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BME | MLC Medical Digest Spring 2023

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Alabama State Board of Medical Examiners and Medical Licensure Commission

MEDICALDIGEST

Spring 2023 | www.albme.gov


2022-2023 Alabama State Board of Medical Examiners Mark H. LeQuire, M.D. Chairman Montgomery Charles M. A. Rogers, IV, M.D. Vice Chairman Mobile Aruna T. Arora, M.D. Huntsville Gregory W. Ayers, M.D. Birmingham Julia L. Boothe, M.D. Reform Eli L. Brown, M.D. Birmingham Hernando D. Carter, M.D. Birmingham Nina S. Ford Johnson, M.D. Mobile Beverly F. Jordan, M.D. Enterprise George T. Koulianos, M.D. Mobile Gary F. Leung, M.D. Auburn Dick Owens, M.D. Haleyville William Jay Suggs, M.D. Decatur David R. Thrasher, M.D. Montgomery Jane A. Weida, M.D. Tuscaloosa

Medical Licensure Commission Craig H. Christopher, M.D. Chairman Birmingham Jorge A. Alsip, M.D. Vice Chairman Daphne Kenneth W. Aldridge, M.D. Tuscaloosa Howard Joseph Falgout, M.D. Tuscaloosa Gary R. Hill, D.O. Auburn Mr. L. Daniel Morris Montgomery Paul M. Nagrodzki, M.D. Birmingham Pamela D. Varner, M.D. Birmingham

2022 ANNUAL REPORT A. Medical License Applicants Certified to the Medical Licensure Commission 1. Certificates of Qualification issued 1,622 a. Full MD 1,135 b. Full DO 209 i) Full MD/DO applicants accepting Non-Disciplinary Citation with Administrative Charge 78 c. Temporary Military MD 0 d. Temporary Military DO 1 e. Limited MD 207 f. Limited DO 51 g. Retired Senior Volunteer 3 h. Special Purpose 16 B. Certificate of Qualification Renewals 1. Limited COQ renewal 2. Retired Senior Volunteer renewal

482 6

C. Interstate Medical Licensure Compact 1. Letters of Qualification issued to other states 2. Letters of Qualification denied/withdrawn 3. State of Principal Licensure redesignation

146 27 7

D. Alabama Controlled Substances Certificate 1. New certificates issued 2. Expired certificates reissued 3. Certificates renewed

1,390 313 13,148

E. Pain Management Services 1. New registrations issued a. Initial location b. Additional locations 2. Expired registrations issued a. Initial location b. Additional locations 3. Registrations renewed a. Initial location b. Additional locations

65 57 8 6 4 2 502 422 80

F. Physician Assistants (PA) 1. New physician assistant licenses issued 2. Physician assistants granted temporary license a. Temporary PA licenses converted to full license 3. Temporary military physician assistant licenses issued a. Temporary military PA license converted to full license 4. Expired physician assistant licenses reissued MedicalDigest | Spring 2023 | 2

198 10 9 2 1 20


5. Physician assistant licenses renewed 6. Physician assistants registered to physicians (New) 7. Total physician assistant registrations 8. PA Qualified Alabama Controlled Substances Certificates issued 9. Expired PA Qualified Alabama Controlled Substances Certificates reissued 10. PA Qualified Alabama Controlled Substances Certificates renewed 11. PA Limited Purpose Schedule II Permits issued 12. Expired PA Limited Purpose Schedule II Permits reissued 13. PA Limited Purpose Schedule II Permits renewed

1,285 448 1,290 43 3 180 34 0 141

G. Anesthesiologist Assistants (AA) 1. Anesthesiologist assistant licenses issued 2. Anesthesiologist assistant granted temporary license a. Temporary AA licenses converted to full license 3. Expired Anesthesiologist assistant licenses reissued 4. Anesthesiologist assistant licenses renewed 5. Anesthesiologist assistant registered to physicians (New) 6. Total anesthesiologist assistant registrations

8 0 0 1 32 11 24

H. Advanced Practice Nurses (CRNP/CNM) 1. Collaboration registrations issued 2. Number of physicians in collaboration 3. APN Qualified Alabama Controlled Substances Certificates issued 4. Expired APN Qualified Alabama Controlled Substances Certificates reissued 5. APN Qualified Alabama Controlled Substances Certificates renewed 6. APN Limited Purpose Schedule II Permits issued 7. Expired APN Limited Purpose Schedule II Permits reissued 8. APN Limited Purpose Schedule II Permits renewed 9. Collaborative and supervisory practice audits/educational site visits 10. Collaborative and supervisory practice compliance seminars 11. Collaborative and supervisory practice mini-seminars

