Virginia Regulatory Town Hall
 
Agency
Virginia Department of Health
 
Board
State Board of Health
 
chapter
Regulations for Licensure of Abortion Facilities [12 VAC 5 ‑ 412]
Action Amend Regulations Following Periodic Review
Stage NOIRA
Comment Period Ended on 2/11/2015
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2/11/15  9:51 am
Commenter: Margaret Loesel

Please Maintain Essential Abortion Center Health and Safety Regulations
 

Board of Health,

Unsanitary conditions in any facility that provides medical care to women is a form of war on women.

Dear Members of the Board of Health,

The decision to issue a NOIRA on the abortion center regulations at your December 4, 2014 meeting is premature and unnecessary. The strongest possible abortion center regulations are essential for the health and safety of Virginia women and must be maintained. Health department inspectors have uncovered hundreds of health and safety violations. These violations include improper hand washing procedures and blood splatter on instruments and examination tables and abortions on minors without documented informed consent. Recent inspections also revealed significant abuse as an abortion center recorded an incredibly high number of complications from attempted chemical abortions with RU-486. The abortion industry has fought regulation for years, yet repeatedly independent inspectors find serious deficiencies, even during announced inspections. Abortion centers are not able to self-regulate. Abortion is not healthcare because it ends lives instead of healing them. However, since abortion operates within the healthcare system, abortion centers must adhere to the regulatory standards of other healthcare facilities. Simply, Virginia women deserve nothing less. Thank you for considering my perspective on this important matter.

If the abortion industry would like to be recognized as legitimate and necessary "healthcare for women," then it needs to follow the stringent regulations that the rest of the healthcare industry has to follow. This is just common sense. Margaret M Loesel, RN, BSN

CommentID: 39016