Ohio HB 479: Pushing for Updated Contrast Supervision Requirements and the Shift Toward Virtual Direct Supervision

Ohio HB 479: Pushing for Updated Contrast Supervision Requirements and the Shift Toward Virtual Direct Supervision

Ohio HB 479: Pushing for Updated Contrast Supervision Requirements and the Shift Toward Virtual Direct Supervision

HB 479 would modernize Ohio’s contrast administration law with new definitions, real-time availability rules, and on-site safety requirements.

Tether Supervision

Dec 7, 2025

Legal & Regulatory

Legal & Regulatory

Legal & Regulatory

Statement from the ACR Drugs and Contrast Media Committee detailing new guidelines for the supervision of contrast material administration, including remote supervision requirements and qualifications for supervisors.
Statement from the ACR Drugs and Contrast Media Committee detailing new guidelines for the supervision of contrast material administration, including remote supervision requirements and qualifications for supervisors.
Statement from the ACR Drugs and Contrast Media Committee detailing new guidelines for the supervision of contrast material administration, including remote supervision requirements and qualifications for supervisors.

Ohio’s proposed House Bill 479 represents one of the most significant state-level updates to contrast-administration supervision in recent years. The bill modernizes Ohio statute to match federal policy shifts from the American College of Radiology (ACR) and the Centers for Medicare and Medicaid Services (CMS), both of which now recognize that contrast-enhanced imaging can be safely overseen through virtual supervision when qualified personnel are on-site. HB 479 introduces this flexibility into state law while retaining strong patient-safety requirements.

What the Bill Would Change

HB 479 authorizes registered nurses, radiographers, radiation therapy technologists, and nuclear medicine technologists to administer contrast under either direct or general physician supervision. Under direct supervision, the physician must be physically present at the location, though not necessarily in the room. Under general supervision, the physician does not need to be on-site but must remain readily available for consultation while a trained on-site provider is present to manage any adverse reaction.

Although HB 479 uses the term general supervision, the statutory definition is narrower than the federal definition that CMS applies across diagnostic imaging. Under federal standards, general supervision permits the supervising physician to be available but not necessarily in real-time, and does not require immediate consultation during the procedure. By contrast, HB 479 requires the supervising physician to be readily available at the time the contrast is administered, and requires the imaging site to maintain a qualified on-site provider who can recognize and treat contrast reactions. This structure places HB 479 closer to the federal concept of virtual direct supervision in which the supervising physician must be immediately available through real-time audio-video communication.

The bill also updates the scope of practice for radiologist assistants by allowing them to administer contrast under remote supervision rather than requiring on-site radiologist presence for every case. This aligns with ACR’s 2024 policy update and reflects national staffing realities.

To ensure safety, the bill outlines clear qualifications for the on-site provider supporting contrast administration under general or remote supervision. These individuals must be trained to recognize and manage reactions, understand when medical intervention is required, and be able to consult with the supervising physician within an appropriate timeframe. Additional requirements, including authority to administer medications and Basic Life Support certification, apply when supervising technologists or radiologist assistants.

Representative Jean Schmidt emphasized in her sponsor testimony that the proposal ensures that Ohioans are able to get the images they need and continue to do so in a safe manner, particularly in rural areas where staffing shortages restrict access.

Supporting testimony from the Ohio Radiological Society and Cleveland Clinic highlighted that aligning Ohio law with ACR and CMS guidance will expand access to contrast-enhanced imaging, reduce bottlenecks caused by radiologist shortages, and maintain strong on-site clinical safeguards.

Professional organizations representing more than 10,000 Ohio technologists also voiced support. They noted that technologists already receive education in pharmacology, contrast reactions, and patient assessment, and can administer contrast safely within clearly defined supervisory structures.

Current Legislative Status

HB 479 was introduced on September 29, 2025, and formally referred to the House Health Committee on October 1, 2025. No additional actions have yet been reported. The Legislative Service Commission analysis and fiscal impact statement were completed in November, which typically signals readiness for committee hearings, amendments, and eventual committee vote.

At this stage, the bill remains pending in the House Health Committee, awaiting its next hearing. Based on its early bipartisan co-sponsorship, alignment with federal policy, and broad support from radiologists, technologists, major health systems, and professional associations, HB 479 is well-positioned for continued movement.

