The AMA Joint submission highlights the real risk that the new scheme will erode the medical board’s ability to protect patient safety, and addresses four major concerns with the proposed registration arrangements:
The AMA has lobbied very strongly to secure a number of important changes to the scheme. The AMA's concerns about elements of the scheme that have been addressed by government and incorporated into the scheme are set out below:
The AMA has also made a Joint Submission on the exposure draft to the Project Implementation Team.
This submission notes that the Ministerial Council has forfeited the power to approve accreditation standards, but has retained a power to give the national board policy directions on accreditation standards. The submission calls for additional provisions to be added to the legislation that:
The submission also outlines a range of other important functional operational and administrative issues with the scheme that need to be clarified and reflected, where necessary, in revisions to the Bill.
The AMA Submission to the Senate Community Affairs Committee inquiry into the national registration and accreditation scheme encapuslates the major concerns set out in our previous submissions to government on the proposed scheme. The submission also sets out the AMA's proposal for a simple, cost effective alternative arrangement for a national system for medical practitioner registration that:
Message to members and non members on the proposed National Registration and Accreditation scheme
The AMA Joint Submission on the proposed arrangements for specialists highlights concerns that the proposed scheme will be a vehicle for governments to respond to workforce challenges by:
Further, there is no guarantee the proposed scheme will incorporate the the role of medical colleges in:
The AMA Joint Submission on the proposed accreditation arrangements highlights concerns that, under the proposed scheme, accreditation of medical education and training will not be independent of government, providing the potential to lower standards and therefore compromise patient safety and health outcomes.
The AMA Joint Submission highlights concerns that the proposed arrangements will impose additional requirements on registrants to provide information, including workforce data, to the relevant board as a condition of registration, and extend existing arrangements for information sharing about registered medical practitioners between various government agencies.
The overarching concern of the AMA and the co-signatories is that the proposed complaints handling process, where the ‘front end’ is run through national administration in accordance with a national law and the ‘back end’ is dealt with through state-based tribunals in accordance with varying state based laws, is contrary to the objective of having a national scheme. In this context, as individual cases are considered and handled by different entities within the scheme operating variously under commonwealth and state laws, there is a risk that decisions on their outcomes will be unduly delayed because of lack of clarity about the application of the appropriate laws.
The assessment of the “best” system must consider the confidence that patients and registrants will have in an externally imposed system.
The AMA Joint submission highlights the real risk that the new scheme will erode the medical board’s ability to protect patient safety, and addresses four major concerns with the proposed registration arrangements:
The AMA Joint Submission identifies seven major areas of concern about the overarching structure of the IGA:
The purpose of this document is to inform all doctors about the scheme agreed by the Council of Australian Governments (COAG) on 26 March 2008.
In order to achieve workforce mobility, reduction of red tape and improved safety and quality the AMA proposes a structure for national recognition of registration of health professions which includes: a Health Registration Authority to advise on processes for recording registration and for maintenance of publicly accessible registers; a Medical National Professional Panel to advise Health Ministers and maintain registration standards; and a Medical State Committee to determine eligibility and category of registration. The AMA believes that the currently proposed COAG model will undermine rather than enhance the high quality standard off healthcare services available in Australia.
AMA Position Statement: General Practice Standards - 2005
AMA Position Statement: Accreditation - 2005