Regulatory Compliance Program and License Portfolio

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2023
Regulatory Compliance Program and License Portfolio

VGM Fulfillment (VGMF) is a specialized warehousing and fulfillment business that provides service for prescription devices and medical resupply products. Since 2009, we have been shipping to patients all around the United States. We are one of many divisions of VGM Group, Inc., which has been in business for more than 36 years. This report demonstrates our diligence and commitment to maintaining strict compliance with all applicable state and federal laws and regulations. Our experts in government relations and regulatory compliance are here to simplify the complexity of pharmaceutical supply chain regulation. We appreciate the opportunity to continuously earn your trust.

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Contents

• Business Design

• Facility Licensing and Regulation

• Licensed Professionals and Medical Device Technicians Setting PAP Machine Pressures

• Oversight and Quality Management

IMPORTANT NOTE: This report and the findings herein, conclusions, and recommendations it contains do not constitute legal advice for the benefit of any other person or entity. Any third party that comes into possession of this report should seek the advice of its own legal counsel.

Business Design

The fundamental mission for any healthcare compliance program is to ensure patients receive the best possible care where they live. A key part of the job of healthcare regulators is to protect patients in their own state. We are committed to keeping these ideals in mind when developing our programs and researching applicable state and federal laws and regulations. This and other unique features of VGMF’s business design are important factors that comprise our Regulatory Compliance Program and License Portfolio.

VGMF ships prescription medical devices and supplies (positive airway pressure devices, or PAPs, and continuous glucose monitors) on behalf of DME Suppliers directly to their patients. VGMF does not purchase or assume ownership of the product as it holds inventory on consignment from the DME Manufacturers.

The Patient places their order with the DME Supplier, who handles the initial and continuous care of the Patient, as well as any billing of the product to the Patient or their insurance provider. The only fee that VGMF charges is a shipping and handling fee to the DME Supplier.

The DME Supplier sends the Patient orders electronically to VGMF for shipping. VGMF processes, picks, packs, and ships the order directly to the Patient on behalf of the DME Supplier. VGMF sends the device serial number, shipping, and tracking information to the DME Supplier. VGMF sends tracing reports to the DME Manufacturer to account for the medical device product that has been shipped on behalf of the DME Supplier. DME Manufacturer negotiates product pricing directly with the DME Supplier and invoices them for the product shipped.

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Patient DME DME VGM Fulfillment (VGMF)

Start

Patient receives product

Carrier delivers the package to the Patient

Order placed with VGMF

Orders are submitted and entered into VGMF system.

VGMF receives order

VGMF receives product as consignment inventory

Carrier (UPS®, FedEx® and USPS®) picks up packages.

DME Supplier receives invoice (pick, pack, ship only)

VGMF picks, packs, and ships order using consigned inventory

Orders are dropped to VGMF for picking, packing, and shipping.

VGMF generates tracking report for DME Manufacturer

Tracking and invoicing is submitted to the DME Supplier.

VGMF generates invoice for DME Supplier (pick, pack, ship only)

VGMF receives payment from DME Supplier (pick, pack, ship only)

DME Supplier is billed customary pricing by the DME Manufacturer for the products shipped. VGMF bills for shipping and handling.

DME Supplier receives invoice from DME Manufacturer

DME Manufacturer ships product to VGMF

DME Manufacturer receives tracking report

DME Manufacturer generates invoice for DME Supplier (product only)

DME Manufacturer receives payment for product shipped

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Facility Licensing and Regulation

We took the guesswork out of all applicable state licensing laws and regulations across the United States so DME Suppliers can focus on their Patients.

VGMF has invested heavily in research of the pharmaceutical supply chain distribution industry to determine appropriate licensure to set and ship prescription devices. We partner with State Licensing Services, Inc. (SLS) to manage applications, renewals, and maintenance of the various state licenses issued by the state boards of pharmacy and other state regulatory authorities.

Licensure requirements are ever-changing, and with VGMF’s compliance monitoring and updates, we can keep track of the newest changes so that decisions can be made to ensure compliance with applicable state laws and regulations.