What It Means for Imaging Centers

If enacted, HB 479 would bring Ohio into alignment with national standards now adopted across CMS-regulated settings. For imaging centers, the bill could:

  • Expand scheduling capacity for contrast-enhanced CT and MRI.

  • Reduce dependency on continuous on-site physician presence.

  • Support rural and multi-site radiology operations that struggle with staffing.

  • Preserve high safety standards through required on-site qualified personnel and treatment-guideline adherence.

For platforms like Tether Supervision, which are built around structured, real-time, two-way availability and clinical-grade escalation workflows, the bill underscores a broader national transition toward modern supervision models that balance access, safety, and efficiency.

We Will Continue to Monitor Developments

Tether Supervision will track HB 479 through the committee process and provide timely updates as new hearings, amendments, or votes occur. For imaging centers and radiology groups evaluating operational planning for 2026, the bill’s progress is an important indicator of how Ohio intends to modernize contrast supervision in line with federal policy and contemporary clinical practice.

Questions about Virtual Contrast Supervision in Ohio

Is remote or virtual contrast supervision allowed in Ohio today under existing law? 

Ohio law does not prohibit virtual supervision. Facilities that use real time physician availability combined with on site qualified personnel may structure operations in a way that remains consistent with current statute while awaiting legislative clarification through HB 479. Organizations should evaluate their policies with counsel to ensure alignment with state rules and CMS definitions.

Does HB 479 change the training requirements for technologists who administer contrast?

 No. The bill does not alter existing licensure or educational standards. It preserves institutional authority to set competency guidelines and requires that on site personnel meet those standards before participating in contrast administration.

Will imaging centers need to change their emergency protocols if HB 479 passes?

 Most centers will not need to substantially revise emergency pathways. HB 479 requires use of treatment guidelines approved by institutional clinical leadership, which is already standard practice across accredited imaging environments. Centers may need to document qualifications for on site responders when general or remote supervision is used.

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.

Read more from Tether Supervision

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

Expert perspectives on safe, efficient contrast workflows and clinical readiness.

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.

Tennessee Advances Amendment to X-Ray Rules to Modernize Contrast Supervision

On November 17, 2025, the Tennessee Board of Medical Examiners voted to approve a significant amendment to its X-ray supervision rules governing the use of contrast media. While the final regulatory text has not yet been published, the Board’s discussion and unanimous vote make the direction of the change clear.

The proposal first entered the Development Committee on September 19, 2025, where members began evaluating the need for a modernized supervision standard. Between September and November, the committee held discussions, gathered stakeholder input, reviewed training requirements, and ultimately advanced the amendment to the full Board for action. On November 17, 2025 the board unanimously passed that graduated Development Committee proposal.

A complete recording of the Board’s November 17 vote is available on the Tether Supervision YouTube channel here.

For imaging centers, radiology practices, and supervising physicians, this marks an important shift: Tennessee is preparing to modernize its supervision standards in a way that expands access, aligns with national policy, and maintains clinical safety.

What the Current Rule Says

Tenn. Comp. R. & Regs. 0880-05-.12:

(1) Before being authorized to perform any x-ray procedure or operate any x-ray equipment in a physician's office, the physician shall place a copy of the person's renewal certificate in the person's personnel file to prove the person being authorized has the appropriate certification required for either or both the procedure being performed and/or the equipment being used and that such certification is current.

(2) The employing physician(s), or a physician designated by the employing physician(s) as a substitute supervisor, shall exercise close supervision and assume full control and responsibility for the services provided by any person certified under this chapter of rules employed in the physician(s') practice. That supervision, control and responsibility, except when it involves contrast imaging or involves sedation, does not require the physical presence of the physician(s) at all times at the site where the services are being provided.

However, it does require that the physician(s) have his/her primary medical practice physically located within the boundaries of the state of Tennessee and that he/she be capable of being physically present at the site where the services are being provided within a reasonable time depending upon the type of x-ray being performed and the severity of the medical complications that may arise from that type of x-ray.

Under the current version of Tenn. Comp. R. & Regs. 0880-05-.12:

  • A physician does not need to be physically present to supervise most X-ray procedures.

  • But there are two exceptions:

    • Contrast administration, and

    • Sedation

These exceptions have historically required more restrictive, in-person supervision models.

