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Practice Guidance Frequently Asked Questions (FAQs)

Understanding Nursing Roles

In Alberta, there are different types of nurses:

  • Licensed Practical Nurses (LPN)
  • Registered Psychiatric Nurses (RPN)
  • Registered Nurses (RN)
  • Nurse Practitioners (NP)

While individuals in all the above categories may use the protected title "nurse" (under the authority of the Health Professions Act), there are differences between the various types of nurses.

1. Regulatory Body

Under the Health Professions Act, different regulatory bodies are authorized to govern and regulate each type of nurse. Each regulatory body has its own registration and education requirements. For more information, please contact the appropriate regulatory body:

  • The College of Licensed Practical Nurses of Alberta (CLPNA) for LPNs
  • The College of Registered Psychiatric Nurses of Alberta (CRPNA) for RPNs
  • The College of Registered Nurses of Alberta (CRNA) for RNs and NPs

Please visit the CRNA’s statement on how we operate for further details.

2. Education and Training

Each regulatory body sets the requirements for approved education:

  • LPNs are generally required to complete a diploma program, typically over 2 years.
  • RPNs are generally required to complete a diploma or degree program, typically over 2 to 4 years.
  • RNs are required to complete a degree program, usually over 4 years.
  • NPs start as RNs and then advance through specialized education and clinical training.

For more information on the difference between RNs and NPs, please Frequently Asked Questions: Registered Nurse (RN) vs Nurse Practitioner (NP). You may also visit Post-Secondary Education Requirement page to learn more about the education requirements for both RNs and NPs.

3. Scope of Practice

While there may be some overlap in the scopes of practice (SOP) among different types of nurses, the SOP for individuals will differ based on applicable legislation, restricted activities, standards and policies set by their regulatory bodies, employer requirements and individual competence.

For more information on the CRNA registrant’s scope of practice, please refer to our Scope of Practice resources:

 

Graduate Nurses and Restricted Activities

You must have an active provisional permit from the CRNA to work as a GN. You cannot practise as a GN in Alberta either before the effective date or after the expiry date of your provisional permit — this includes orientation. You may not use the protected title of registered nurse (RN) in Alberta or “RN” until the CRNA has approved your RN permit application.

While GNs cannot call themselves RNs, they are bound to the same legislated practice statement for the profession of RNs.

There are specific supervisions standards for GNs as registrants on the Provisional Register. For more information, please refer to Standard 5 of the Supervision Standards (2022).

More information on new graduate registration can be found on College Connect.

Scope of practice refers to the interventions that registrants are authorized, educated and competent to perform. Registrants of the CRNA include registered nurses (RN), graduate nurses (GN), certified graduate nurses (CGN), nurse practitioners (NP), graduate nurse practitioners (GNP), and RN or NP courtesy registrants.

A registrant can use the regulatory framework to determine if they can perform a specific intervention. Details on the regulatory framework are within the Scope of Practice for Registered Nurses Standard (2022).

Further support to help you determine whether or not a specific intervention is within your scope of practice can be found in the article, “Scope of Practice: What’s In and What’s Out?”.

If a GN fails their first attempt at the NCLEX-RN, the GN can continue to work as long as their provisional permit has not expired. If a GN fails the NCLEX-RN twice, their provisional permit will be cancelled by the CRNA, and they will not be able to register again until they have passed the exam.

Graduates of an approved Canadian nursing program who have met the criteria to write the NCLEX-RN, must pass the exam within two years of graduation. These individuals can attempt the exam as many times as needed, however, they must wait 45 days after each failed attempt.

More information on the registration exam can be found here.

 

Working With Students

An RN can only supervise a nursing student performing a restricted activity if the RN is authorized and competent to perform the restricted activity without being required to have supervision themselves, and consents to supervising the nursing student performing the restricted activity.

A conversation with a faculty member of the approved nursing program regarding the type of supervision (direct, indirect or indirect remote) required is necessary as each restricted activity and skill may warrant a different level of supervision based on the program expectations and the student’s competency level. Following the supervision of the restricted activity, the registrant must address and manage any competence issues that are observed during the nursing student’s performance. Collaboration with the faculty member will also be necessary to address any competency-related concerns.

