ACCME SURVEYOR REPORT FORM. Criterion 1. Surveyor Response. Y (go to C2) N. What Additional Materials Are to be Requested?

Similar documents
ISMS ACCREDITATION SURVEYORS REPORT

O U T L I N E F O R T H E S E L F - S T U D Y R E P O R T F O R A C C M E I N I T I A L A C C R E D I T A T I O N

SELF-STUDY REPORT OUTLINE FOR ACCME REACCREDITATION

OUTLINE FOR THE SELF- STUDY REPORT FOR ACCME REACCREDITATION

OUTLINE FOR THE SELF- STUDY REPORT FOR ISMA INITIAL ACCREDITATION

Self Study for CME Accreditation

General Guide to the Improvement Plan Progress Report Process Demonstrating Improvements and Compliance

LSMS Guide to the Initial Accreditation Process: Demonstrating the ACCME s Updated Accreditation Criteria

ACCME Guide to the Accreditation Process: Demonstrating the Implementation of the ACCME s Updated Accreditation Criteria

CONFLICT OF INTEREST REVIEW GUIDELINES. I. Background: ACCME Standards Resolution of Personal Conflicts of Interest

Identifying and Resolving Conflicts of Interest in Continuing Medical Education. An Educational Resource for Implementing the ACCME SM

Nebraska Medical Association. Guide to the Accreditation Process: Demonstrating the 2006 Accreditation Criteria

Ensuring Independence in CME Activities:

PRE-APPLICATION FOR ACCREDITATION OF INTRASTATE PROVIDERS OF CONTINUING MEDICAL EDUCATION

KMA Guide to the Accreditation Process REVISED 01/01/2017

Conflict of Interest Resolution and Disclosure

VMC CME APPLICATION CHECKLIST

Pre-application for KMA Accreditation

UUCME Speaker / Planner Disclosure Form

Policy on Commercial Support and Financial Disclosure

OUTLINE FOR THE SELF-STUDY REPORT FOR ACCME REACCREDITATION

Overview and Background Information. Conducting Your Self-Study for Initial Accreditation

IASLC CME Department planners/reviewers/iaslc Ethics Committee/CME Subcommittee et. al. will identify,

IASLC CME Department planners/reviewers/iaslc Ethics Committee/CME Subcommittee et. al. will identify,

INSTRUCTIONS TO JOINT PROVIDERS OF CME ACTIVITIES

2018 KPCA Fall Conference Call for Presentations

National Arab American Medical Association. Sponsorship Booklet and Written Agreement for Commercial Support

Author Statements and Copyright Assignment

Conflict of Interest Resolution/Disclosure Cases

AGA Guide for Interactions with Companies 1

POLICY ON DISCLOSURE AND RESOLUTION OF CONFLICTS OF INTEREST * February 10, 2015

UBC Department of Psychiatry Industry Supported CME Policy

Authors: Dr Craig M. Campbell Dr Marianne Xhignesse Dr. Ted Toffelmire

Call for Comment Simplifying the Accreditation Requirements and Process

PO Box Washington, DC

Issue Date: December 11, 2015

CALL FOR PRESENTATIONS AMGA 2017 ANNUAL CONFERENCE March 22-25, 2017, Gaylord Texan, Grapevine, TX

Issue Date: December 11, 2015

UNIVERSITY OF FLORIDA COLLEGE OF MEDICINE-JACKSONVILLE. Subject: Outside Activities by Residents/Fellows

CONTENTS CHAPTER ONE STRATEGIC BUSINESS PLANNING

PREP Course 24: Defining the Differences between FDA and OHRP regulations. Presented by: Hallie Kassan Dorean Flores Office of the IRB

II. Funding of Guideline Development Direct funding of evidence-based guideline production by medical and pharmaceutical industry is prohibited.

