Robert M. Lyerly, Esq., on behalf of Peachtree Casualty Insurance Co.; The Petition asks whether an osteopathic physician who employs a massage therapist needs an establishment license and whether certain medical services are considered the practice ...  


  • RULE NO: RULE TITLE
    64B7-26.001: Definitions
    64B7-26.002: Licensure of Massage Establishments
    NOTICE IS HEREBY GIVEN THAT the Board of Massage Therapy has received the petition for declaratory statement from Robert M. Lyerly, Esq., on behalf of Peachtree Casualty Insurance Co.The petition seeks the agency's opinion as to the applicability of Chapter 64B7-26, F.A.C., and Chapter 480, F.S., as it applies to the petitioner.
    The Petition asks whether an osteopathic physician who employs a massage therapist needs an establishment license and whether certain medical services are considered the practice of massage.
    A copy of the Petition for Declaratory Statement may be obtained by contacting: Kaye Howerton, Executive Director, Board of Massage Therapy/MQA, 4052 Bald Cypress Way, Bin #C06, Tallahassee, Florida 32399-3256.
    Please refer all comments to: Kaye Howerton, Executive Director, Board of Massage Therapy/MQA, 4052 Bald Cypress Way, Bin #C06, Tallahassee, Florida 32399-3256.

Document Information

Meeting:
Chapter 64B7-26, F.A.C., and Chapter 480, F.S.,
Contact:
Kaye Howerton, Executive Director, Board of Massage Therapy/MQA, 4052 Bald Cypress Way, Bin #C06, Tallahassee, Florida 32399-3256.
Related Rules: (2)
64B7-26.001. Definitions
64B7-26.002. Licensure of Massage Establishments