New ACR Guidelines on Direct Supervision for Contrast Studies (Updated April 2024)

New ACR Guidelines on Direct Supervision for Contrast Studies (Updated April 2024)

New ACR Guidelines on Direct Supervision for Contrast Studies (Updated April 2024)

The American College of Radiology (ACR) has revised its supervision requirements for the administration of contrast media in CT and MRI procedures. The updated guidelines, effective from April 2024, stipulate that direct supervision must be provided by radiologists or other qualified healthcare providers, including non-radiologist physicians, advanced practice providers, and registered nurses who follow specific treatment algorithms.

Tether Supervision

Nov 27, 2024

Legal & Regulatory

Legal & Regulatory

Legal & Regulatory

Article discussing the American College of Radiology (ACR) updated guidelines for direct supervision of contrast administration in CT and MRI, including qualified supervisors and the extension of remote supervision through December 31, 2024.
Article discussing the American College of Radiology (ACR) updated guidelines for direct supervision of contrast administration in CT and MRI, including qualified supervisors and the extension of remote supervision through December 31, 2024.
Article discussing the American College of Radiology (ACR) updated guidelines for direct supervision of contrast administration in CT and MRI, including qualified supervisors and the extension of remote supervision through December 31, 2024.

As healthcare continues to adapt to the evolving landscape post-Public Health Emergency, the American College of Radiology (ACR) has updated its guidelines concerning the direct supervision of contrast administration for CT and MRI procedures. The update underscores the need for rigorous standards to enhance patient safety and ensure high-quality care.

Key Updates to Supervision Requirements

The ACR now explicitly recommends that imaging centers follow the CT and MRI accreditation requirements for on-site supervision of contrast administration and management. This update reflects the organization's commitment to maintaining strict supervision standards which are pivotal in preventing contrast-related complications.

Detailed Supervision Protocols

According to the newly revised guidelines:

  • Qualified Supervisors: The direct supervision of intravenous contrast material administration should be undertaken by a radiologist (MD/DO). Alternatively, the following professionals may provide direct supervision under the general oversight of a radiologist:

    • Non-radiologist physicians (MD/DO)

    • Advanced practice providers (Nurse Practitioners, Physician Assistants)

    • Registered nurses, provided they follow a symptom- and sign-driven treatment algorithm.

It is important to note that this level of supervision is mandatory for the administration of intravenous contrast media and is separate from the supervision required for the radiologic examination or procedures themselves.

Flexibility in Transition

Recognizing the operational challenges that may arise with these stringent requirements, the ACR has allowed for some flexibility. Remote supervision for contrast administration will continue to be acceptable through December 31, 2024. This temporary provision is designed to help sites adjust to the new standards without disrupting service delivery. The ACR continues to urge CMS to extend remote supervision permanently and industry rumors suggest details are being finalized to implement these updates.

Future Directions

The ACR has also indicated that further recommendations for safe practices in contrast management are forthcoming. These updates will likely continue to shape the protocols and safety measures surrounding contrast media administration in medical imaging.

Implications for Imaging Centers

Imaging centers must take immediate steps to align their operations with these guidelines. This includes reviewing the qualifications of staff involved in the administration of contrast media, updating training protocols, and ensuring compliance with ACR accreditation requirements.

For further information on the accreditation requirements and detailed guidelines, imaging centers are encouraged to visit the ACR's accreditation support pages for CT and MRI.

These updated guidelines reflect the ACR's proactive approach to incorporating feedback from the field and adjusting policies in alignment with both safety outcomes and technological advancements. As always, the emphasis is on ensuring that patient care remains safe, effective, and compliant with the highest standards of medical practice.

CT Accreditation Information

MRI Revised Accreditation Information

By staying informed and prepared, healthcare providers can ensure that their practices not only comply with current regulations but are also poised to adapt to future changes in the field.

How Contrast Coverage Can Help

Tether Supervision is uniquely positioned to assist imaging centers in adapting to and excelling under these new ACR guidelines. With our specialized expertise in both in-person and virtual contrast supervision, we offer tailored solutions that ensure compliance with ACR's stringent supervision requirements.

Our services are designed to meet the on-going guidelines, but to also enhance operational efficiency and patient safety. By partnering with CCT, imaging centers can leverage our comprehensive support in training, technology implementation, and regulatory compliance, allowing them to focus more on patient care while we handle the complexities of contrast media administration.