GRI Standard Section / Category. GRI Standard Indicator or Disclosure. Location in Report /URL (include page #) Reason for Omission

CONFLICT OF INTEREST IN CME/CPD. Dr. Martin Balzan MD FRCP(lond)

Position Description Psychologist - Supervisor

Disclosing Potential Conflicts of Interest

HEDIS Measures NCQA s 20 Years of Experience with Measurement

September 11, Accreditation Council for Continuing Medical Education 515 N. State Street, Suite 1801 Chicago, IL Dear Dr.

Work Placement Handbook for Graduate Diploma in New Zealand Immigration Advice

CONFLICTS OF INTEREST PRESENTATION OVERVIEW CONFLICT OF INTEREST DEFINED 3/12/2017 H C C A C H A R LOTTE R EGI O N A L P R ESENTATI O N

Ministry-wide Setting: Organization-wide Areas/Dept: All Title: Conflict of Interest and Disclosure Process (CC-701) Category/Chapter: Compliance

DISCLOSURE STATEMENT

Gap Analysis: AQIP Systems Portfolio Review Team Areas to be addressed for the CQR Quality Highlights Report

Team Leader / Supervisor Programme

Project Management: Health Information Technology (HIT) Sustainability Beyond Go Live Scott Coplan, President COPLAN AND COMPANY

Areas of Responsibilities, Competencies, and Sub-competencies for Health Education Specialists

1. Managing conflict of interest in certification

ILAC Mutual Recognition Arrangement: Policy and Management ILAC-P4:06/2017

Managing Conflicts of Interest in the Pharmaceutical Sector

Corporate Relations Governance Policies and Guidelines Handbook

Board-Staff Linkage (BL) Policies Monitoring Report. Governance Committee Report April 13, 2017

SAMPLE. Boise State School of Social Work Advanced MSW Evaluation. Student:

POLICY ON CONFLICT OF INTEREST AND CONFLICT OF COMMITMENT 47

Risk Management Policy and Framework

Director Compensation Application of the BC Societies Act

Standing Committee Descriptions, Roles and Responsibilities

MODA HEALTH CODE OF CONDUCT

CONFLICT OF INTEREST POLICY

Level 7 NVQ Diploma in Construction Senior Management. Qualification Specification

Level 7 NVQ Diploma in Construction Senior Management. Qualification Specification

Level 7 NVQ Diploma in Construction Site Management. Qualification Specification

Enhanced CET Scheme. Principles and Requirements v2.1. Enhanced CET Scheme Principles and Requirements final version 2.1, December 2012.

GIFTS, GRATUITIES AND BUSINESS COURTESIES

NOMINATION GUIDELINES 2018 BOARD OF DIRECTORS

Conflict of Interest Policy and Procedure; Assessment and Quality Assurance

General Practice Services Committee (GPSC) Policy on Declaration of Competing Interests

JOB AND PERSON SPECIFICATION

Self-Study Report. Performance-in-Practice Review. Accreditation Interview

Trainee in Difficulty Support (TIDS) Policy

LEADERSHIP AND MANAGEMENT MODULE

September 22, Moving Beyond Data Entry: Harnessing the Power of Population Health Analysis to Drive EMR Optimization and Data Quality Awareness

Deputy Minister Profile

Guidelines for Social Media Engagement. for the Consumer Health Product Industry VOLUNTARY GUIDE

Management Plan Rubric for Priority Improvement and Turnaround Schools & Districts

BIIAB Unit Pack. BIIAB Level 3 Certificate in Principles of Marketing (QCF) 601/6768/3

CORE VALUES AND CODE OF CONDUCT

Competencies and Curricular Milestones

Standards for Excellence Program Organizational Self-Assessment Checklist

Understanding Key Performance Indicators and Their Impact on Your Business

Edexcel Level 2 Award, Certificate and Diploma in Retail Skills (QCF)

Delivering ILM qualifications to Team Leader/Supervisor Trailblazer Apprenticeship Standards

BOARD OF DIRECTORS CHARTER

Conflict of Interest Policy

AMERICAN SOCIETY OF HEMATOLOGY (ASH) Principles, Policies, and Procedures related to Conflict-of-Interest (COI)