Our Regulatory Compliance Program includes ongoing inspections for licenses, renewal process, regulatory monitoring, keeping regulators informed, and policy management. Licensure requirements are ever-changing, and with VGMF’s compliance monitoring and updates, we can keep track of the newest changes so decisions can be made to ensure compliance with applicable state laws and regulations.

VGMF is very proud of its regulatory compliance record as evidenced by only one (1) regulatory complaint since 2009. We learned from that experience and are committed to preventing any reoccurrence. Our compliance team continuously monitors new and amended state laws and regulations, ensuring VGMF is in compliance with applicable requirements.

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Regulatory Discipline Since 2009 Total Regulatory Complaints 01 Total Regulatory Complaints Resulting in a Sanctioned License 00 Total Regulatory Complaints Resulting in Exclusion 00 Total Regulatory Complaints Resulting in a Settlement/Civil Monetary Penalties 01

Below is a list of current third-party logistics and durable medical equipment, prosthetics, orthotics, and supplies (DMEPOS) licenses held by VGMF in those states where we are currently shipping prescription devices on behalf of our DME Suppliers. Third Party Logistics licenses are required for shipping prescription devices into applicable states, while DMEPOS licenses are required when those shipments are made directly to Patients in applicable states. The following factors are important to note when reviewing the enclosed table because they were major considerations of the applicable state regulatory authorities when determining appropriate licensure:

1. Patient Care: VGMF ships directly to a person or Patient’s home, but the DME Supplier is responsible for direct Patient care, assessment, diagnosis, treatment, evaluation, education, and monitoring compliance to therapy.

2. Billing: VGMF holds product on consignment; therefore, the sale of the product remains between the DME Manufacturer and DME Supplier. VGMF also does not bill insurance, federally funded programs, or the Patient for reimbursement or co-pays.

3. Prescription Devices, Not Prescription Drugs: The medical devices VGMF stores and ships contain no prescription drugs.

When laws and regulations in a state did not specifically address VGMF’s current business design above, VGMF secured the most applicable licensure. Our compliance team consistently monitors new and amended state legislation and regulation, ensuring VGMF stays in compliance with appropriate licensure requirements.