There are many things to consider when assigning a student to perform a restricted activity. The CRNA outlines expectations that nursing faculty members need to critically think about when making these decisions.

Decide the type of supervision required in collaboration with the registrant providing supervision at the point of care based on the:

  1. assessment of client health-care needs,
  2. current competencies of the nursing student,
  3. nursing care required,
  4. course requirements,
  5. restricted activity to be performed,
  6. practice setting, and
  7. level of risk in the student performing the restricted activity.

The CRNA describes mentorship as "the provision of guidance by a more experienced or more knowledgeable person in a certain area of expertise to a less experienced or less knowledgeable person" (CRNA, p. 12).

The registrant, and not the nursing student, bears the responsibility by ensuring all aspects of patient care are complete, communicating with health care providers and members of the patient’s family. The nursing student is not solely responsible for the care of the patient, even though they may have a high level of competency. Students are still learning and growing in their skills and critical thinking, and they require continued mentorship, guidance, collaboration, consultation and oversight by a registrant in the practice setting.

"The primary responsibility for the assignment and care of the person remains that of the primary nurse to whom the person has been assigned" (CNA, 2017, p. 41).

  • What is the student's skill and competence level with the restricted activity?
  • Am I authorized and competent to perform the restricted activity unsupervised?
  • What is my expectation for communication with the student?
  • How will I know when care activities are completed?
  • If I observe unsafe care or minimal competency related to a skill, how will that be addressed?
  • Do I feel comfortable providing feedback following the supervision of the skill?

For more information:

Ethical Considerations in Relationships with Nursing Students

Nurses in all roles share the responsibility of supporting nursing students in providing safe, competent, compassionate and ethical care. Several statements in the Code include specific references to student nurses and their relationships with others in providing nursing care:

Nurses treat each other, colleagues, students and other health-care providers in a respectful manner, recognizing the power differentials among formal leaders, colleagues and students. They work with others to honour dignity and resolve differences in a constructive way. (D13) Nurses share their knowledge and provide feedback, mentorship and guidance for the professional development of nursing students, novice nurses, other nurses and other health-care providers. (G9)

On the basis of these statements in the Code, the following guidelines are suggested:

  • All teacher-nursing student interactions are to be in keeping with ethical nursing practice. • All nurses and nursing students treat each other with respect and honesty.
  • All nurses endeavour to provide nursing students with appropriate guidance for the development of nursing competence.
  • The primary responsibility for the assignment and care of the person remains that of the primary nurse to whom the person has been assigned.
  • Persons receiving care are informed of the nursing student’s status as a learner. Ideally, the preceptor would advise persons in care about the nursing student’s status and seek permission for that student to provide care. When the preceptor is not able to speak to all of the nursing student’s assigned persons, the student informs the person and requests permission to provide care. The person’s right to refuse care or assistance provided by a nursing student is to be treated with respect.
  • Nursing faculty, preceptors and nursing students “place the safety and well-being of the [persons in care] above all other objectives, including fulfilling educational obligations” (CNO, 2017c, p. 3).
  • Nursing faculty and their administrators honour the ethical imperative on the well-being of the persons in care, which supersedes the responsibility of providing the student with learning opportunities.
  • Nursing students are expected to meet the standards of care for their level of learning. They advise their faculty clinical instructor and their clinical unit nurse supervisors if they do not believe they are able to meet this expectation. If nursing students experience difficulties with disrespectful actions from a nurse(s) in practice that they are not able to overcome through conversation with the nurse(s) involved, they discuss these incidents with their faculty clinical instructor and, failing helpful outcomes from that discussion within an appropriate period, they enlist the assistance of the appropriate nursing education administrator in their nursing program.

 

Self-employed Practice

All registrants are responsible for understanding the Practice Standards for Registrants and applying them to their practice. The Practice Standards for Registrants always apply to all registrants regardless of their domain of practice, role or setting. The standards outline the minimum expectations for registrants whose practice will be measured by the CRNA, the public, clients, employers, colleagues and themselves.

