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101 articles published · Page 1 of 7

March 10, 2026FDAhigh impact AI CURATED

FDA Clarifies Direct-to-Consumer Telehealth Pharmaceutical Advertising Requirements

The FDA has provided guidance clarifying how existing pharmaceutical advertising regulations apply to direct-to-consumer (DTC) promotions conducted through telehealth platforms. This guidance emphasizes the need for truthful, balanced, and non-misleading information, particularly regarding prescription drug indications, risks, and benefits, regardless of the promotional channel.

Source: U.S. Food and Drug Administration (FDA)6 views
March 10, 2026Enforcementhigh impact AI CURATED

Utah Medical Board Scrutiny Intensifies for Telehealth and Medspa Operations: Key Disciplinary Trends

The Utah Division of Occupational and Professional Licensing (DOPL) continues to actively monitor and enforce professional practice standards, with a growing focus on telehealth and medspa operations. Recent disciplinary actions highlight concerns regarding scope of practice, appropriate supervision, patient safety, and adherence to established practice guidelines, particularly in aesthetic and remote care settings. Healthcare businesses operating in Utah, especially those leveraging telehealth or offering medspa services, must ensure strict compliance with state regulations to mitigate enforcement risks.

Source: Utah Division of Occupational and Professional Licensing (DOPL)7 views
UT
March 10, 2026Telehealthhigh impact AI CURATED

DEA Registration Requirements for Telehealth Prescribing Across State Lines: Navigating Post-PHE Regulations

This article details the Drug Enforcement Administration (DEA) registration requirements for telehealth providers prescribing controlled substances, particularly when crossing state lines. It focuses on the evolving regulatory landscape following the COVID-19 Public Health Emergency (PHE) and the implications of the Ryan Haight Act's 'telemedicine exception.' Providers must understand the current temporary rules and proposed permanent changes to maintain compliance.

Source: DEA Diversion Control Division5 views
all 50+DC
March 10, 2026Telehealthhigh impact AI CURATED

Navigating Telehealth and Scope of Practice in Dental Sleep Medicine

The integration of telehealth into dental sleep medicine presents both opportunities and regulatory complexities, particularly concerning scope of practice, patient evaluation, and treatment delivery. Healthcare providers must understand state-specific dental board regulations and professional guidelines to ensure compliant and ethical care for sleep-related breathing disorders. This article explores key considerations for dental practices leveraging telehealth for sleep medicine services.

Source: American Dental Association6 views
ALAKAZARCA+46 more
March 10, 2026CPOMhigh impact AI CURATED

Understanding North Dakota's Corporate Practice of Medicine Doctrine for Telehealth and Medspas

North Dakota maintains a Corporate Practice of Medicine (CPOM) doctrine, generally prohibiting corporations from employing physicians or controlling medical decisions. While not as strictly enforced as in some states, this framework significantly impacts business structures for telehealth providers and medspas, requiring careful consideration of management services organizations (MSOs) and professional corporations (PCs).

Source: North Dakota Board of Medical Examiners7 views
ND
March 10, 2026FDAcritical impact AI CURATED

FDA Intensifies Scrutiny of Marketing Claims for Telehealth Weight Loss and Hormone Therapy Programs

The FDA is increasing its enforcement actions against companies making unsubstantiated or misleading marketing claims for telehealth-provided weight loss and hormone therapy products and services. This heightened scrutiny targets products marketed as drugs or medical devices without proper FDA approval or clearance, or those making unproven efficacy claims.

Source: U.S. Food and Drug Administration6 views
March 10, 2026DEAcritical impact AI CURATED

DEA Telehealth Prescribing of Controlled Substances: Navigating the Ryan Haight Act and Post-PHE Waivers

This article clarifies the Drug Enforcement Administration (DEA) requirements for prescribing Schedule II-V controlled substances via telehealth, focusing on the Ryan Haight Online Pharmacy Consumer Protection Act and the evolving landscape following the end of the COVID-19 Public Health Emergency waivers. It details the current exceptions and the DEA's proposed rules, emphasizing the necessity of an in-person medical evaluation for most controlled substance prescriptions.