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VGMF License Obtained

Alaska

Arizona

California

Connecticut

Hawaii

Illinois

Iowa

Kansas

Kentucky*

Louisiana

Mississippi*

Montana*

Nevada

New Hampshire

New Jersey

North Carolina

North Dakota

Oregon

Pennsylvania

Rhode Island

South Carolina

Tennessee

Utah

Virginia

District of Columbia

Fulfillment Warehouses

Phoenix, AZ

Waterloo, IA

Shiremanstown, PA

Nashville, TN

VGM License Exempt

Alabama

Arkansas

Colorado

Delaware

Florida

Georgia

Idaho

Indiana

Maine

Maryland

Massachusetts

Michigan

Minnesota

Missouri

Nebraska

New Mexico

New York

Ohio

Oklahoma

South Dakota

Texas

Vermont

Virginia

Washington

West Virginia

Wisconsin

Wyoming

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*Application Pending
8 State Governing Board License Type License Status Alabama Alabama State Board of Pharmacy Alabama Third Party Logistics Provider Exempt: Ship Rx Device, Not Drugs Alabama State Board of Pharmacy Alabama Wholesale Distributor Exempt: VGMF Does Not Bill for Rx Device Alaska Division of Professional Licensing Business License VGMF License Obtained Division of Corporations Third Party Logistics Provider VGMF License Obtained Alaska Board of Pharmacy Alaska Nonresident Wholesale Distributor Exempt: VGMF Does Not Bill for Rx Device Arizona Arizona State Board of Pharmacy Compressed Medical Gas (CMG)/DME Supplier VGMF License Obtained Arizona State Board of Pharmacy Third Party Logistics Provider VGMF License Obtained Arizona State Board of Pharmacy Arizona Wholesaler/Full Service Exempt: VGMF Does Not Bill for Rx Device Arkansas Arkansas State Board of Pharmacy Wholesale Distributors of Home Medical Equipment, Legend Devices, and Medical Gases Exempt: VGMF Does Not Bill for Rx Device/ Ship Rx Device, Not Drugs California California State Board of Pharmacy California Designated RepresentativeThird Party Logistics Provider VGMF License Obtained California State Board of Pharmacy Nonresident Third Party Logistics Provider VGMF License Obtained California State Board of Pharmacy California Nonresident Wholesaler Exempt: VGMF Does Not Bill for Rx Device Colorado Colorado Department of Regulatory Agency - Division of Professions & Occupations Third Party Logistics Provider Exempt: Ship Rx Device, Not Drugs Colorado Department of Regulatory Agency - Division of Professions & Occupations Durable Medical Equipment (DME) Supplier Exempt: VGMF Does Not Bill for Rx Device Connecticut Connecticut Department of Consumer Protection Wholesale of Drugs, Cosmetics, and Medical VGMF License Obtained Delaware Delaware Division of Professional Regulations Delaware Pharmacy - Wholesale Drug Distributor Exempt: Ship Rx Device, Not Drugs District of Columbia DC Department of Health Regulations and Licensing Administration Medical Devices Distributor and Manufacturers Registration VGMF License Obtained Florida Florida Department of Business and Professional Regulations Third Party Logistics Provider Exempt: Ship Rx Device, Not Drugs Florida Department of Health Nonresident Pharmacy Permit Exempt: Ship Rx Device, Not Drugs/ VGMF Does Not Bill for Rx Device Florida Agency for Health Care Administration, Bureau of Health Facility Regulations Home Medical Equipment (HME) Provider Exempt: VGMF Does Not Bill for Rx Device Georgia Georgia Board of Pharmacy Third Party Logistics Provider Exempt: Ship Rx Device, Not Drugs Hawaii Hawaii Department of Commerce and Consumer Affairs, Professional and Licensing Branch Durable Medical Equipment (DME) Supplier VGMF License Obatined
9 State Governing Board License Type License Status Idaho Idaho State Board of Pharmacy Durable Medical Equipment Outlet Registration Exempt: VGMF Does Not Bill for Rx Device Idaho State Board of Pharmacy Idaho Wholesaler of Legend Medical Devices/OTC/Intracompany Sales Registration Exempt: VGMF Does Not Bill for Rx Device Illinois Illinois Department of Financial and Professional Regulation Home Medical Equipment and Services Provider VGMF License Obtained Indiana Indiana Board of Pharmacy Licensing Agency Home Medical Equipment Service Provider Exempt: Direct Patient Care Not Provided Iowa Iowa Board of Pharmacy Limited Distributor License - Medical Device Distributor to Patients VGMF License Obtained Iowa Board of Pharmacy Iowa Third Party Logistics Provider Exempt: Ship Rx Device, Not Drugs Kansas Kansas State Board of Pharmacy Third Party Logistics Provider VGMF License Obtained Kansas State Board of Pharmacy Kansas Wholesale Distributor Exempt: VGMF Does Not Bill for Rx Device Kansas State Board of Pharmacy Kansas Durable Medical Equipment Exempt: VGM License Obtained Kentucky Kentucky Board of Durable Medical Equipment Supplies Home Medical Equipment and Services Provider VGMF License Pending Kentucky Board of Pharmacy Third Party Logistics Provider Exempt: Ship Rx Device, Not Drugs Louisiana Louisiana Board of Pharmacy Distributor of Legend Drugs or Devices, Third Party Logistics VGMF License Obtained Louisiana Board of Pharmacy DME permit VGMF License Obtained Maine Maine Board of Pharmacy Mail Order Prescription Pharmacy Exempt: Ship Rx Device, Not Drugs Maryland Maryland Board of Pharmacy Maryland Distributor Permit (Wholesale Application) Exempt: VGMF Does Not Bill for Rx Device Massachusetts Massachusetts Board of Regulations in Pharmacy Non-Resident Third Party Exempt: Ship Rx Device, Not Drugs Michigan Michigan Department of Licensing and Regulatory Affairs Michigan Wholesale Distributor License Exempt: Ship Rx Device, Not Drugs Minnesota Minnesota Board of Pharmacy Third Party Logistics Provider Exempt: Ship Rx Device, Not Drugs Mississippi Mississippi State Board of Pharmacy Mississippi Medical Equipment Supplier Exempt: VGMF Does Not Bill for Rx Device Mississippi State Board of Pharmacy Third Party Logistic Provider VGMF License Pending Missouri Missouri Board of Pharmacy Third Party Logistics Provider Exempt: Ship Rx Device, Not Drugs