The self-employed practice checklists include resources and information for any registrant engaged in or wanting to engage in self-employed practice. Registrants may access the Self-Employed Practice Checklists by logging into College Connect, selecting “Manage Your Practice” and then “Self-Employed Practice”.

Self-employed Assessment Checklist: Am I Practising Registered Nursing?

  • Identify the requirements for registered nurse (RN) or nurse practitioner (NP) practice
  • Review specific requirements for NP practice in addition to RN practice

Self-assessment Checklist for Self-employed RN or NP Practice

  • Determine if your practice is within the scope of practice of an RN or NP practice based on the definition of Schedule 24 of the Health Professions Act
  • Identify and analyze some of the potential self-employed practice risks
  • Access resources that may help mitigate these risks

Additional resources:

  1. For information on the use of the title “registered nurse” or "RN" for self-employment, review the Use of Title Standards and Advertising Standards.
  2. Consider reaching out to the Canadian Nurses Protective Society (CNPS) for independent practice guidance and legal advice when starting your own business.
  3. Refer to the Complementary and Alternative Health Care and Natural Health Products Standards for additional information regarding the standards of practice.
  4. Refer to the Medication Management Standards for information regarding prescription of IV vitamins, preparation, storage, dosages, most responsible providers (MRPs) and administering Schedule 1, 2 medications.
  5. Consider reviewing Scope of Practice and Scope of Practice: What’s In and What’s Out?.

 

Incorporating Restricted Activities into Practice

To answer this question, it is important to first understand what scope of practice means. Scope of practice encompasses all the interventions that RNs are authorized, educated and competent to perform. It is set out in provincial legislation and regulations and is complemented by the CRNA standards, guidelines, other regulatory documents and the Canadian Nurses Association Code of Ethics for Registered Nurses (2017).

To help determine if an intervention is within the scope of practice of RNs, one needs to determine if the intervention is a restricted activity authorized within the Health Professions Restricted Activity Regulation (2023) as this legislation authorizes the restricted activities that the CRNA registrants may perform. It is important to understand that not all nursing interventions fall under restricted activities. Many interventions, such as assisting clients with activities of daily living or client teaching and coaching, do not necessarily involve restricted activities.

Maintaining such a list is not feasible due to the dynamic nature of the profession. Registered nursing practice, health care needs and the context in which care is provided, are all consistently evolving, and it would be impossible to keep a list of interventions registrants can perform. While a scope of practice that is defined narrowly by a list of activities, interventions or tasks may provide greater clarity, it leaves fewer opportunities for the practice to evolve and respond to health care priorities. Lankshear & Martin (2019) suggest that focusing on client health care needs, rather than a series of tasks, emphasizes professional practice and the evolving knowledge that registered nurses (RN) bring to the health care team.

Restricted activities are high-risk activities performed as part of providing a health service that requires specific competencies and skills to be carried out safely by authorized persons and are, therefore, restricted to those authorized persons. Restricted activities are listed in the Health Professions Act (2000) and the Health Professions Restricted Activity Regulation (2023). The restricted activities authorized for CRNA registrants are outlined in section 60 of the Health Professions Restricted Activity Regulation.

Although legislation may authorize a registered nurse (RN) to perform a specific restricted activity, it doesn’t mean that an individual RN can automatically, or should perform that activity. An RN must only perform those restricted activities that they are competent to perform and are appropriate to the area of practice.

The CRNA document Incorporating a Restricted Activity into Practice: Guidelines (2022) provides a decision-making framework to assist registrants when assessing whether they can incorporate a restricted activity into their practice. The decision-making framework can also assist employers and other stakeholders in making decisions about interpreting the registered nurse (RN) scope of practice to allow for additions to the individual RN’s scope of practice. Based on knowledge application and critical thinking, the decision-making framework structures the factors that must be considered around three key guidelines: assessment, competence and practice setting support. Here is an example: You are working on a mental health unit and notice that a client has a small laceration on their leg, which may require sutures. Some questions that you can ask to determine if you should engage in suturing include:

Assessment

  • Does the Health Professions Restricted Activity Regulation allow you to perform the restricted activity?
  • Does the restricted activity meet the needs of the client and not the convenience of health care professionals?
  • Are you the most appropriate health care provider to perform the restricted activity at any given time?