What the Board Approved on November 17

Based on the transcript of the meeting, the Board approved an amendment that:

  1. Updates the X-ray rules to address supervision for contrast administration.

    The Board emphasized that the change is intended to increase access to care without compromising quality.

  2. Allows contrast supervision to follow the same CMS supervision approach used for contrast X-ray procedures, rather than requiring physical presence.

  3. Incorporates a training and competency framework, with explicit reference to ACLS and contrast-allergy-specific training requirements—an important safeguard the Board discussed in detail.

  4. Applies not only to contrast supervision but also clarifies general supervision standards within this section of the rules.

  5. Passed unanimously, with strong support from the Development Committee and no objections raised by the Board.

Once the final rule text is released, we will confirm the precise language. But the Board’s explanation makes the intent clear: Tennessee is embracing a modern, real-time model of supervision for contrast-enhanced imaging.

Why This Matters

1. Improved Access to Care

The Board underscored the need for greater flexibility, particularly for rural communities and high-volume centers that face staffing constraints. Updating the rule allows practices to staff more efficiently without sacrificing patient safety.

2. Alignment with Federal Policy

CMS has permanently authorized real-time audio-video technology to satisfy “direct supervision” requirements beginning January 1, 2026. Tennessee’s proposed amendment reflects this national shift.

3. Clearer Standards for Training and Safety

The Board highlighted the importance of formal training in managing contrast reactions and complications. This creates a consistent statewide expectation for technologists and supervising physicians.

4. A More Modern Framework for Imaging Centers

By moving away from rigid physical-presence requirements, Tennessee enables imaging centers to operate under a more efficient and predictable supervision model.

What Happens Next

The amendment now moves through Tennessee’s rulemaking process, including:

  • Finalization of the regulatory language

  • Filing with the Tennessee Secretary of State

  • Publication and effective date

As soon as the final text is published, we will provide a detailed analysis of:

  • Exact supervision requirements

  • Whether any location-based limitations remain

  • Technologist training expectations

  • Implementation timeline

  • Impact on hospital, outpatient, and mobile imaging providers

We Will Update This Article When the Final Rule Becomes Public

We will continue monitoring the Tennessee rulemaking process closely and will publish updates as more information becomes available. If you operate imaging centers in Tennessee or support supervision workflows, stay tuned—2026 may bring a more flexible, modern approach to contrast supervision statewide.

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.

CMS Finalizes 2026 PFS and OPPS Rules: Virtual Direct Supervision Becomes Permanent for Level 2 Diagnostic Tests

With two coordinated rules, the 2026 Medicare Physician Fee Schedule (PFS) Final Rule, issued October 31, 2025, and the 2026 Hospital Outpatient Prospective Payment System (OPPS) Final Rule, issued November 21, 2025, CMS has permanently authorized the use of real-time, two-way audio-video technology to meet “direct supervision” requirements for many diagnostic tests, including advanced imaging with contrast, across both office-based and hospital outpatient settings. These policies take effect January 1, 2026.

For imaging leaders, radiology groups, and hospital administrators, this is a structural change, one that reshapes how contrast-enhanced CT and MRI can be supervised, staffed, and scaled. For Tether Supervision, it further validates the model we were built for: safe, compliant virtual supervision paired with on-site support.

What CMS Means by Virtual Direct Supervision

Under both the PFS and OPPS rules, CMS maintains the classical definition of direct supervision: the supervising clinician must be immediately available to assist throughout the performance of the diagnostic test. What has changed is how that presence can be fulfilled. Beginning in 2026, immediate availability may be achieved via real-time, two-way, interactive audio and video. The connection must remain active and capable of supporting live intervention for the entire duration of the test. Audio-only communication does not satisfy the standard, and services associated with 010- and 090-day global surgical periods remain excluded due to safety and postoperative considerations.

This distinction is particularly relevant to advanced diagnostic imaging, where Level 2 tests such as CT with contrast and MRI with contrast have always required direct supervision. CMS’s updated rules mean that these contrast-enhanced studies can now be supervised virtually, provided the supervising radiologist or NPP maintains continuous, real-time audio-video availability and can interrupt other activities when needed.