10 State Governing Board License Type License Status Montana Montana Board of Pharmacy Third Party Logistics Provider Application Not Yet Available Montana Board of Pharmacy Wholesale Drug Distributor VGMF License Obtained Montana Board of Pharmacy Mail Order Pharmacy VGM License Pending Nebraska Nebraska Department of Health and Human Services Licensing Unit Wholesale Drug Distributor or Wholesale Drug Distributor - Medical Gas Distributor Exempt: Ship Rx Device, Not Drugs Nevada Nevada State Board of Pharmacy Wholesaler VGMF License Obtained Nevada State Board of Pharmacy Nevada Wholesaler VGMF License Obtained New Hampshire New Hampshire Board of Pharmacy Limited Retail Drug Distributor License VGMF License Obtained New Hampshire Board of Pharmacy Prescription Drug/ Device Manufacturer/ Wholesaler/ Distributor/ Broker VGMF License Obtained New Jersey New Jersey Department of Health Drug and Medical Devices Certificate of Registration - Wholesale Exempt: VGM License Obtained Division of Consumer Affairs, Pharmacy Centralized Prescription Handling Pharmacy Service Exempt: Ship Rx Device, Not Drugs New Mexico New Mexico Board of Pharmacy Third Party Logistics Provider Exempt: Ship Rx Device, Not Drugs New York New York State Education Department, Office of the State Board of Pharmacy and Midwifery New York Nonresident Establishment/ Registered Wholesaler of Drugs and/or Devices Exempt: Ship Rx Device, Not Drugs North Carolina North Carolina Board of Pharmacy Device and Medical Equipment VGMF License Obtained North Dakota North Dakota Board of Pharmacy Device Medical Equipment Retailer, Medical Gas Retailer and Distributor, or Both VGMF License Obtained North Dakota Board of Pharmacy North Dakota Third Party Logistic Provider Exempt: VGMF Does Not Bill for Rx Device/Ship Rx Device, Not Drugs Ohio Ohio Board of Pharmacy Terminal Distributor of Dangerous Drugs (TDDD) Exempt: Ship Rx Device, Not Drugs Ohio Respiratory Care Board, HME Division Home Medical Equipment Service Provider Exempt: VGMF Does Not Bill for Rx Device Oklahoma Oklahoma State Board of Pharmacy Medical Gas Distributor & Durable Medical Equipment Supplier Exempt: Ship Rx Device, Not Drugs Oregon Oregon Board of Pharmacy Drug Distributor Agent VGMF License Obtained Oregon Board of Pharmacy Oregon Wholesaler, Class 3 Exempt: VGMF Does Not Bill for Rx Device
11 State Governing Board License Type License Status Pennsylvania Pennsylvania Department of Health Drug and Device Program Drug and Device Registration - Devices Only VGMF License Obtained Rhode Island Rhode Island Board of Pharmacy Drug Wholesaler, Out of State Exempt: Ship Rx Device, Not Drugs South Carolina South Carolina Board of Pharmacy Nonresident Third Party Logistics Provider VGMF License Obtained South Carolina Board of Pharmacy South Carolina Nonresident Wholesaler/ Distributor/Manufacturer Exempt: VGMF Does Not Bill for Rx Device/Direct Patient Care Not Provided/Ship Rx Device, Not Drugs South Dakota South Dakota Board of Pharmacy Wholesale Drug Distributor Exempt: VGMF Does Not Bill for Rx Device/Ship Rx Device, Not Drugs Tennessee Tennessee Board of Pharmacy Third Party Logistics Provider VGMF License Obtained State of Tennessee Department of Health Home Medical Equipment Exempt: Direct Patient Care Not Provided Tennessee Board of Pharmacy Tennessee Wholesale/Distributor Exempt: VGM License Obtained Texas Texas Board of Pharmacy Pharmacy License - Class E Business Pharmacy License Exempt: Ship Rx Device, Not Drugs Utah Utah Division of Occupational and Professional Licensing Pharmacy License - Class E Business VGMF License Obtained Vermont Vermont Secretary of State, Offices of Professional Regulations Durable Medical Equipment Exempt: Ship Rx Device, Not Drugs Virginia Virginia Department of Health Professions, Board of Pharmacy Nonresident Third Party Logistics Provider VGMF License Obtained Virginia Department of Health Professions, Board of Pharmacy Virginia Nonresident Warehouser Exempt: VGMF Does Not Bill for Rx Device Washington Washington State Department of Health Durable Medical Equipment Exempt: Ship Rx Device, Not Drugs West Virginia West Virginia Board of Pharmacy Durable Medical Equipment Exempt: Ship Rx Device, Not Drugs Wisconsin Department of Safety and Professional Services Wholesale Distributor Exempt: VGMF Does Not Bill for Rx Device Wyoming Wyoming State of Board of Pharmacy Wyoming Wholesalers or Third Party Logistics Exempt: Ship Rx Device, Not Drugs