3,183 3,841 389 11 1,138 215 12 723 62 4 6

I. Collaborative Pharmacy Practice 1. Collaboration registrations issued

4

J. Enforcement Issues 1. Enforcement issues pending review prior to 2022 a. Issues resolved without formal investigation b. Issues referred for formal investigation/Resolved 2. Formal investigations pending prior to 2022 a. Correction from 2021 of duplicate case number b. Investigations resolved c. Investigations pending resolution 3. Enforcement issues 2022 Prescribing related a. Issues resolved without formal investigation b. Issues referred for formal investigation/Resolved c. Issues referred for formal investigation/Pending d. Issues referred for other resolution e. Issues pending review 4. All formal investigations and issues pending resolution (2c; 3c; 3e) MedicalDigest | Spring 2023 | 3

5 2 3 301 1 236 64 416 57 46 136 171 61 2 237


4

4

Letters of Concern

33 33

Voluntary Agreements 17 Prescribing Related Non Disciplinary Board Orders

29

9

2021 MD/DO Confidential Resolutions

33

CME

29

17

Prescribing Related 4 Evaluation

4

33

7

10

9

Letters of Concern 58

58

Voluntary Agreements 58

40

Prescribing Related 20

2022 MD/DO Confidential Resolutions

Non Disciplinary Board Orders CME

47 40

Prescribing Related 10

47 58

Evaluation 20

MedicalDigest | Spring 2023 | 4

7


K. Disciplinary / Confidential Actions 1. ACSC temporary suspension a. Probation b. Surrender 2. ACSC surrender 3. ACSC probation 4. ACSC reinstated after surrender 5. ACSC restrictions modified 6. Certificate of Qualification denied 7. Certificate of Qualification issued with agreement or restriction 8. Certificate of Qualification surrendered 9. Physician assistant licenses denied 10. Physician assistant licenses disciplined 11. Anesthesiologist assistant licenses disciplined 12. Voluntary Agreements Prescribing related

4 2 2 11 3 1 1 0 9 10 1 3 1 29 11

MD/DO Disciplinary Actions

2021

COQ Denied

1

COQ Denied

0

COQ Issued w/ Restriction

1

COQ Issued w/ Restriction

0

COQ Surrendered

9

COQ Surrendered

7

COQ Voluntary Restriction

0

COQ Voluntary Restriction

2

Summary Suspension

9

Summary Suspension

11

Revocation

2

Revocation

5

Surrender

5

Surrender

1

Suspension

2

Suspension

0

Probation

2

Probation

1

2022

13. Voluntary Agreements amended 14. Voluntary Agreements terminated 15. Voluntary Restriction on Certificate of Qualification 16. Voluntary Restriction on Certificate of Qualification amended 17. Voluntary Restriction on Certificate of Qualification terminated 18. Licensees’ files flagged 19. ABME Physician Monitoring Program – Licensees currently monitored 20. ABME Physician Monitoring Program – Licensees monitored since 1990 21. Non-disciplinary Board Orders a. Continuing Medical Education Prescribing related b. Evaluation 22. Interviews Conducted 23. Letters of Concern Prescribing related 24. Cases sent for expert review 25. Administrative Complaints filed with the Medical Licensure Commission 26. Administrative Complaints with Petition for Summary Suspension of Medical License filed with the Medical Licensure Commission a. Revocation b. Surrender c. Voluntary Agreement d. Hearing Pending 27. Notice of Intent to Contest Reinstatement Filed with the Medical Licensure Commission 28. Administrative Fines Assessed (ABME - 11 and MLC - 60) 29. Administrative Costs Assessed (ABME – 2 and MLC - 4)

MedicalDigest | Spring 2023 | 5

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equipment, genetic testing, diabetic supplies, or various prescription creams), potentially restricting a Practitioner’s treatment options to a predetermined course of treatment. 7. A Telemedicine Company does not expect Practitioners to follow up with patients, nor does it provide Practitioners with the information required to follow up with patients (e.g., the Telemedicine Company does not require Practitioners to discuss genetic testing results with each purported patient).

