the methodology used by the finer practicioners of Telemedicine, the folks who we most desperately need to preserve. patient2all |
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