Virginia Regulatory Town Hall
Department of Health Professions
Board of Counseling
Regulations Governing the Practice of Professional Counseling [18 VAC 115 ‑ 20]
Action Requirement for CACREP accreditation for educational programs
Comment Period Ends 7/1/2015
Previous Comment     Next Comment     Back to List of Comments
6/15/15  12:20 am
Commenter: Ben Beitin, PhD, Seton Hall University


I strongly urge you to stop the efforts to limit and grant Virginia's Professional Counselor licensure to applicants from only programs accredited by CACREP. This proposed regulation, if approved, will support the misconception that CACREP graduates are more effective than other well-trained and well-qualified graduates of professional counselor training programs. To date, there is no empirical evidence that CACREP graduates are better prepared or more effective than other counseling master-level graduates. Furthermore, a licensing board making determinations about prospective applicants based on a single accrediting body, has effectively relinquished their authority to an outside body (CACREP) that does not answer to the public, and over which the board has no oversight. Please be mindful that there are other paths to accreditation of counseling programs. For example, the Masters in Psychology and Counseling Accreditation Council (MPCAC) accredits counseling programs and requires programs to meet professionally agreed upon standards that reflects (and in some domains exceeds) the rigor of CACREP standards. Also, consider the detrimental effect on Virginia's mental health consumer in that the proposed regulation would reduce choice and access by consumers to affordable mental health care. This would impact grossly underserved Virginia citizens and their communities the most. I urge the Commonwealth of Virginia NOT to approve this change in regulation. Rather, I strongly believe that Virginians will be best served by a diverse body of LPCs, and not only those with degrees from programs accredited by CACREP. Sincerely, Ben Beitin, Ph.D.

CommentID: 40203