Licensed Professionals and Medical Device Technicians Setting

PAP Machine Pressures

The expansion of VGMF’s PAP (Positive Air Pressure) Setup Program to set physician-prescribed pressures on machines required an in-depth analysis of state laws and regulations concerning this type of work. The scope of the research was limited to the applicable governing board laws and regulations in each state as it relates to physically setting pressures on PAP machines for patients that live in their state and whether professional licensure is required to do this work.

The research resulted in 35 states and the District of Columbia that would permit a Medical Device Technician (MDT) to set the pressures on a PAP machine with oversight of a Licensed Professional (LP); 15 states indicated an LP would be required to set the pressures on a PAP machine. A high-level summary of these results are shown in the map below.

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Licensed Professionals Required to Set PAP Machine Pressures

Arizona

California

Connecticut

Idaho

Kentucky

Maine

Nevada

New Hampshire

New Jersey

North Dakota

Ohio

Pennsylvania

South Carolina

Tennessee

West Virginia

Wisconsin

Medical Device Technicians Can Set Machine Pressures (with Oversight)

Alabama

Alaska

Arkansas

Colorado

Delaware

Florida

Georgia

Hawaii

Illinois

Indiana

Iowa

Kansas

Louisiana

Maryland

Massachusetts

Michigan

Minnesota

Mississippi

Missouri

Montana

Nebraska

New Mexico

New York

North Carolina

Oklahoma

Oregon

South Dakota

Texas

Utah

Vermont

Virginia

Washington

Wyoming

Rhode Island

District of Columbia

The policies and procedures created for the PAP Setup Program comply with the above state laws and regulations. VGMF employs several appropriately Licensed Professionals, who are licensed in all 50 states and the District of Columbia, and either set the pressures on the PAP machines or provide oversight to MDT setting the pressures. MDT go through regular training and supervision from a Licensed Professional, including a formal, documented competency assessment.

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Licensed Professionals and Medical Device Technicians Setting PAP Machine Pressures

MDT can set up equipment, but that is the extent of what they can do without a license.

Alaska does not regulate DME or does not require a license for respiratory therapy. No information found regarding requirements for CPAP setup and installation.

During an April 2017 meeting, the Medical Board voted that DME companies are not required to have a licensed respiratory care practitioner on staff, nor are they required to have a respiratory therapist set up and/or deliver equipment. Any questions regarding treatment and procedures must be referred to the licensed physician/respiratory therapist.

The device must be set by a respiratory therapist, or another healthcare practitioner authorized to perform this type of function pursuant to their respective scope of practice (i.e., nurse).

