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8 Jan 2013, 6:53 am by The Health Law Firm
Tell us yours below.Contact Health Law Attorneys Experienced with Investigations of Health Professionals and Providers.The attorneys of The Health Law Firm provide legal representation to physicians, nurses, nurse practitioners, CRNAs, dentists, pharmacists, psychologists and other health providers in Department of Health (DOH) investigations, Drug Enforcement Administration (DEA) investigations, FBI investigations, Medicare investigations, Medicaid investigations and… [read post]
2 Jan 2013, 9:09 pm
"Medical professional" includes doctors, osteopathic physician, dentist or a supervised physician's assistant or advanced registered nurse practitioner, but excludes chiropractors. [read post]
1 Jan 2013, 2:30 pm by Kathryn Fenderson Scott
Reimbursement for services and care provided in subparagraph 1. or subparagraph 2. up to $10,000 if a physician licensed under chapter 458 or chapter 459, a dentist licensed under chapter 466, a physician assistant licensed under chapter 458 or chapter 459, or an advanced registered nurse practitioner licensed under chapter 464 has determined that the injured person had an emergency medical condition. 4. [read post]
28 Dec 2012, 1:01 pm
The need for more dental-care practitioners is particularly evident at community clinics and other under served populations. [read post]
26 Dec 2012, 5:00 am
Question #6 – H-1B Nonimmigrant Work Visa Is a Nurse Practitioner considered a Specialty Occupation? [read post]
25 Dec 2012, 10:07 pm by Admin
Another of the errors involved a nurse practitioner prescribing a medicine to which the patient was allergic, resulting in the patient’s spending time in the hospital’s intensive care unit. [read post]
19 Dec 2012, 6:42 pm
From filthy conditions at pharmaceutical corporations to doctors and nurses making life-changing mistakes, our attorneys are there to support you through your difficult time. [read post]
3 Dec 2012, 11:03 am by Jerri Lynn Ward, J.D.
Among other things, the changes require an applicant for a nursing facility license or license holder to disclose its complete compliance history in each state or jurisdiction before the application date. [read post]
3 Dec 2012, 8:12 am by thehealthlawfirm
The attorneys of The Health Law Firm provide legal representation to physicians, nurses, nurse practitioners, CRNAs, pain management doctors, dentists, pharmacists, psychologists and other health providers in Department of Health (DOH) investigations, Drug Enforcement Administration (DEA) investigations, FBI investigations, Medicare investigations, Medicaid investigations and other types of investigations of health professionals and providers. [read post]
3 Dec 2012, 12:01 am by Douglas Kans
Representing health care practitioners in their DUI/DWI charges is not an easy task. [read post]
3 Dec 2012, 12:01 am by Douglas Kans
Representing health care practitioners in their DUI/DWI charges is not an easy task. [read post]
30 Nov 2012, 11:57 am
Aside from the primary health care physician, you can file a case against any other physician, such as specialists, nurses, hospitals, hospital staff, laboratories, surgeons, surgical staff, specialists and so on. [read post]
28 Nov 2012, 3:25 pm by Louis Leichter
 The practitioners targeted by this task force and these methods are not just notorious “pill mill” doctors and pharmacies, but also a large number of legitimate pain management physicians, physician assistants, nurse practitioners, pharmacists and pharmacies that just happen to be operating at ground zero of the war on prescription drugs. [read post]
27 Nov 2012, 6:11 pm by FDABlog HPM
  Since the federal sunshine provisions cover only remuneration provided to physicians and teaching hospitals, annual reports to Massachusetts will still be required for remuneration provided to other “Covered Recipients” under the Massachusetts law – i.e., hospitals, nursing homes, pharmacists, nurse practitioners, and other practitioners and providers who are authorized to prescribe, dispense, or purchase drugs. [read post]
21 Nov 2012, 12:26 pm
• Clarifies that Physician Assistants, Nurse Practitioners, and Clinical Nurse Specialists may complete the face-to-face encounter, but the encounter must be documented by a physician. [read post]
16 Nov 2012, 8:22 am by Jeff Marshall
Medicare is instituting a new policy to pay a patient’s physician or practitioner to coordinate the patient’s care in the 30 days following a hospital or skilled nursing facility stay. [read post]
14 Nov 2012, 8:47 am by Debra A. McCurdy
Under the final rule, CMS is expanding the written order requirements to provide that, as a condition of payment for specified items of DME, a physician must have documented and communicated to the DME supplier that the physician or a physician assistant, a nurse practitioner, or a clinical nurse specialist has had a face-to-face encounter with the beneficiary within the six month period before the written order. [read post]
13 Nov 2012, 2:05 pm
The DME face-to-face encounter final rule requires that a physician, physician assistant, nurse practitioner or clinical nurse specialist perform a face-to-face encounter as a condition of payment for certain DME items. [read post]
13 Nov 2012, 7:31 am by The Health Law Firm
  I would not suggest piecing something like this together on your own; seek counsel, such as experienced health law attorneys, to do this for you.If you are unsure about HIPAA privacy rights, click here for part one and click here for part two of a blog series on possible violations.Contact Health Law Attorneys Experienced with Investigations of Health Professionals and Providers.The attorneys of The Health Law Firm provide legal representation to physicians, nurses,… [read post]