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F I S C A L I M P A C T R E P O R T
SPONSOR Lopez
DATE TYPED 3/15/05
HB
SHORT TITLE Polysomnography Licensure Exemptions
SB 1051/aSPAC
ANALYST McSherry
REVENUE
Estimated Revenue
Subsequent
Years Impact
Recurring
or Non-Rec
Fund
Affected
FY05
FY06
NFI
$3.0-$5.0
$5.0-$6.0 Recurring
Respiratory Care
Fund
(Parenthesis ( ) Indicate Revenue Decreases)
SOURCES OF INFORMATION
LFC Files
Responses Received From
Regulations and Licensing Department (RLD)
SUMMARY
Synopsis of SPAC Amendments
Senate Public Affairs Committee Amendments made to SB 1051 would replace the proposed
definition for Polysonography-related respiratory services, add an additional “exemption” from
licensure requirements, and would add a provision allowing RLD and the Respiratory Car Board
to issue temporary permits for students and graduates of approved polysomnography training
programs.
The newly proposed definition of polysomnographic related respiratory care services to be: the
limited practice of respiratory care by a pohysomnographic technologist under medical direction,
a technician or trainee under physician or technologist supervision, or a licensed respiratory car
practitioner. The services would be limited to “diagnostic and therapeutic” use of oxygen and
noninvasive ventilatory assistance for patients who spontaneously breathe when awake, applica-
tion and monitoring of oximetry and capnography, and educating patients.
The new exemption would allow a polysomnographic technologist to transcribe and implement
the orders of a NM physician or other authorized prescribing entity pertaining to polysomnogra-
phy.
pg_0002
Senate Bill 1051/aSPAC -- Page 2
Synopsis of the Original Bill
Senate Bill 1051 proposes to amend the Respiratory Care Act to include three new types of li-
censure (polysomnography, polysonmographic technitions and polysomnography trainees), in-
crease the number of members on the board from five to six, and change restrictions of practice
accordingly.
Specifically, the bill would:
Amend the definition section of the Respiratory Care Act (the Act) to include polysomnogra-
phy, polysomography-related respiratory care services, polysomnograpic (PSG) technicians,
PSG technologists, and PSG trainees. Polysomnography would be defined as: the process of
analyzing, monitoring and recording physiologic data during sleep and wakefulness to assist in
the assessment and diagnosis of sleep-wake disorders and other disorders, syndromes and dys-
functions that are sleep-related, manifest during sleep or that disrupt normal sleep-wake cycles
and activities.
Include educational, training, and examination requirements for PSG technologists to qualify
for issuance of a limited license to provide polysomnography-related respiratory care services to
patients in sleep disorder centers, sleep clinics, or sleep laboratories under the supervision of a
New Mexico licensed physician at a sleep disorder center or laboratory.
Include education and training requirements for PSG technicians and trainees to qualify for
limited permits to provide polysomnography-related respiratory care services as defined in the
legislation, to patients in sleep disorder centers, sleep clinics, or sleep laboratories under the su-
pervision of a New Mexico licensed physician at a sleep disorder center or laboratory.
Authorize the Regulation and Licensing Department (RLD) promulgate rules for issuance
and renewal of limited licenses to PSG technologists, and limited permits to PSG technicians or
trainees.
Add a PSG technologist member to the Respiratory Care board, and sets forth the require-
ments for appointment to the board.
Allow the Department to waive the education and examination requirements for a PSG tech-
nologist applicant for limited license who presents proof of current licensure, registration, or
permit in good standing in another jurisdiction that has licensure/permitting standards at least
equal to or better than those required in the Act.
Establish title use provisions for PSG technologists who have been issued a limited license or
PSG technicians and trainees who have been issued limited permits by the Department.
Amend Section 61-12B-12 to include PSG technologists, technicians, and trainees in the dis-
ciplinary provisions of the Act.
Authorize the Department to assess licensure and renewal fees for licensing and permitting of
PSG technologists, technicians, and trainees.
pg_0003
Senate Bill 1051/aSPAC -- Page 3
Significant Issues
The proposed licensures have not been reviewed through the sunrise process. A new board is not
being proposed, however a new types of professional licensure is proposed.
It is not known whether individuals currently practicing polysomnography would meet the li-
censing requirements proposed in the bill.
The proposed bill would require PSG technicians to have completed a formal polysomnography
training program associated with a state-licensed or nationally accredited educational facility or
successfully completed 480 hours of experience as a trainee. It is not known what portion of
care providers would be eligible for licensing if the proposed bill went into effect on July 1,
2005. It is possible that a large portion of providers would not be eligible.
According to RLD, many PSG technologists and technicians are trained on the job (OJT) and the
OJT varies from employer to employer resulting in great variability. RLD asserts that the vari-
ability places patients in sleep centers, sleep clinics and sleep laboratories at risk and that the
state has no mechanism in place to monitor the quality of care provided or the ethical behavior of
PSG staff.
RLD reports that tests performed by PSG staff require contact with a patient’s body, watch-
ing/videotaping patients sleep, knowledge of protected health information, patient education, and
manipulation of modality devices if certain treatments are utilized.
According to RLD, respiratory care related modalities affect the patient’s ability to breathe, and
are sensitive. The Department believes personnel should be trained and competent to provide
these services
.
This legislation would require that PSG personnel who provide PSG-related respiratory care ser-
vices have documented training, continuing education, and regulation consistent with the re-
quirements for respiratory care practitioners providing the same PSG-related respiratory care
services to patients.
FISCAL IMPLICATIONS
The bill provides for increased revenues to the Respiratory Care Board garnered through three
new licensures.
ADMINISTRATIVE IMPLICATIONS
The additional three levels of licensure would result in additional administrative workload for the
board administrators at RLD and additional workload for the Respiratory Care Board.
TECHNICAL ISSUES
There is a technical error on Line 4, page 4. “of” should be deleted at the beginning of the line.
OTHER SUBSTANTIVE ISSUES
RLD asserts that the proposed changes in SB1051 were developed by members of the New Mex-
pg_0004
Senate Bill 1051/aSPAC -- Page 4
ico Society for Respiratory Care who operate sleep centers/clinics/labs in Albuquerque, Santa Fe,
Gallup and Clovis and that the bill incorporates language recently enacted by the Oregon state
legislature.
RLD predicts there may be opposition to the legislation from the Association of Polysomno-
graphic Technologists. It is not clear what role, if any, polysomnographic technologists, techni-
cians, and trainees have played in developing the proposed language.
Despite the new licensure being proposed to be included under an already existing board; it
seems that the same process of public and professional hearing and involvement should be con-
sidered when regulating a new profession as is provided for when creating a new licensing board
through the Sunrise Act.
WHAT WILL BE THE CONSEQUENCES OF NOT ENACTING THIS BILL.
Sleep centers/clinics/laboratories will continue to train and employ polysomnography profes-
sionals and the profession would not be licensed.
According to RLD, patients would be at risk.
POSSIBLE QUESTIONS
1.
What role have polysomnographic professionals taken in proposing this bill.
2.
Have public hearing been held regarding the proposed licensures.
3.
Have any “grandfathering” mechanisms been proposed to provisionally license those pro-
fessionals currently practicing polysomnography.
EM/lg:yr