Protect Your License from Telemedicine Scams We ran this article two years ago. Unfortunately, physicians continue to become involved in questionable or outright fraudulent telemedicine schemes. Physicians, you must protect your license from telemedicine companies that will steal your NPI number, sell prescriptions, and bill Medicare in your name for a patient that you never even saw. Don’t become a victim of these predatory companies. If you are offered employment by a company that specializes only in ED medications, for example, or only DME, or only compounded creams, run the other way. Chances are they are not legitimate. The U.S. Department of Health and Human Services Office of the Inspector General recently shared seven red flags to watch for when entering arrangements with purported telemedicine companies: 1. The patients for whom a Practitioner orders or prescribes items or services are identified or recruited by a Telemedicine Company, sales agent, recruiter, call center, or health fair, and/or through internet, television, or social media advertising for free or low-cost out-of-pocket items or services. 2. A Practitioner does not have sufficient contact with or information from the purported patient to meaningfully assess the medical necessity of the items or services ordered or prescribed. 3. A Telemedicine Company compensates a Practitioner based on the volume of items or services ordered or prescribed, which may be characterized to the Practitioner as compensation based on the number of medical records that the Practitioner reviewed. 4. A Telemedicine Company furnishes items and services only to federal healthcare program beneficiaries and does not accept insurance from any other payor. 5. A Telemedicine Company claims to furnish items and services only to individuals who are not federal healthcare program beneficiaries but may, in fact, bill federal healthcare programs. 6. A Telemedicine Company only furnishes one product or a single class of products (e.g., durable medical

The Board and Commission join the OIG in warning physicians about these illegal schemes. Often, once the illegal activity comes to the attention of insurance companies or law enforcement, the telehealth company folds, declares bankruptcy, and moves elsewhere, leaving the physicians with possibly career-ending liability and investigations into their medical practices.

Be aware of telemedicine scams

(edited; first run in the Spring 2021 Medical Digest) With the COVID-19 pandemic, conventional healthcare experienced radical, rapid changes in the provision of telehealth. State and federal governments lifted multiple restrictions to promote a safer alternative to in-person healthcare with its attendant risks of COVID-19 and other disease transmission. This resulted in benefits for both the patient and the physician, improving safer access for patients and allowing for closer follow-up. However, with new opportunities for physicians and patients came expanded opportunities for fraud. With the advent of telemedicine, the first big scams occurred when some unscrupulous companies discovered a way to charge third-party payors for prescriptions to patients who never had an encounter with a physician, via telehealth or otherwise. A physician would “review charts” and determine whether already written prescriptions were appropriate for the patients, which were then submitted and reimbursed at astronomical rates. Patients often were tricked into giving out Medicare information, never asked for any of the products offered, and had no contact whatsoever with the prescribing physician. Medicare eventually caught on to this scheme as multiple whistleblowers alerted them. The physicians were charged with healthcare fraud for prescribing unnecessary medications and prescribing medications without having seen the patient. Physicians must be vigilant against potential fraudulent actors that drain financial resources and can harm patients. In particular, be aware that in most cases, there must be direct patient interaction via audio/video prior to considering any treatment or prescriptions. A telephone conversation or an online questionnaire is not sufficient for quality of care and, perhaps unknowingly, opens the door to committing serious fraud.