Contact us today to see how we can make a difference for your center.

Take the uncertainty out of contrast supervision.

We’ll support your team every step of the way, from onboarding and training to live supervision and ongoing quality improvement.

Take the uncertainty out of contrast supervision.

We’ll support your team every step of the way, from onboarding and training to live supervision and ongoing quality improvement.

Take the uncertainty out of contrast supervision.

We’ll support your team every step of the way, from onboarding and training to live supervision and ongoing quality improvement.

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Tether is the leading platform for virtual contrast supervision, built for speed, safety, and seamless imaging operations.

Summary of the article: California's AB 460 signed into law, allowing virtual direct supervision for contrast-enhanced imaging (CT/X-ray) starting January 1, 2026, aligning state law with CMS rules and improving access and operational efficiency while maintaining patient safety through required onsite licensed personnel and safety protocols.
Summary of the article: California's AB 460 signed into law, allowing virtual direct supervision for contrast-enhanced imaging (CT/X-ray) starting January 1, 2026, aligning state law with CMS rules and improving access and operational efficiency while maintaining patient safety through required onsite licensed personnel and safety protocols.
Summary of the article: California's AB 460 signed into law, allowing virtual direct supervision for contrast-enhanced imaging (CT/X-ray) starting January 1, 2026, aligning state law with CMS rules and improving access and operational efficiency while maintaining patient safety through required onsite licensed personnel and safety protocols.

Virtual Supervision Officially Recognized in California — AB 460 Signed Into Law

October 7, 2025, marks a milestone for California radiology.

Governor Gavin Newsom has officially signed Assembly Bill 460 (AB 460) into law, modernizing the state’s definition of “direct supervision” for contrast-enhanced imaging procedures.

Beginning January 1, 2026, radiologists in California will be able to meet supervision requirements either in person or remotely via real-time audio and video, with full access to imaging records and the ability to direct licensed onsite personnel.

This marks the first time California has formally recognized virtual supervision as an equivalent, compliant form of direct oversight for contrast-enhanced CT and similar procedures — aligning state policy with existing Centers for Medicare & Medicaid Services (CMS) rules that have been in place since 2020.

What AB 460 Changes

For decades, California required supervising physicians to be physically present within the facility whenever contrast was administered by a technologist — a rule that limited flexibility and often constrained access to care, particularly in rural or multi-site imaging settings.

AB 460 updates this outdated framework by allowing:

  • Virtual direct supervision: Radiologists may now provide real-time oversight via secure audio/video communication (excluding audio-only).

  • Immediate availability: The supervising physician must remain available to intervene or direct onsite personnel if needed.

  • Access to imaging records: Physicians must have immediate access to the relevant imaging information to inform their supervision.

Key compliance detail: When supervision is provided remotely, facilities must have:

  • Written safety protocols for contrast administration and emergencies, and

  • Onsite licensed personnel — a physician, registered nurse (RN), nurse practitioner (NP), clinical nurse specialist (CNS), or physician assistant (PA) — available to respond at the physician’s direction.

This onsite requirement must be reflected in both protocol documentation and staffing models for compliance.

Why AB 460 Matters for Imaging Centers

AB 460 represents a transformative update for outpatient imaging and radiology operations.

1. Expands Access to Care: For rural and community-based imaging centers, the ability to leverage virtual supervision ensures patients can access contrast-enhanced exams without delays or rescheduling due to radiologist availability.

2. Strengthens Patient Safety: By requiring trained onsite clinicians and standardized emergency protocols, the new law maintains — and in many cases, enhances — safety standards while enabling modern, technology-driven workflows.

3. Aligns with CMS Policy: CMS has recognized virtual direct supervision for diagnostic testing and incident-to services since 2020. AB 460 finally brings California’s Health & Safety Code into alignment with these federal standards, eliminating the compliance tension between state and federal definitions.

4. Reduces Operational Bottlenecks: Facilities can now scale coverage across multiple sites more efficiently, improving scheduling flexibility and optimizing radiologist workloads — without sacrificing oversight or compliance.

Tether Supervision’s Role in the Legislative Process

Tether Supervision closely tracked and contributed to AB 460 from its early drafts through final passage.

