Rules & Regulations of the State of Tennessee Title 1130 - Board of Physician Assistants

I. Legal Authority and Purpose of Title 1130

Title 1130 is promulgated under the authority of:

Tenn. Code Ann. §§ 63-19-101 et seq. (Physician Assistants Act)

The Uniform Administrative Procedures Act (UAPA)

Purpose

The rules exist to:

Protect public health and safety

Regulate licensure, scope of practice, and discipline of physician assistants (PAs)

Ensure physician supervision and accountability

Provide due process to licensees

Courts consistently hold that professional licensing boards act in a quasi-judicial capacity and must strictly follow their enabling statutes and rules.

II. Organization of Title 1130

Title 1130 is divided into several major regulatory chapters:

General Provisions

Licensure Requirements

Scope of Practice & Supervision

Prescriptive Authority

Professional Conduct & Discipline

Administrative Procedures

Each section has been repeatedly upheld as a valid exercise of the State’s police power when reasonably related to public safety.

III. General Provisions (Definitions & Authority)

What the Rules Do

Define key terms such as physician assistant, supervising physician, collaborative practice, and delegated medical acts

Establish the Board’s authority to interpret and enforce rules

Case Law Interpretation

Tennessee courts apply strict statutory construction to licensing rules.

Key principle:

A licensing board has no authority beyond what the statute and rules expressly grant.

Relevant case law principle:

Martin v. Sizemore (Tenn. 2004) – Administrative agencies may not expand their authority by interpretation.

Effect on PAs:
If a PA is disciplined for conduct not clearly prohibited by statute or rule, courts may reverse the Board’s action.

IV. Licensure Requirements

Core Requirements

Graduation from an accredited PA program

Passage of the PANCE

Criminal background check

Ongoing compliance with renewal and CME requirements

Board Discretion

The Board may:

Deny licensure for fraud or misrepresentation

Impose conditions on licensure

Require additional proof of competency

Case Law

Tennessee courts hold that:

Licensure is a property interest

Denial or revocation requires procedural due process

Relevant case law principle:

Richardson v. Tennessee Board of Dentistry – Professional licenses cannot be denied without notice and an opportunity to be heard.

V. Scope of Practice & Physician Supervision

Core Rule

A PA may only perform:

Medical services delegated by the supervising physician

Acts within the PA’s education, training, and experience

Supervision:

Does not require constant physical presence

Must be continuous and documented

Common Violations

Practicing beyond delegated authority

Inadequate supervision agreements

Independent diagnosis or treatment without delegation

Case Law

Tennessee courts defer to boards on medical judgment but not on legal interpretation.

Relevant principle:

Jackson Mobilphone Co. v. Tennessee Public Service Commission – Courts defer to agency expertise only when acting within statutory limits.

Effect on PAs:
Boards may define clinical boundaries, but cannot invent new supervision requirements not found in statute or rule.

VI. Prescriptive Authority

Regulatory Requirements

Separate prescriptive authority registration

Compliance with controlled substance schedules

Physician-approved formulary or protocol

Adherence to state and federal controlled substance laws

Disciplinary Risk Areas

Prescribing without authority

Exceeding schedule limitations

Failure to document physician oversight

Case Law

Courts uphold strict regulation of prescribing due to public safety concerns.

Relevant principle:

Cooper v. Tennessee Board of Medical Examiners (administrative law principle applied across health boards) – The state may impose heightened controls on prescribing without violating due process.

VII. Professional Conduct & Discipline

Grounds for Discipline

Unprofessional conduct

Incompetence or negligence

Fraud or misrepresentation

Substance abuse

Criminal convictions related to practice

Available Sanctions

Reprimand

Civil penalties

Probation

Suspension or revocation

Due Process Requirements

The Board must provide:

Notice of charges

Opportunity for a hearing

Findings of fact and conclusions of law

Case Law

Key Tennessee rule:

Discipline must be supported by substantial and material evidence.

Relevant cases:

City of Memphis v. Civil Service Commission – Agencies must base discipline on evidence, not speculation.

Humana of Tennessee v. Tennessee Health Facilities Commission – Arbitrary or capricious decisions are reversible.

VIII. Administrative Hearings & Appeals

Governing Law

Tennessee Uniform Administrative Procedures Act

Standard of Judicial Review

Courts may reverse Board decisions if:

The Board exceeded its authority

The decision violated constitutional rights

The decision was arbitrary or capricious

Findings lacked substantial evidence

Case Law

CF Industries v. Tennessee Public Service Commission – Courts do not reweigh evidence but ensure lawful decision-making.

McEwen v. Tennessee Department of Safety – Failure to follow procedural rules invalidates agency action.

IX. Practical Legal Takeaways for Physician Assistants

Title 1130 has the force of law

The Board has broad power—but not unlimited power

Licensure and prescribing are protected property interests

Discipline must follow due process and evidence standards

Courts will intervene when boards exceed statutory authority

X. Summary

Title 1130 creates a regulated but protected professional framework for physician assistants in Tennessee. Courts generally support the Board’s role in protecting public safety but strictly enforce:

Statutory limits

Due process rights

Evidentiary standards

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