1. Introduction Scope

CU2692 Support Individuals to Access and Manage Direct Payments

CORPORATE GOVERNANCE King III - Compliance with Principles Assessment Year ending 31 December 2015

Timelines and fees for submission to the Continuing Education Administrator: 120 days prior to start of activity: $500.00

PUBLIC SECTOR SERVICE DELIVERY Develop public sector service delivery objectives, and implement systems to meet client needs

Transcription:

Provider # Survey Chair Survey Date Provider ame ACCME SURVEOR REPORT FORM Survey Co-Chair ARC Reviewer Criterion 1 A CME Mission Statement that includes expected results articulated in terms of changes of competence, performance or patient outcomes that will be the result of the program? (go to C2) Request? Compliance, oncompliance, Clarification eeded to Determine Compliance Finding

1. the provider s incorporation into CME activities the educational needs (knowledge, competence or performance) that underlie the professional practice gaps of their own learners? The provider s description did not include: Identification of Professional Practice Gaps Professional practice gaps of provider s own learners Educational needs that underlie the PPG of provider s learners Educational needs articulated in terms of knowledge, competence, or performance Criterion 2 (go to C3) (see below) Request? Compliance, oncompliance, Clarification eeded to Determine Compliance Finding ACCME, Page 2

1. the generation of activities/educational interventions designed to change competence, performance, or patient outcomes as described in the provider s mission statement? Criterion 3 (go to C5) (see below) The provider s description did not include: Activities designed to change C, P, Or PO Activities designed for change as described in CME mission statement Request? Compliance, oncompliance, Clarification eeded to Determine Compliance Finding ACCME, Page 3

Criterion 4 Criterion 4 was removed from the accreditation requirements effective February 2014. ACCME, Page 4

1. the use of educational formats for activities/educational interventions that are appropriate for the setting, objectives and desired results of the activity? Criterion 5 (go to C6) (go to comments) Request? Compliance, oncompliance, ot Applicable, Clarification eeded to Determine Compliance Finding ACCME, Page 5

1. the development of activities/educational interventions in the context of desirable physician attributes (e.g. IOM competencies, ACGME competencies)? Criterion 6 (go to C7) (go to comments) Request? Compliance, oncompliance, ot Applicable, Clarification eeded to Determine Compliance Finding ACCME, Page 6

Criterion 7, SCS1 1. its independence from commercial interests in its CME planning, implementation and evaluation (SCS 1.1, 1.2)? (go to C7, SCS 2) (see below) The provider description indicated that the following decision(s) are controlled by commercial interest(s): Identification of needs Determination of educational objectives Selection and presentation of content Selection of all persons and organizations in the position to control the content Selection of educational methods Commercial interest had role as joint provider. Employees of a commercial interest used as planners and/or faculty without demonstrating provider retained complete control of content. Request? Compliance, oncompliance, Clarification eeded to Determine Compliance Finding ACCME, Page 7

Criterion 7, SCS2 1. the resolution of personal conflicts of interest, as outlined in SCS 2.1, 2.2 and 2.3? (go to C7, SCS 6) (see below) The provider did not describe that: Everyone who is in a position to control content discloses the presence or absence of relevant financial relationships to the provider (SCS 2.1) Individuals who refuse to disclose are disqualified from planning and implementation of the activity (SCS 2.2) (The provider) has implemented a mechanism to identify and resolve all conflicts of interest prior to the educational activity being delivered to learners. (SCS 2.3) Request? Compliance, oncompliance, Clarification eeded to Determine Compliance Finding ACCME, Page 8

Criterion 7, SCS6 1. disclosure to learners of relevant financial relationships and commercial support for the activity, in keeping with SCS 6.1 6.5? (go to C8) (see below) The provider did not describe that disclosure: Of relevant financial relationships of all in control of content included name of the individual, commercial interest and nature of the relationship (SCS 6.1) Was made when an individual had no relevant financial relationships (SCS 6.2) Of the source of all commercial support is made to learners, including in-kind support (SCS 6.3) Does not include use of trade names or product-group messages (SCS 6.4) Is made to the learners prior to the activity (SCS 6.5) Request? Compliance, oncompliance, Clarification eeded to Determine Compliance Finding ACCME, Page 9