Our policy and operations team submitted written feedback and recommendations that helped refine the bill’s language — including clarifying the scope of virtual supervision and the requirements for onsite clinical responders.

We also worked alongside imaging leaders and advocacy groups to ensure the legislation supports:

  • Equitable access for small, rural, and independent imaging centers

  • Clarity for radiologists and administrators designing compliant workflows

  • Consistency with federal CMS and ACR standards

AB 460’s final language reflects a balance between safety, access, and operational practicality — the same balance that underpins Tether’s supervision model.

Preparing for Implementation: What Centers Should Do Now

With the law set to take effect on January 1, 2026, imaging centers should begin preparing their infrastructure, documentation, and staff training now.

Tether recommends:

  • Reviewing current supervision protocols to identify areas that require revision for compliance under AB 460.

  • Updating written procedures to incorporate virtual oversight workflows, including contrast reaction escalation and documentation standards.

  • Verifying onsite coverage — ensure licensed personnel are consistently available to respond during remote supervision.

  • Implementing HIPAA-compliant AV technology capable of supporting real-time communication and record access.

  • Training technologists and onsite staff on the new expectations for communication and escalation under virtual oversight.

Tether provides direct guidance and implementation support to imaging centers navigating this process, ensuring a smooth transition that’s fully compliant by 2026.

A Win for Radiology — and for Patients

AB 460 is more than a policy win. It’s a signal that California is ready to modernize supervision and embrace the proven safety and efficiency of virtual radiology oversight.

  • For imaging centers, it means fewer delays, more flexibility, and broader patient access.

  • For radiologists, it means a sustainable, scalable model for coverage.

  • For patients, it means timely, high-quality care delivered where and when it’s needed most.

At Tether Supervision, we’re proud to have supported this effort and remain committed to helping imaging centers translate legislation into safe, compliant, real-world practice.

We’re here to help your center prepare for implementation in 2026 — and lead confidently through the transition.

Alt text describing the permanent adoption of virtual direct supervision by CMS, effective January 1, 2026, as mandated by the Calendar Year 2026 Medicare Physician Fee Schedule Final Rule.
Alt text describing the permanent adoption of virtual direct supervision by CMS, effective January 1, 2026, as mandated by the Calendar Year 2026 Medicare Physician Fee Schedule Final Rule.
Alt text describing the permanent adoption of virtual direct supervision by CMS, effective January 1, 2026, as mandated by the Calendar Year 2026 Medicare Physician Fee Schedule Final Rule.

CMS Makes Virtual Direct Supervision Permanent Effective January 1, 2026

‍On October 31, 2025, the Centers for Medicare & Medicaid Services (CMS) released the Calendar Year 2026 Medicare Physician Fee Schedule (PFS) Final Rule, establishing a landmark policy change for healthcare delivery.

Beginning January 1, 2026, supervising physicians and non-physician practitioners (NPPs) may permanently meet the “presence” and “immediate availability” requirements of direct supervision through real-time, two-way audio and video communication.

This update transitions a temporary COVID-era flexibility into a permanent feature of Medicare policy—reflecting CMS’s recognition that modern telecommunication tools can uphold safety, accessibility, and quality in clinical supervision.

Policy Overview

The 2026 Final Rule amends the federal definition of direct supervision to allow supervising clinicians to be virtually “present” using interactive audiovisual technology. This rule primarily applies to diagnostic tests governed by 42 CFR § 410.32, many of which previously required physical on-site supervision. Additionall,y the rule applies to incident-to services (§410.26), pulmonary rehab (§410.47), cardiac and intensive cardiac rehab (§410.49), as well as RHC and FQHC services requiring direct supervision (§405.2413).

Key Provisions


  • Technology Standard: Direct supervision may now be satisfied through secure, real-time audio-video communication. Audio-only methods do not qualify.

  • Applicable Settings: This flexibility applies to office-based practices and Independent Diagnostic Testing Facilities (IDTFs). Within IDTFs, only physicians with demonstrated proficiency in performing and interpreting the supervised test may provide remote oversight.

  • Safety-Based Exclusions: Procedures with 010 (minor, 10-day global) or 090 (major, 90-day global) surgical indicators remain excluded. CMS emphasized the need for on-site physician availability for services with inherent procedural or postoperative risk.