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State Governing Board From Correspondence State Laws and Regulations LP or MDT with Oversight to Set PAP Machine Pressures Alabama
of Respiratory Care
Alabama Society
798-X-4 Scope of Practice MDT Alaska Respiratory Care Services
NA MDT Arizona Board of Respiratory Care Examiners Statute 32-3556 LP Arkansas Arkansas State Medical Board
MDT California Respiratory Care Board
§1399.360. Unlicensed Personnel Services; Home Care LP Colorado Division of Professions and Occupations 4 CCR 741-1 MDT Connecticut Respiratory Care Board Licensure Committee Connecticut Society for Respiratory Care (CTSRC) Chapter 381aRespiratory Care Practitioners Section 20-162n LP Delaware Delaware Department of State Division of Professional Regulation 1770 Respiratory Care Practice Advisory Council MDT District of Columbia District of Columbia Municipal Regulations for Respiratory Therapy 7610.2(e) Scope of Practice MDT Florida Board of Respiratory Care 468.368 Exemptions MDT Georgia Respiratory Therapy Committee Rule 360-13-.12 Practice of Respiratory Care without Certification MDT Hawaii Department of Commerce and Consumer Affairs Professional and Vocational Licensing Division Hawaii Revised Statutes (“HRS”) 466D-7 (4) MDT

State Governing Board From Correspondence

The Idaho State Board of Medicine believes that the initial setup and training of the use of the equipment, supplies, and medication requires the skill and knowledge of a licensed respiratory care practitioner or other qualified licensed health care provider. Any changes to the settings of the equipment, dosage of the medication or liter flow of oxygen should be made by a licensed respiratory care practitioner or qualified licensed health care provider.

Anyone who is providing the service that you describe must be a licensed respiratory therapist in Kentucky. The machine may also be set by another health professional, licensed in Kentucky, who is practicing within their own scope of practice.

CPAP machines are considered respiratory care equipment and will require a license to operate on others.

Unlicensed individual is only able to set up machine. Licensed RCP can give general information on durable equipment/equipment orientation services (mechanical instruction).

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LP or MDT with
PAP Machine
State Laws and Regulations
Oversight to Set
Pressures Idaho Allied Health Licensure
Idaho
LP Illinois Respiratory
Sec.
MDT Indiana Respiratory
MDT Iowa Iowa
MDT Kansas Kansas Board of
Arts Respiratory Care Advisory Committee
MDT Kentucky Kentucky Board of Respiratory Care
State Board of Medicine position statement, home delivery and set up of respiratory equipment, supplies, and medications
Care Board
22. Durable medical equipment use and training
Care Committee IN Code § 25-34.5-35 (2020) Sec. 5
Board of Respiratory Care and Polysomnography 152B.2 Respiratory care as a practice defined
Healing
K.S.A. 65-5514(a),(b) (3),(c)
LP Louisiana Louisiana State Board of Medical Examiners Respiratory Therapy La. Admin. Code tit. 46 § LIII-2405 MDT Maine Board of Respiratory Care Practitioners
Statutes
LP Maryland Maryland Board of Physicians Allied Health Supervisor COMAR 10.32.11.09B(7)(a) MDT Massachusetts Board of Respiratory Care 261 Mass. Reg. 3.05 MDT Michigan Board of Respiratory Care 33.18707 Practice of respiratory care; Sec. 18707 MDT Minnesota Minnesota Board of Medical Practice 147C.10 Subd. 2. Unlicensed practice prohibited; protected titles and restrictions on use MDT Mississippi MS
Respiratory Care
32 sec 9706-A
State Dept. of Health, Professional Licensure—
MDT

New Mexico Respiratory Care Advisory Board

The Board determined that, pursuant to: N.J.A.C.13:44F-3.3 (/):The licensed respiratory care practitioner who delegates tasks set forth in N.J.A.C.13:44F (d) in an outpatient setting shall ensure a followup visit from a licensee or a person exempt from respiratory care licensure pursuant to N.J.S.A. 45:14E-9 ( c ), takes place within 24 hours of delivery of the equipment to the patient for the purpose of conducting an in-person assessment of the equipment.

The board does not have specific rules that address requirements for individuals setting up CPAP machines.