Source: U.S. Drug Enforcement Administration (DEA)6 views
March 10, 2026Telehealthhigh impact AI CURATED

Navigating State-Specific Telehealth Prescribing Requirements for GLP-1 Agonists and Other Weight Management Medications

Telehealth prescribing of weight management medications, including GLP-1 agonists like semaglutide and tirzepatide, is subject to varying state-specific regulations concerning the establishment of a valid patient-provider relationship and the necessity of an in-person examination. Providers must understand these nuanced requirements to ensure compliance and avoid regulatory scrutiny, particularly regarding controlled substance status and the prescribing of compounded versions.

Source: Texas Medical Board7 views
ALAKAZARCA+46 more
March 10, 2026CPOMhigh impact AI CURATED

Wyoming's Corporate Practice of Medicine (CPOM) Doctrine: Implications for Telehealth and Medspa Operations

Wyoming maintains a Corporate Practice of Medicine (CPOM) doctrine, generally prohibiting corporations from employing physicians or controlling medical practice. However, enforcement in Wyoming is considered flexible, allowing for certain management service organization (MSO) structures to support telehealth and medspa businesses, provided professional autonomy is preserved.

Source: Wyoming Legislature9 views
WY
March 10, 2026DOJcritical impact AI CURATED

DOJ Intensifies Enforcement Against Telehealth Controlled Substance Prescribing Violations

The Department of Justice (DOJ) continues to aggressively pursue telehealth companies and practitioners involved in illegal prescribing and distribution of controlled substances, particularly opioids and stimulants. Recent enforcement actions highlight the DOJ's focus on fraudulent schemes, lack of legitimate medical purpose, and violations of the Ryan Haight Act and DEA regulations. This scrutiny necessitates robust compliance frameworks for all healthcare businesses operating in the telehealth space.

Source: Department of Justice7 views
ALAKAZARCA+46 more
March 10, 2026DEAcritical impact AI CURATED

DEA Telemedicine Special Registration: Navigating Controlled Substance Prescribing for Multi-State Platforms

The Drug Enforcement Administration (DEA) has proposed rules for a special registration process that would permit practitioners to prescribe controlled substances via telemedicine without an in-person medical evaluation, subject to specific conditions. This framework aims to establish a permanent regulatory pathway following the COVID-19 public health emergency waivers, significantly impacting multi-state telehealth operations.

Source: Drug Enforcement Administration (DEA)6 views
March 10, 2026State Boardhigh impact AI CURATED

Interstate Chiropractic Telehealth: Navigating Licensing and Practice Limitations

Chiropractic telehealth, while expanding, faces significant limitations due to state-specific licensing requirements and varying scopes of practice, particularly regarding physical examination and diagnosis. Practitioners must ensure they are fully licensed in both their originating state and the patient's location, and understand that many states restrict chiropractic telehealth to established patients or specific consultation types.

Source: Texas Board of Chiropractic Examiners6 views
ALAKAZARCA+46 more
March 10, 2026Telehealthhigh impact AI CURATED

Montana Telehealth Prescribing: Establishing a Valid Provider-Patient Relationship

Montana law outlines specific requirements for establishing a valid provider-patient relationship via telehealth, which is a prerequisite for prescribing medications. This includes initial in-person visits for certain controlled substances and clear standards for remote evaluations to ensure appropriate care and prevent fraud.

Source: Montana State Legislature (Montana Code Annotated)6 views
MT
March 10, 2026DEAcritical impact AI CURATED

DEA Heightens Scrutiny on Online Prescribing of Controlled Substances, Including GLP-1s

The Drug Enforcement Administration (DEA) is intensifying its focus on the online prescribing of controlled substances, a trend accelerated by the COVID-19 public health emergency flexibilities. This includes a particular emphasis on medications like GLP-1 agonists, which, while not controlled substances themselves, are often prescribed in conjunction with or in a manner that draws DEA attention to broader telehealth prescribing practices.

Source: Drug Enforcement Administration (DEA)6 views
March 10, 2026DOJcritical impact AI CURATED

DOJ Intensifies Anti-Kickback Statute Enforcement on Telehealth Referral and Marketing Arrangements

The Department of Justice (DOJ) is actively scrutinizing telehealth companies and their marketing partners for potential violations of the Anti-Kickback Statute (AKS), particularly concerning referral-generating arrangements. Recent enforcement actions highlight the DOJ's focus on schemes where remuneration, disguised as marketing fees or other payments, induces referrals for federally funded healthcare services. Healthcare businesses engaged in telehealth must ensure their marketing and referral agreements strictly comply with AKS to avoid severe civil and criminal penalties.

Source: Department of Justice6 views
ALAKAZARCA+46 more

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