Criterion 8 (SCS3) 1. its written policies and procedures governing honoraria and reimbursement of expenses? (SCS 3.7) 2. Does the provider accept commercial support? (continue with C8 questions) (go to C9) 3. the appropriate use of commercial support, as outlined in SCS 3.1 3.6 and 3.12? (go to C9) (see below) The provider did not describe that: It makes all decisions regarding commercial support (SCS 3.1) It complies with SCS 3.2 (A provider not accept advice or services of a commercial interest as a condition of receiving support) Commercial support is given with full knowledge and approval of provider (SCS 3.3) Written agreements outline the terms, conditions and purposes of commercial support (SCS 3.4) Written agreements specify the source of commercial support (SCS 3.5) Written agreements are signed by both the provider and commercial supporter (SCS 3.6) o other payment is paid to anyone involved with the supported activity (SCS 3.9) It complies with SCS 3.12 (Commercial support is not used to pay for expenses for non-teacher or nonauthor participants of a CME activity) 4. meeting other ACCME expectations outlined in SCS 3 regarding honoraria payment and reimbursement of expenses for teachers/authors (SCS 3.10) and social events (SCS 3.11)? (go to C9) (see below) The provider did not describe that: Expenses of teachers/authors are paid for their teacher or author role only when they are a participant of a CME activity? (SCS 3.10) Social events/meals do not take precedence over the educational activity? (SCS 3.11) ACCME, Page 10

Request? Compliance, oncompliance, Clarification eeded to Determine Compliance Finding ACCME, Page 11

Criterion 9 1. that it does not use a commercial interest as the agent providing a CME activity to learners (e.g. distribution of self-study CME activities or arranging for electronic access to CME activities)? (continue with C9 questions) (go to comments) 2. that it organizes exhibits OR advertising with any of its CME activities? 3. that it appropriately manages commercial promotion? (SCS 4.1 4.4) (continue with C9 questions) (go to C10) (go to C10) (see below) The provider s description indicates the provider allows: Arrangements for commercial exhibits or advertisements to influence planning or interfere with the presentation of CME activities (SCS 4.1) Arrangements for commercial exhibits or advertisements to be a condition of commercial support (SCS 4.1) Product-promotion or product-specific advertisement to occur during CME activities (SCS 4.2) Educational materials to contain advertising, trade name or productgroup messages (SCS 4.3) Request? ACCME, Page 12

Compliance, oncompliance, Clarification eeded to Determine Compliance Finding ACCME, Page 13

1. that it plans and monitors its activities to ensure that its CME content and format are without commercial bias? (SCS 5) Criterion 10 (go to C11) (see below) The provider s description indicates that: The content of CME activities promotes the proprietary interests of any commercial interest. (SCS 5.1) CME activities do not give a balanced view of therapeutic options. (SCS 5.2) The content of the provider s CME activities are not in compliance with the ACCME s content validity value statements. (ACCME policy) The content of CME activities promotes the proprietary interests of any commercial interest. (SCS 5.1) Request? Compliance, oncompliance, Clarification eeded to Determine Compliance ACCME, Page 14

1. its analysis of changes achieved in learners competence, performance, or in patient outcomes based on data and information from its program s activities/educational interventions? Criterion 11 (go to C12) (see below) Request? Compliance, oncompliance, Clarification eeded to Determine Compliance Finding ACCME, Page 15

1. that it gathers data or information and conducts a program-based analysis on the degree to which its CME mission has been met through the conduct of CME activities/educational interventions? Criterion 12 (go to C13) Request? Compliance, oncompliance, Clarification eeded to Determine Compliance Finding ACCME, Page 16

