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<strong>CMS</strong>-1403-FC<br />

patients. However, we plan to study and monitor DNP<br />

programs as they continue to evolve. If we discover that<br />

APNs enrolling in Medicare as graduates of DNP programs are<br />

not sufficiently qualified to furnish services to Medicare<br />

patients, we will reconsider our education requirements and<br />

take appropriate action.<br />

Comment: One commenter suggested revising the<br />

definition of a physician under the NP and CNS<br />

qualifications.<br />

Response: We believe this comment is outside the<br />

scope of this regulation, and therefore, we are not<br />

addressing this comment at this time.<br />

After reviewing the public comments, we are finalizing<br />

our proposals to amend the NP qualifications to incorporate<br />

the technical correction and to include the DNP degree<br />

under the educational qualification requirements for NPs<br />

and CNSs. However, we will continue to study and monitor<br />

DNP nursing programs, State legislative action, and the<br />

State boards of nursing as the DNP degree evolves.<br />

R. Portable X-Ray Issue<br />

The Conditions for Coverage (CfC) for Portable X-Ray<br />

services are authorized by section 1861(s)(3) of the Act<br />

and were adopted in January 1969. These requirements have,<br />

716

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