This decision balances operational efficiency with patient safety, ensuring that virtual supervision enhances—but does not replace—appropriate in-person clinical presence.

Alignment with Future Outpatient Rules

CMS also indicated that similar provisions are expected within the forthcoming Hospital Outpatient Prospective Payment System (OPPS) Final Rule, which is pending Office of Management and Budget (OMB) review.

If finalized, these updates under 42 CFR §§ 410.27 and 410.28 would extend virtual supervision flexibility to hospital outpatient departments, harmonizing standards across outpatient and ambulatory care environments.

Implications for Healthcare Providers

The permanent adoption of virtual direct supervision carries significant implications for access, compliance, and workforce management.

1. Expanding Access to Care: Facilities in rural or underserved regions can now schedule diagnostic procedures without requiring a supervising physician to be physically on-site, reducing delays and improving patient throughput.
2. Enhancing Workforce Efficiency: Supervising physicians may oversee multiple locations remotely, optimizing specialist time, reducing non-clinical travel, and improving operational scalability.
3. Increasing Scheduling Flexibility: Centers can extend service hours—offering early, late, or weekend imaging—without compromising compliance, supervision, or patient safety.
4. Supporting Regulatory Consistency: This policy aligns Medicare supervision standards with state-level reforms such as California’s AB 460, which similarly authorizes real-time remote supervision for contrast-enhanced imaging beginning January 1, 2026.

Implementing CMS 2026 Virtual Supervision: A Compliance Framework

To ensure a seamless transition to virtual direct supervision under the new federal standard, Tether Supervision recommends the following best practices for imaging and diagnostic providers:

1. Technology Validation — Implement HIPAA-compliant audiovisual platforms that ensure:

  • Real-time, uninterrupted two-way communication

  • Latency monitoring and failover mechanisms

  • Automated session logging for audit and verification

2. Policy and Protocol Revisions — Update institutional supervision manuals to clearly define:

  • Virtual pre-test connectivity checks

  • Supervisor engagement documentation standards

  • Emergency escalation pathways (e.g., crash cart access and rapid response procedures)

3. State and Professional Alignment — Confirm that supervision practices remain consistent with:

  • State-specific licensing and scope-of-practice laws

  • ACR and ASRT guidance on contrast administration, injection safety, and technologist scope

  • On-site clinical response requirements for moderate- or high-risk procedures

4. Documentation Rigor — Maintain contemporaneous records detailing:

  • Supervising clinician credentials and participation times

  • Any technical interruptions or corrective measures

  • Patient consent and acknowledgment of virtual oversight

Tether’s documentation framework automates these records to ensure regulatory defensibility and operational transparency.

Quality Oversight and Future Expectations

CMS has indicated it will monitor outcomes related to virtual direct supervision through ongoing quality reporting, utilization reviews, and access metrics. Providers should proactively collect and analyze data on:

  • Virtual vs. in-person supervision ratios

  • Adverse event frequency and response times

  • Patient and technologist satisfaction measures

These metrics will help both CMS and healthcare organizations evaluate the long-term efficacy and safety of tele-supervision frameworks.

Conclusion

The CY 2026 Medicare Physician Fee Schedule Final Rule represents a historic advancement in healthcare regulation, embedding virtual direct supervision into federal policy as a permanent, compliant, and scalable model of care.

For imaging centers, diagnostic testing facilities, and physician practices, this change unlocks new opportunities for access, flexibility, and modernization.

At Tether Supervision, we remain committed to helping organizations interpret these policy updates, design compliant operational protocols, and implement technology that meets both CMS and state-level supervision standards.

The future of clinical oversight is connected, compliant, and virtual—and it begins January 1, 2026.

Contact Tether Supervision to prepare your facility for the CMS 2026 implementation and optimize your supervision strategy for the year ahead.‍

A summary of the CMS CY 2026 Medicare Physician Fee Schedule Proposed Rule, detailing the permanent adoption of virtual direct supervision and the expansion of telehealth services.
A summary of the CMS CY 2026 Medicare Physician Fee Schedule Proposed Rule, detailing the permanent adoption of virtual direct supervision and the expansion of telehealth services.
A summary of the CMS CY 2026 Medicare Physician Fee Schedule Proposed Rule, detailing the permanent adoption of virtual direct supervision and the expansion of telehealth services.

