Statement of Scope
DEPARTMENT OF HEALTH SERVICES
Relating to
:
|
Emergency
medical services
(EMS)
personnel titles
|
Type of Statement of Scope:
Original
1. Finding/nature of emergency (Emergency Rule only):
Not Applicable.
2
.
Detailed description of the objective of the
proposed
rule
:
The
objective of this
rulemaking
is to change the titles of EMS
personnel
to
be the same as
national
standards
.
3
.
Description of the existing policies relevant to the rule, new policies proposed to be included in the rule, and an analysis of policy alternatives
:
Chapter
DHS 110
establish
es
standards for
certifying and licensing EMS ambulance service providers and training providers, and certifying, licensing, and credentialing EMS personnel at the first responder and emergency medical technician levels.
T
he national EMS Scope of Practice Model, on which the Wisconsin EMS program and the EMS program of other states are based, and the National Registry of Emergency Medical Technicians (NREMT) updated EMS personnel titles as follows:
Former EMS Titles
(EMS Titles Currently used in Wisconsin)
|
Updated National EMS Titles
|
First Responder
|
Emergency Medical Responder
|
EMT Basic
|
Emergency Medical Technician
|
EMT Intermediate Technician
|
Advanced Emergency Medical Technician
|
For consistency with the national EMS Scope of Practice Model and NREMT both of which promote reciprocity, including
for
national certification
and
during times of mutual aid, the department proposes to revise the EMS personnel titles used in ch.
DHS 110
to be the same as
those used by the national EMS Scope of Practice Model and NREMT. The department will also pursue remedial legislation to change the titles in ch.
256
, Stats. No other changes to ch.
DHS 110
are being proposed.
There are no reasonable alternatives to the rulemaking. To do nothing could lead to confusion in the general public and EMS community and issues in national certification for Wisconsin EMS personnel.
4
.
Detailed explanation of statutory authority for the rule
(including
the
statutory citation and language):
The department may promulgate rules necessary for administration of this section.
Section
227.11 (2) (a)
,
Stats.,
reads:
R
ule-making authority is expressly conferred on an agency as follows:
(a)
Each agency may promulgate rules interpreting the provisions of any statute enforced or administered by the agency, if the agency considers it necessary to effectuate the purpose of the statute, but a rule is not valid if the rule exceeds the bounds of correct interpretation. All of the following apply to the promulgation of a rule interpreting the provisions of a statute enforced or administered by an agency:
1.
A statutory or nonstatutory provision containing a statement or declaration of legislative intent, purpose, findings, or policy does not confer rule-making authority on the agency or augment the agency's rule-making authority beyond the rule-making authority that is explicitly conferred on the agency by the legislature.
2.
A statutory provision describing the agency's general powers or duties does not confer rule-making authority on the agency or augment the agency's rule-making authority beyond the rule-making authority that is explicitly conferred on the agency by the legislature.
3.
A statutory provision containing a specific standard, requirement, or threshold does not confer on the agency the authority to promulgate, enforce, or administer a rule that contains a standard, requirement, or threshold that is more restrictive than the standard, requirement, or threshold contained in the statutory provision.
5
.
Estimate of amount of time that state employees will spend developing the rule and of other resources necessary to develop the rule
:
The department estimates that it will take approximately 500 hours to deve
lop the proposed rule changes.
The
EMS
Advisory Board and other EMS stakeholders
may also
provide time and resources
to
this process.
6
.
List with description of all entities that
may
be affected by the proposed rule
:
A
ll levels o
f
EMS personnel, counties and municipalities, EMS ambulance service providers, and EMS training providers
.
7
.
Summary and preliminary comparison with any existing or proposed federal regulation that is intended to address the activities to be regulated by the proposed rule
:
There appears to be no existing or proposed federal regulation that addresses the activities to be regulated by the proposed rule.
8
. Anticipated economic impact of implementing the rule:
The proposed rule is anticipated to have
little to no economic impact if promulgated.
Contact Person:
Rosie Greer
608-266-1279