1. that it identifies, plans, and implements the needed or desired changes in the overall program that are required to improve on its ability to meet the CME mission? The provider did not describe: The identification of changes in the overall program Plans for making changes in the overall program The implementation of identified changes Criterion 13 (go to C16) (see below) Request? Compliance, oncompliance, ot Applicable, Clarification eeded to Determine Compliance Finding ACCME, Page 17

Criteria 14 and 15 Criteria 14 and 15 were removed from the accreditation requirements effective February 2014. ACCME, Page 18

Criteria for Accreditation with Commendation Responses of es and o require an explanation of examples AD If es WH these examples are in keeping with the Criterion If o WH these examples are OT in keeping with the Criterion. A response of A means that the provider indicated (directly or indirectly) that it does not have a practice which would meet the Criterion, or that the provider has chosen not to present a description. Criterion 16 1. that it operates in a manner that integrates CME into the process for improving professional practice? A Request? Compliance Finding Compliance, oncompliance, ot Applicable, o Information Submitted, Clarification eeded to Determine ACCME, Page 19

1. that it utilizes non-education strategies to enhance change as an adjunct to its activities/educational interventions (e.g. reminders, patient feedback)? Criterion 17 A Request? Compliance Finding Compliance, oncompliance, ot Applicable, o Information Submitted, Clarification eeded to Determine ACCME, Page 20

1. that it identifies factors outside its control that impact patient outcomes? Criterion 18 A Request? Compliance Finding Compliance, oncompliance, ot Applicable, o Information Submitted, Clarification eeded to Determine ACCME, Page 21

1. that it implements educational strategies to remove, overcome, or address barriers to physician change? Criterion 19 A Request? Compliance Finding Compliance, oncompliance, ot Applicable, o Information Submitted, Clarification eeded to Determine ACCME, Page 22

1. that it builds bridges with other stakeholders through collaboration and cooperation? Criterion 20 A Request? Compliance Finding Compliance, oncompliance, ot Applicable, o Information Submitted, Clarification eeded to Determine ACCME, Page 23

1. that the provider participates within an institutional or system framework for quality improvement? Criterion 21 A Request? Compliance Finding Compliance, oncompliance, ot Applicable, o Information Submitted, Clarification eeded to Determine ACCME, Page 24

1. that the provider is positioned to influence the scope and content of its activities/educational interventions? Criterion 22 A Request? Compliance Finding Compliance, oncompliance, ot Applicable, o Information Submitted, Clarification eeded to Determine ACCME, Page 25

ACCME Policies A response of o requires an explanation. Physician Participation Policy 1. a mechanism in place to record and, when authorized, verify participation of participating physicians for six years after the date of the activity? If no, please explain: If the Policy was discussed, please describe the discussion. Request? Compliance, oncompliance, Clarification eeded to Determine Compliance Finding ACCME, Page 26

Records Retention Policy In the Performance in Practice Files 1. Was the provider able to produce for the ACCME s review records/files from CME activities held during its current accreditation term? If the Policy was discussed, please describe the discussion. If no, please explain: Request? Compliance, oncompliance, Clarification eeded to Determine Compliance Finding ACCME, Page 27

Accreditation Statement Policy In the Performance in Practice Files 1. Did the provider use the appropriate accreditation statement? If the Policy was discussed, please describe the discussion. If no, please explain: Request? Compliance, oncompliance, Clarification eeded to Determine Compliance Finding ACCME, Page 28

SURVEOR SUPPLEMETAL OTES Please use this section as additional space to include any additional notes that may not have fit in the spaces provided above. Please indicate the specific Criterion or policy to which each comment applies. ACCME, Page 29

ACCREDITATIO RECOMMEDATIO FOR ARC USE OL Accreditation with Commendation Accreditation Provisional Probation on-accreditation Progress Reports are required for any oncompliance finding for Criteria 1-13. Progress reports are optional for a oncompliance finding for a Policy Progress Report Required The ACCME s standard practice is for Progress Reports to be due in 1 year from the date of the ACCME Decision. ACCME, Page 30