The Role of State Law and Scope-of-Practice Requirements

Although the Medicare rules establish a federal baseline, CMS repeats in both the PFS and OPPS regulations that virtual direct supervision is permissible only where state law allows—or does not explicitly prohibit—remote supervision. Many states are modernizing radiologic technologist scope-of-practice statutes to align with contemporary imaging workflows, but others maintain legacy supervision frameworks or remain ambiguous regarding virtual supervision in contrast studies. Imaging centers, radiology groups, and health systems therefore must reconcile three layers of policy: CMS reimbursement rules, state practice acts and board guidance, and internal medical staff bylaws and privileging standards.

Because contrast administration often triggers specific state-level requirements around competency, escalation, and adverse reaction management, a careful review of state rules remains necessary even after CMS’s 2026 changes. A compliant virtual supervision program is one that satisfies Medicare’s technology requirements and state-based supervision constraints simultaneously.

Operational and Clinical Implications for Imaging Centers

For imaging leaders, these changes have immediate implications for staffing, coverage models, and workflow design. Virtual direct supervision allows a supervising radiologist to remain “immediately available” without being physically located in the imaging suite, enabling new models of multi-site coverage—particularly valuable in rural and underserved regions where securing on-site supervision has historically been challenging. Hospitals and health systems may now design hybrid models that combine qualified on-site technologists or nurses with a remotely available supervising physician, increasing the reliability of coverage while reducing staffing inefficiencies.

This shift places greater emphasis on training for on-site personnel, who must recognize and escalate adverse reactions, execute protocol adjustments under supervision, and operate within state scope-of-practice boundaries. It also requires imaging organizations to evaluate their technology infrastructure. Real-time audio-video capability must be HIPAA-compliant, stable, and documented. Audit trails—who supervised, when, and under which circumstances—become central to both compliance and risk management. Quality assurance programs will increasingly track response times, contrast reaction management, and adherence to virtual supervision protocols as part of continuous oversight.

Why This Matters for Contrast-Enhanced CT and MRI

Advanced imaging with contrast often represents the most operationally complex portion of outpatient radiology. These Level 2 diagnostic tests require oversight from a radiologist or qualified NPP who is immediately available to intervene should patient status change. By making virtual direct supervision permanent, CMS is aligning supervision standards with the realities of modern imaging: distributed networks, uneven geographic supply of radiologists, and rising demand for high-acuity diagnostic studies.

Virtual direct supervision offers imaging centers the ability to stabilize coverage, improve scheduling flexibility, reduce delays, and ensure that Medicare beneficiaries receive timely access to imaging—even when in-person supervision is not feasible. As a result, patients benefit from shorter wait times and more consistent quality of care across locations.

How Tether Supervision Supports Compliance and High Reliability

Tether Supervision was built for the workflows CMS has now formally recognized. Our platform—and the broader Tether model—supports real-time, HIPAA-compliant audio-video supervision that satisfies Medicare’s direct supervision requirements while integrating seamlessly with on-site technologists. We help clients align federal regulations with state laws, update internal supervision policies, and train teams to confidently operate under virtual supervision conditions. Because our model includes both virtual and on-site coverage when required, imaging centers can adapt to state variations and mixed-site footprints without the fragmentation seen in single-mode vendors.

Beyond compliance, Tether provides structured escalation pathways, incident reporting tools, and QA frameworks designed specifically for contrast-enhanced imaging. These systems allow organizations to demonstrate reliability and readiness—key considerations for hospital leadership, accreditation bodies, and regulatory reviewers.

Key Dates and What’s Next

The two foundational dates for imaging organizations planning 2026 operations are:

  • October 31, 2025 – CMS finalizes the PFS rule making virtual direct supervision permanent for Level 2 diagnostic tests in physician offices and IDTFs.

  • November 21, 2025 – CMS finalizes the OPPS rule extending the same virtual supervision standards to hospital outpatient departments, including off-campus provider-based departments.

  • January 1, 2026 – Both rules take effect, formally integrating virtual direct supervision into Medicare’s standard supervision framework.

Together, these changes mark a decisive shift toward modernized supervision in diagnostic imaging. For health systems preparing for 2026, the focus now turns to updating policies, aligning state law interpretations, credentialing supervising clinicians accordingly, configuring compliant A/V technology, and preparing on-site teams to operate confidently within virtual supervision workflows.

Tether Supervision will continue supporting organizations as they adopt these new standards, ensuring that patient safety, regulatory compliance, and operational efficiency remain at the forefront in this next era of contrast imaging supervision.

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.