MedicalDigest | Spring 2023 | 7


DEA Releases Information on New Training Requirement Drug Enforcement Administration (DEA) letter: https://deadiversion.usdoj.gov/pubs/docs/MATE_Training_Letter_Final.pdf Contents of DEA letter: Dear DEA Registered-Practitioners On December 29, 2022, the Consolidated Appropriations Act of 2023 enacted a new one-time, eight-hour training requirement for all Drug Enforcement Administration (DEA)-registered practitioners on the treatment and management of patients with opioid or other substance use disorders. Below is information on this new requirement. Who is responsible for satisfying this new training requirement? • All DEA-registered practitioners, with the exception of practitioners that are solely veterinarians. How will practitioners be asked to report satisfying this new training requirement? • Beginning on June 27, 2023, practitioners will be required to check a box on their online DEA registration form—regardless of whether a registrant is completing their initial registration application or renewing their registration—affirming that they have completed the new training requirement. What is the deadline for satisfying this new training requirement? • The deadline for satisfying this new training requirement is the date of a practitioner’s next scheduled DEA registration submission—regardless of whether it is an initial registration or a renewal registration—on or after June 27, 2023. • This one-time training requirement affirmation will not be a part of future registration renewals. How can practitioners satisfy this new training requirement? There are multiple ways that practitioners can satisfy this new training requirement. • First, the following groups of practitioners are deemed to have satisfied this training: 1. Group 1: All practitioners that are board certified in addiction medicine or addiction psychiatry from the American Board of Medical Specialties, the American Board of Addiction Medicine, or the American Osteopathic Association. 2. Group 2: All practitioners that graduated in good standing from a medical (allopathic or osteopathic), dental, physician assistant, or advanced practice nursing school in the United States within five years of June 27, 2023, and successfully completed a comprehensive curriculum that included at least eight hours of training on: • Treating and managing patients with opioid or other substance use disorders, including the appropriate clinical use of all drugs approved by the Food and Drug Administration for the treatment of a substance use disorder; or • Safe pharmacological management of dental pain and screening, brief intervention, and referral for appropriate treatment of patients with or at risk of developing opioid and other substance use disorders. • Second, practitioners can satisfy this training by engaging in a total of eight hours of training on treatment and management of patients with opioid or other substance use disorders from the groups listed below. A few key points related to this training: 1. The training does not have to occur in one session. It can be cumulative across multiple sessions that equal eight hours of training. 2. Past trainings on the treatment and management of patients with opioid or other substance use disorders can count towards a practitioner meeting this requirement. In other words, if you received a relevant training from one of the groups listed below— prior to the enactment of this new training obligation on December 29, 2022—that training counts towards the eight-hour requirement. 3. Past DATA-Waived trainings count towards a DEA registrant’s 8-hour training requirement. 4. Trainings can occur in a variety of formats, including classroom settings, seminars at professional society meetings, or virtual offerings. What accredited groups may provide trainings that meet this new requirement? • The American Society of Addiction Medicine (ASAM) • The American Academy of Addiction Psychiatry (AAAP) • American Medical Association (AMA) • The American Osteopathic Association (AOA), or any organizations accredited by the AOA to provide continuing medical education • The American Dental Association (ADA) • The American Association of Oral and Maxillofacial Surgeons (AAOMS) • The American Psychiatric Association (APA) • The American Association of Nurse Practitioners (AANP) • The American Academy of Physician Associates (AAPA) • The American Nurses Credentialing Center (ANCC) continued on page 11...

MedicalDigest | Spring 2023 | 8


The Physician-Patient Relationship The duty of the physician is to provide competent, compassionate, and economically prudent care to all his or her patients. Whatever the health care setting, the Board holds that the physician’s fundamental relationship is always with the patient, just the as Board’s relationship is always with the individual physician. Having assumed care of a patient, the physician may not neglect that patient nor fail for any reason to prescribe the full care that the patient requires in accordance with the standards of acceptable medical practice. It is unethical and unprofessional for a physician to allow financial incentives or contractual ties of any kind to adversely affect his or her medical judgment or practice care. Any act by a physician that violates or may violate the trust a patient places in the physician places the physician-patient relationship at risk. This is true whether such an act is entirely self-determined or the result of the physician’s contractual association with a healthcare entity. The interests and health of the people of Alabama are best served when the physician-patient relationship remains inviolate. The physician who puts the physician-patient relationship at risk also puts his or her relationship with the Board in jeopardy. A license to practice medicine grants the physician privileges and imposes great responsibilities. The people of Alabama expect a licensed physician to be competent and worthy of their trust. As

patients, they come to the physician in a vulnerable condition, believing the physician has knowledge and skill that will be used for their benefit. Patient trust is fundamental to the relationship thus established. It requires the following: • Adequate communication between the physician and the patient; • No conflict of interest between the patient and the physician or third parties; • Intimate details of the patient’s life shared with the physician must be held in confidence; • The physician must maintain professional knowledge and skills; • There must be respect for the patient’s autonomy; • The physician must be compassionate; • The physician must be an advocate for needed medical care, even at the expense of the physician’s personal interests; and • The physician must provide neither more nor less than the medical problem requires. The interests and health of the people of Alabama are best served when the physician-patient relationship, founded on patient trust, is considered sacred, and when the elements crucial to that relationship and to that trust -- communication, patient privacy, confidentially, competence, patient autonomy, compassion, selflessness, and appropriate care -- are foremost in the hearts, minds, and actions of the physicians licensed by the Board. This same fundamental physician-patient relationship also applies to Physician Assistants and Anesthesiologist Assistants.

MedicalDigest | Spring 2023 | 9


ALL SYSTEMS GO!

NNUAL SESSION

EXPLORE THE POSSIBILITIES APRIL 28-29, 2023 HUNTSVILLE, ALABAMA

REGISTER, VIEW THE AGENDA, AND MORE AT

ALAMEDICAL.ORG/ANNUALSESSION


• Any other organization accredited by the Accreditation Council for Continuing Medical Education (AACCME) or the Commission for Continuing Education Provider Recognition (CCEPR), whether directly or through an organization accredited by a State medical society that is recognized by the ACCME or CCEPR • Any other organization approved or accredited by the Assistant Secretary for Mental Health and Substance Use, the ACCME, or the CCEPR We hope this information is helpful. For information regarding the DEA Diversion Control Division, please visit www.DEAdiversion.usdoj. gov. If you have any additional questions on this issue, please contact the Diversion Control Division Policy Section at (571) 362-3260.

