Virginia Regulatory Town Hall
Agency
Department of Health Professions
 
Board
Board of Psychology
 
chapter
Regulations Governing the Practice of Psychology [18 VAC 125 ‑ 20]

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11/8/22  2:15 pm
Commenter: Rainn H

Support
 

I support this. There is a mental health crisis.

CommentID: 205122
 

11/11/22  7:31 pm
Commenter: Tamica Terri Brown, LP

General
 

Most states have the same general requirements with the exception that there are some added requirements that are state specific. This would allow out of state professionals to contribute to the mental health in Virginia.

CommentID: 205159
 

11/23/22  7:57 pm
Commenter: Prof. Michael Moates, EdD-Candidate, LP, LBA, LMHC, LADAC

Getting VA inline with other states
 

 

Hello, Board of Psychology

 

Thank you for taking the time to read my post. I am writing you today to request that rules implemented during COVID-19 become permanent. As you know, the government’s role is to serve its people. The courts have ruled for years that licensure is only appropriate to the extent that it protects people from harm. 

 

Many states have a different paths to licensure. Some examples include the following:

 

 

 

 

 

 

  • Telehealth - Where a state issues a license to practice telehealth based on an out-of-state license.

 

(See: South Carolina - https://llr.sc.gov/cou/behavioral_telehealth.aspx)

(See: Vermont - https://sos.vermont.gov/opr/about-opr/covid-19-response/telehealth-out-of-state-expired-license-registration/)

(See: Florida - https://flhealthsource.gov/telehealth/)

(See: Indiana - https://www.in.gov/pla/telehealth-home/)

(See: Delaware - https://dprfiles.delaware.gov/documents/Medical%20Personnel%20Request%20Form%20post%20HB%20348.pdf)

(See: New Jersey - https://dohlicensing.nj.gov/telehealthtelemedicine/)

(See: Alaska - https://www.commerce.alaska.gov/web/cbpl/ProfessionalLicensing/TelemedicineBusinessRegistry.aspx)

(See Arizona - https://psychboard.az.gov/psychologist-behavior-analyst-telehealth-registry)

 

The Virginia General Assembly has already signaled that they are going this route. See: HB 537. According to § 54.1-3605. Powers and duties of the Board has to “Promulgate regulations establishing the requirements for licensure of clinical psychologists that shall include appropriate emphasis in the diagnosis and treatment of persons with moderate and severe mental disorders.”

 

While a license is required by statute, there are exemptions to licensure that apply under § 54.1-3601. Exemption from requirements of licensure. However, some individuals are licensed in other states that would rather be under the jurisdiction of the board rather than practice under a qualified exemption. If the board denies the request, it creates multiple issues:

 

First, psychologists may practice under an exemption outside the board’s jurisdiction. Second, the need for mental health treatment in Virginia goes critical. Finally, Virginia signals to the other states that it believes their requirements are not good enough.

 

It is time for Virginia to get on the same page as the many other states and allow its mental health crisis to be addressed by qualified practitioners.

CommentID: 206081