CY 2026 CMS Medicare Rule Proposes Permanent Virtual Supervision, Telehealth Expansion

‍The Centers for Medicare & Medicaid Services (CMS) has released its CY 2026 Medicare Physician Fee Schedule (PFS) Proposed Rule, and with it comes a major shift in how supervision and telehealth services are regulated and reimbursed.

The proposal introduces long-awaited clarity around virtual direct supervision, builds on CMS’s evolving telehealth policies, and signals a permanent departure from some of the pandemic-era limitations. These changes could significantly impact radiology, diagnostic testing, outpatient imaging, and incident-to services across the country, especially in rural and underserved areas.

In this article, we’ll break down the proposed changes, what they mean for physician practices, and how healthcare organizations can prepare.

1. CMS Proposes Permanent Virtual Direct Supervision for Key Services

CMS is proposing to permanently adopt a definition of "direct supervision" that allows for real-time audio/visual telecommunications (excluding audio-only) for certain services. This rule would apply across:

  • Incident-to services under § 410.26

  • Diagnostic tests under § 410.32

  • Pulmonary rehabilitation under § 410.47

  • Cardiac and intensive cardiac rehabilitation under § 410.49

This change would codify the flexibility introduced during the COVID-19 Public Health Emergency and could transform how supervising physicians manage multi-site service delivery, especially for services involving contrast-enhanced imaging, diagnostic testing, and clinical staff workflows.

Excluded for Now: Services with a global surgical indicator of 010 or 090 would not be eligible for virtual direct supervision. CMS is also seeking feedback on whether 000 global indicator procedures should be excluded due to patient safety concerns.

2. Streamlined Telehealth Services Review Process

CMS is also proposing to simplify the process for adding services to the Medicare Telehealth Services List by:

  • Removing the distinction between provisional and permanent services

  • Focusing reviews solely on whether the service can be safely delivered using interactive two-way audio-video telecommunications

This could accelerate access to telehealth-reimbursable services and make it easier for emerging clinical services, including those in imaging, oncology, or chronic care management, to be adopted under Medicare.

3. Removal of Frequency Limitations for Inpatient and Critical Care Telehealth

In another move that aligns with long-standing provider feedback, CMS is proposing to permanently remove telehealth frequency limitations for:

  • Subsequent inpatient visits

  • Subsequent nursing facility visits

  • Critical care consultations

This would give physicians and supervising practitioners more discretion to determine the appropriate cadence of virtual check-ins based on patient needs, not outdated frequency caps.

4. Implications for Radiology and Outpatient Imaging

For radiology groups, outpatient imaging centers, and hospital-based practices, these changes carry important implications:

  • Virtual contrast supervision workflows, which rely on direct supervision for technologists administering contrast, could be permanently validated at the federal level under § 410.32

  • Incident-to protocols that require on-site supervision (e.g., nurse-administered injections, diagnostic studies) could now permanently be supported via HIPAA-compliant video

  • Scheduling flexibility would improve, as supervising physicians could permanently oversee services remotely without delaying care due to location constraints

If finalized, these rules would also provide a permanent regulatory foundation for platforms like Tether Supervision, which enable secure, compliant virtual oversight across multiple care sites.

5. Key Takeaways and Next Steps

Healthcare organizations should begin preparing for virtual supervision now if they haven't yet:

  • Audit your supervision policies to identify services that could transition to virtual oversight

  • Train staff on what virtual direct supervision entails, and ensure AV systems meet CMS requirements

  • Identify your needs and consider whether choosing a virtual supervision provider is right for your organization

  • Comment on the rule: CMS is actively soliciting feedback, particularly around services with a 000 global indicator. This is an opportunity to shape federal policy to reflect operational realities

Conclusion

The CY 2026 Medicare Physician Fee Schedule Proposed Rule marks a major milestone in the evolution of virtual supervision and telehealth policy. By aligning supervision rules with technology-driven workflows and expanding telehealth access, CMS is moving toward a model that reflects the realities of modern care delivery.

Whether you’re a radiology group, an outpatient imaging center, or a hospital network managing contrast-enhanced exams and incident-to services, these proposals offer new flexibility -- and a chance to rethink how your team delivers safe, scalable, and compliant care.

You can read the full 2026 Medicare Physician Fee Schedule (PFS) Proposed Rule summary here.