Telehealth compliance insights for providers practicing across state lines.
Two nationally known specialists asked the Third Circuit to let them consult with New Jersey patients by video on their home-state licenses. The court said no — and explained why the patient's location, not the doctor's, decides which license applies.
Read →Most providers fall into one of four categories when it comes to verifying patient location. Only one of them survives an audit.
Read →When an insurer audits a telehealth claim, they ask one question: can you prove the provider was licensed in the patient's state at the time of service? Here's what separates the providers who pass from those who don't.
Read →A straightforward walkthrough of what happens when TeleVerify runs a compliance check — from patient location verification to cryptographically signed audit packets.
Read →At scale, manual telehealth compliance tracking becomes a full-time role. Here's the math — and what automated, audit-ready compliance infrastructure looks like for multi-provider organizations.
Read →TeleVerify signs every compliance determination with Ed25519 cryptography. Here's what that means in plain language — and why it matters for audits, insurers, and your practice.
Read →The COVID-era waiver cycle, malpractice insurers, state privacy laws, and historic federal enforcement have permanently changed what cross-state telehealth practice requires.
Read →Interstate medical compacts let providers practice across state lines — but they don't work the way most people think. Here's what they cover, which states are members, and where the gaps are.
Read →If you're an LCSW seeing clients across state lines, one compact does most of the work for you — but only in the states where it applies. Here's how to know which states those are.
Read →Newer compacts like the Counseling Compact, ASWB Mobility Compact, and APRN Compact are still actively adding member states. Here's how to verify current status instead of relying on memory.
Read →Most telehealth workflows treat "the address on file" or "where the prescription was routed" as the location check. Neither answers the question a state board or the DEA is actually asking.
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