Virginia Regulatory Town Hall
Agency
Department of Health Professions
 
Board
Board of Physical Therapy
 
chapter
Regulations Governing the Practice of Physical Therapy [18 VAC 112 ‑ 20]
Action Practice of dry needling
Stage NOIRA
Comment Period Ended on 12/30/2015
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12/17/15  7:07 am
Commenter: SOUTHWESTERN VA ACUPUNCTURE LLC

Acupuncture Licensure For Dry Needling
 

Dear Board of Physical Therapy, 
  
I am a licensed acupuncturist and am writing to object to the intent to draft "dry needling" regulations.  I believe the regulations present a threat to public health and would authorize physical therapists to engage in acts that are outside the scope of practice for physical therapy that has been adopted by the Virginia General Assembly. 
  
I encourage you not to draft regulations because: 
 

  1. 54 hours of training is a completely inadequate level of training to qualify a physical therapist to safely insert acupuncture needles into patients and the regulations therefore are a threat to public safety;
  2. Dry needling constitutes the practice of acupuncture under Virginia law and there is no basis for allowing physical therapists to practice acupuncture with only a small percentage of the training required for acupuncturists and even medical doctors; 
  3. The dry needling rules are illegal, because they would allow physical therapists to engage in acts that are outside the legal scope of practice for physical therapy as defined by Virginia's General Assembly. There is nothing to support that the General Assembly ever intended to allow physical therapists to insert acupuncture needles into patients absent the same level of training required for licensed acupuncturists. 
  4. I strongly urge the requirement of acupuncture licensure for dry needling. Anything else is a misrepresentation of acupuncture and its modalities.

  
Thank you.
  
Sincerely, 

Cindy M Rhoday, AP


 

CommentID: 45288