Any instruction to the patient regarding the prescription, the clinical use of equipment or patient monitoring, patient assessment, or other procedures designed to evaluate the effectiveness of the treatment must be performed by a licensed respiratory therapist/technician or another authorized practitioner such as a physician or registered nurse. Non-licensed personnel may only deliver respiratory equipment for use by a patient.

A person who provides only support activities as defined in G. S. 90-648(13) is exempt as an unlicensed individual. They may:

Delegation by a respiratory care practitioner to unlicensed persons

N.M. Code R. § 16.23.14.11

NMSA 1978, Section 61-12B-3.C 61-12B-4

Rule 16.23.3.8

North Carolina North Carolina Respiratory Care Board

a. Deliver, set up, and calibrate prescribed respiratory care equipment.

b. Provide instructions on the use, fitting, and application of apparatus.

c. Demonstrate the mechanical operation for the patient, or caregiver.

16 State Governing Board From Correspondence State Laws and Regulations LP or MDT with Oversight to Set PAP Machine Pressures Missouri Missouri Board for Respiratory Care 334.800 to 334.930 MDT Montana Board of Respiratory Care Practitioners 37-28-102 and 3728-104 MDT Nebraska Dept. of Health and Human Services Division of Public Health Licensure Unit 38-3208 Respiratory Care Practice Act MDT Nevada Nevada State Board of Medical Examiners NAC 630.800 “Delegating practitioner” NAC 630.810 NAC 630.820 Nevada statute (630.047(1)(e)) LP New Hampshire Office of Licensed Allied Health #9068, eff 1-11-08; ss by #9958-A, eff 7-1611; ss by #16 Resp 409.01 Assignment of Routine Tasks LP New Jersey State Board of Respiratory Care
13:44F-3.3
LP
MDT
New York New York State Education Department Office of the Professions State Board for Respiratory Therapy
MDT
21 NCAC
.0202 G. S. 90-648(13) MDT North
Care 105-03-01-02. Home medical equipment and delivery 43-42-05 LP
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Dakota North Dakota State Board of Respiratory

Ohio State Medical Board of Ohio

A continuous positive airway pressure (CPAP) machine is within this definition and therefore setting pressure constitutes respiratory care. It is understood by this committee that “setting pressures” means the respiratory care professional is acting under the order of a physician or other approved provider.

Oklahoma

Oklahoma Board of Medical Licensure Respiratory Care Advisory Committee

Respiratory

Care

MDT Pennsylvania State Board of Osteopathic Medicine Statute 63 P.S. 422.13a(a.1) LP

Oregon Health Licensing Office

Care Practitioners Board Rhode Island Dept. of Health

Respiratory

37-28-102(3)(a), MCA MDT South Carolina

South

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and Regulations LP or MDT with Oversight to Set PAP Machine Pressures
State Governing Board From Correspondence State Laws
Administrative codes 4761.11 Respiratory Care Exemptions LP
Practice
The practice of respiratory care shall not include the delivery, set up, installation, maintenance, monitoring, and the providing of instructions on the use of home oxygen and durable medical equipment. MDT
Act Title
59 O.S., Section 2026 - 2045
A license is only required if an employee is going to be making adjustments (i.e., fittings, changing settings) while the employee is physically in Oregon. If an employee is making adjustments to equipment of Oregon residents, but will not physically be working in Oregon, a license is not required. This has been confirmed by the Board’s policy analyst.
Rhode Island
Carolina Board of Medical Examiners SC Department of Labor, Licensing and Regulation
CPAP
in South Carolina are allowed
by a respiratory care
and/or
LP
Dakota
Medical and Osteopathic Examiners
Board indicated there is nothing in the state laws that requires set up by a licensed professional from any discipline…in the absence of state law to the contrary I am not seeing any problem with the set up you describe.
Pressure settings on
machines
if done
practitioner
physician.
South
South Dakota Board of
Board of Pharmacy
SL 1993, ch 273, § 6 MDT Tennessee Tennessee Board of Respiratory Care Rule 1330-01-.03 (g) Respiratory Equipment Used by a Patient 1330-01-.02 Scope of Practice LP Texas Professional Licensing and Certification Unit Texas Medical Board 8.2 DME Contractor Qualifications A contract with TWC-VR is required to provide the goods listed in 8.3 Description of DME MDT Utah Respiratory Care Licensing Board Division of Occupational and Professional Licensing 58-57-7. Exemptions from licensure MDT
DME is not regulated in the state of South Dakota, so unless there is a concern about a respiratory therapist, in this case (they are licensed through the South Dakota Board of Medical and Osteopathic Examiners) there would be no requirements or prohibitions on an unlicensed individual adjusting a CPAP.