REPORT OF PUBLIC ACTIONS OF THE MEDICAL LICENSURE COMMISSION AND BOARD OF MEDICAL EXAMINERS January 2023 • Jan. 3 - Olamide A. Alakija, MD (MD.45669), Selma - a voluntary license restriction was entered in connection with the application. • Jan. 25 - Oscar D. Almeida, Jr., MD (MD.12933), Mobile - the request to lift probation was denied. • Jan. 25 - Jeffrey Coykendall, MD (MD.42202), Center Point - the restrictions on the license will be removed contingent upon removal of the restrictions on the certificate of qualification. • Jan. 31 - Jessica M. Saucier, PA (PA.2124), Orange Beach - practice is limited to a single location.

• Feb. 22 - Tarik Y. Farrag, MD (MD.32237), Panama City FL - the license is temporarily suspended pending a hearing. • Feb. 22 - Emmanuel O. Odi, MD (MD.24167), Birmingham - the license is temporarily suspended pending a hearing. • Feb. 22 - Aaron A. H. Ramirez, MD (MD.42155), Grove Hill - the license is temporarily suspended pending a hearing. • Feb. 28 - Oscar D. Almeida, Jr., MD (MD.12933), Mobile - the license is voluntarily surrendered.

March 2023 February 2023 • Feb. 9 - Rao Rama Meka, MD (MD.13044), Auburn - collaborative practice is temporarily suspended pending a hearing. • Feb. 9 - Viplove Senadhi, DO (DO.1453), Montgomery - collaborative practice and office-based surgery registration are temporarily suspended pending a hearing.

• Mar. 6 - Jeffrey Coykendall, MD (MD.42202), Birmingham - the voluntary restriction is terminated. • Mar. 22 - David B. Marks, MD (MD.46093), Mobile - practice is limited to residency program. • Mar. 27 - Nefertiti H. Durant, MD (MD.27640), Birmingham - license is temporarily suspended pending a hearing.

MedicalDigest | Spring 2023 | 11

An Interstate Medical

Licensure Compact (IMLC) survey of physicians shows that a majority of physicians who obtained a license through the IMLC practice telemedicine (64.4% of respondents). The next largest area is direct patient care at 37.1%. Most survey respondents (92.2%) strongly agreed or agreed that the IMLC process was beneficial, with only 0.8% disagreeing or strongly disagreeing and 7.1% neutral. About one-third of respondents stated they renewed their licenses through the IMLC to provide services in rural or underserved areas as between 100 and 25% of their practice.


Alabama State Board of Medical Examiners Alabama Medical Licensure Commission P.O. Box 946 Montgomery, AL 36101-0946 www.albme.gov

PRESORTED STANDARD U.S. POSTAGE PAID Montgomery, AL Permit No. 417

Upcoming BME Meeting Dates Apr 27 & 29 • May 18 • Jun 15 The public portion of each meeting is scheduled for 10 a.m. CT (unless otherwise indicated) in the Dixon-Parker Building at 848 Washington Avenue in Montgomery, AL. Meeting agendas and a full list of meeting dates and times can be found online at www.albme.gov.

Upcoming MLC Meeting Dates April 17 & 28 • May 24 • Jun 28 Meetings are held in the Dixon-Parker Building at 848 Washington Avenue in Montgomery, AL unless otherwise indicated.

Have questions or need assistance? Alabama Board of Medical Examiners Executive Director Human Resources Accounting Board Operations Legal/Public Information Credentialing ACSCs Investigations Physician Monitoring Advanced Practice Providers QACSCs

William M. Perkins Brandi Madderra Deana Bozeman Amy Dorminey Carla Kruger Tiffany Seamon Jackie Baskin Edwin Rogers Roland Johnson Kimie Buley Suzanne Powell

Medical Licensure Commission Commission Operations Reinstatements/Renewals/Verifications

(334) 242-4116

(334) 242-4153

Rebecca Robbins Heather Lindemann

About MedicalDigest... MedicalDigest is the official publication of the Alabama Board of Medical Examiners and Medical Licensure Commission. It is published four times per year. Past issues are archived and available on the Board’s website at www.albme.gov. Questions? Please contact the Board of Medical Examiners at (334) 242-4116.


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