Competence

  • Do you have the knowledge, skill and judgment to perform the restricted activity safely and competently? If not, how can you attain that competence?
  • Are you able to maintain your competence?

Practice Setting Support

  • Is the restricted activity within your role?
  • Are you supported by your employer and practice setting to perform the restricted activity?
  • Do you have access to the equipment and resources required to perform the restricted activity?

Upon meeting the expectations outlined in the Restricted Activities Standards (2022), performance of the restricted activity of suturing requires:

  • Education beyond foundational knowledge of this restricted activity being incorporated into your practice;
  • Development of practice setting support to facilitate the practice as well as identify parameters and limitations; and
  • Quality assurance mechanisms to evaluate and support safe, competent practice.

 

Referrals

The role of a registered nurse in this scenario includes but is not limited to providing comprehensive education to the client on what to expect, when applicable, and referring their questions to the most responsible practitioner (MRP) or other interdisciplinary team members as described in Interprofessional Collaboration Guidelines (2023) and Coordination of Client Care Guidelines (2023), when appropriate. Registrants are responsible for ensuring competence in knowing the services offered by the specialist or agency and how they will help support the client.

Questions to consider:

  • Is this referral within my scope of practice?
  • Is there a policy or procedure at my practice setting regarding registered nurses making referrals?
  • Do I have the competency in knowing the services offered by the specialist of agency that the client is requesting the referral for?

Registered nurses (RNs) are authorized to refer patients to other practitioners within their scope of practice. However, the College of Registered Nurses of Alberta (CRNA) only issues letters for Alberta Health Practitioner IDs to RNs who are authorized to prescribe Schedule 1 drugs and order diagnostic tests. Currently, Alberta Health Services does not issue Practitioner IDs for any other purpose.

 

NURSE PRACTITIONERS

 

Practising as an NP in Alberta

Registrants of the CRNA can find more information about self-employed practice inside of College Connect.

Log into your College Connect account and navigate to Manage Your Practice > Self-Employed Practice.

For further guidance, you can reach out to our practice consultants.

NPs receive their entry to practice education within differing streams of practice with a focus on a specific demographic (adult, family all ages (FAA), neonatal and child).

NPs must have the knowledge, skills, training, competency and currency to provide patient care in the primary care setting as an MRP.

Typical health care services delivered in primary care settings include, but are not limited to:

  • Providing first contact accessibility, ongoing care and continuity for comprehensive health care needs
  • Managing chronic health conditions
  • Diagnosing new health conditions
  • Ordering diagnostic testing and developing treatment plans
  • Health promotion
  • Assessment and testing through programs such as Screening for Life
  • Referrals to specialists when indicated
NPs are encouraged to self-assess their knowledge, skills, training, competency and currency to determine if they are able to provide effective and safe care in a primary care setting as the MRP.

Registrants of the CRNA are required to follow the standards of practice at all times, regardless of their practice setting.

Additionally, the CRNA's guidelines and scope of practice documents can provide further guidance.

If you have questions about a specific standard of practice, reach out to our practice consultants.

Patients and their families require health care services provided in a safe, competent and responsible manner that aligns with regulatory expectations (including the provider practising within their scope of practice).

Within the NPPCP, patients can expect their health care needs to be provided in a similar manner to other providers (i.e. professional services, privacy, continuity of care).

The CRNA is currently developing formal regulatory guidance that addresses the unique role of NPs in the health care system. In the meantime, the FAQs outlined on this page will provide direction to registrants regarding the CRNA’s general expectations.

NPs are regulated by the CRNA, not by the CPSA; however, to ensure patient safety, the CRNA encourages NPs to familiarize themselves with the expectations physicians are held accountable to by the CPSA. The CPSA’s regulatory guidance for physicians can be viewed as expectations NPs are also held accountable to.

If there are questions related to the CPSA’s standards in relation to NP practice, please contact the CRNA, NOT the CPSA.

The CRNA would like to acknowledge the CPSA’s expertise and leadership with the development of their standards of practice which outline very clearly, expectations for the delivery of patient care in an independent practice setting. The CRNA is very appreciative that the CPSA is supportive of referring NPs to their standards of practice.