Wisconsin Wisconsin Respiratory Care Practitioners

Unlicensed, trained personnel could fix the settings on the machines pursuant to a physician’s order. The unlicensed individual could also offer masks for the patient to try and the patient to determine which one fits correctly, i.e., the patient fits the mask and turns on the machine to check the fit. The Advisory Board said any subsequent fittings after the initial one would have to be done by a licensed respiratory therapist.

Wyoming Wyoming State Board for Respiratory Care

The service you describe (adjusting the settings on a CPAP machine) generally falls into the scope of practice of a respiratory care practitioner and does require a credential.

ss. 15.08 (5) (b), 227.11 (2), and 448.40 (1), S

A Wyoming respiratory care practitioner license is not needed to transport and install respiratory care equipment.

A Wyoming licensed respiratory care practitioner license will be required if the person is determining the equipment settings and the person is instructing the patient and is monitoring the patient’s condition.

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From
State Laws and Regulations LP or MDT with Oversight to Set PAP Machine Pressures Vermont Office of Professional Regulation § 4712. Exemptions from licensure MDT
Advisory Board on Respiratory Therapy
State Governing Board
Correspondence
Virginia
Virginia Board of Medicine
MDT Washington Respiratory Care Practitioner Program Dept. of Health, Respiratory Care Program 18.79 RCW CW 18.79.260 MDT West Virginia West Virginia Board of Respiratory Care Section 30-7-4 30-34-1 LP
LP
MDT

Oversight and Quality Control

At VGMF, we take pride in meeting the needs of our DME Supplier customers and strive to address any issues promptly and effectively. Our dedicated Customer Success Team is here to assist with any concerns or questions you may have. If any concerns arise, we have a defined procedure for resolving issues and escalating them to the appropriate parties, ensuring that your needs are met in a timely and professional manner. The process includes gathering necessary information to resolve the complaint, reporting back to the customer within one business day, and escalating the complaint based on severity. All communication and documentation related to your feedback is stored securely in our internal system for future reference and quality management.

VGMF uses advanced software to automate its order processing procedures, including order validation, pick assignment, and shipping checks. Any failed job is automatically alerted to the appropriate team. Orders submitted through the customer portal are checked for completeness and accuracy, and an exception report is generated hourly to capture any rejected orders for the DME Supplier to review and resubmit. Warehouse personnel are intelligently routed through the warehouse to pick items that are closest to them, ensuring maximum efficiency. Orders are also checked for accuracy and completeness before shipping, and any flagged orders are independently reviewed before being shipped or re-picked. These important quality measures result in a 99.85% order accuracy rate.

Another component of VGMF’s oversight and quality control processes is that MDTs—beyond new hire processes—receive annual training and competency testing from an LP. This ensures VGMF’s standards for setting pressures on PAP machines are continuously met. VGMF has also established an internal audit component to the PAP Setup Program. During the audit process, one machine is selected at random for each MDT servicing equipment that day. It is then inspected for complete and accurate settings. Having this additional oversight from an LP demonstrates VGMF’s commitment to effective quality management.

VGMF practices an open, transparent, and sincere attitude toward compliance. We are willing to work with all DME Suppliers and DME Manufacturer partners through various channels to collaborate on regulatory compliance inquiries, clarifications, challenges, and solutions.

Our top priority is the care, safety, and service of your Patients, DME Suppliers, and DME Manufacturers. We are here to simplify the complexities of doing business and improve the quality of Patient lives. Thank you for the opportunity to share our Regulatory Compliance Program and License Portfolio and for trusting VGMF with your business.

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