New-to-practice NPs are encouraged to seek mentorship from experienced, competent NPs or physicians during the first 18 months of practice, or when transitioning from one practice area to another (e.g., moving from acute care to primary care). Mentorship serves to bridge the gap between education and professional practice (or changing practice areas), enabling NPs to fully understand their scope of practice while developing the necessary knowledge, confidence and competence.

Mentorship can involve coaching, teaching, advising and support.  To be most impactful, the mentor should have the expertise in the skillset the mentee wants to develop. A clinical mentor helps:

  • Answer clinical questions
  • Develop new skills
  • Identify opportunities for improvement
  • Share learning opportunities

Non-clinical mentorship is also encouraged. Non-clinical mentorship may cover topics such as business considerations, contract negotiations, workplace challenges and self-care.

The NPPCP provides NP mentorship support. More information can be found in the Nurse Practitioner Primary Care Program guide, page 5.

NPs must be aware of potential conflicts of interest when providing uninsured services (e.g., uninsured aesthetic treatments), alongside publicly funded health services. The CRNA expects NPs to act in the patient’s best interests and not be affected or influenced by other competing interests such as financial, non-financial, direct or indirect transactions. Equitable access to publicly funded health services in accordance with the CNA Code of Ethics should be prioritized.

When offering uninsured services, NPs must avoid using their position to promote uninsured services or products to patients. 

Patients receiving uninsured NP services should not receive preferential access to publicly funded services. NPs participating in the NPPCP program have additional requirements (Nurse Practitioner Primary Care Program guide, page 6).
 
Patients receiving publicly funded health services should not feel obligated or offered incentives to access uninsured services. Patients should be able to clearly distinguish between uninsured services and publicly funded health services to avoid any perception of NP influence. The NP may want to consider business practices that include separate physical spaces, distinct operating hours and unique advertising such as signage, phone numbers and websites.

Referrals to NP uninsured services should only occur when no viable alternatives exist for the patient’s needs. 
 
If an NP provides both uninsured and publicly funded health services, documentation of any conflict-of-interest disclosure must be made in the patient’s record.

NPs can charge reasonable fees for uninsured services, ensuring they follow ethical and transparent practices. As per the Health Professions Act, NPs cannot sell medications. They may sell other products, ensuring prices do not exceed fair market value plus reasonable handling costs. 

It is important to note that the CRNA does not prescribe specific fee amounts for uninsured services or products. Instead, NPs are expected to set reasonable fees that reflect professional and administrative costs while considering patients' financial circumstances.

Additional resources that you may find helpful:

 

About the Nurse Practitioner Primary Care Program (NPPCP)

For questions related to the funding of the NPPCP contact the NPAA or refer to the Government of Alberta website.

Information about the NPPCP, including the application, can be found on the Government of Alberta website. You can also contact the Nurse Practitioner Association of Alberta (NPAA) for more information.

You do not need to send your initial application for the NPPCP to the CRNA. Applications to the NPPCP can be made only through the Government of Alberta at this time.

Regulated professional staff must make the public aware of their names and professional designations. Registrants of the CRNA are required to practice using their legal names.

For non-regulated clinic staff the public should be aware of their names and job titles.
 
For role clarity, NPs who have also have an academic doctoral credential may include their credentials behind their name or in conversations with patients and their families.

 

Setting up a Primary Care Clinic

Before opening your clinic, ensure you’re prepared to meet all applicable operational requirements, privacy and CRNA standards.
1. Complete Alberta Health business and facility registration forms:
      • Facility Registration Form (AHC0910A): To register a clinic and NPs providing services. The College of Physicians & Surgeons of Alberta will provide a letter for the outlined requirement “copy of the College of Physicians and Surgeons of Alberta Clinic Registration Letter” by calling CPSA Clinic Registry at 780-969-5001 or email clinicregistry@cpsa.ab.ca.
      • Business Arrangement and Relationships Application Form (AHC11236): To create and modify business arrangements and their associated relationships to be able to receive payment from Alberta Health.
      • Practitioner Identification Number/Prac ID (AHC11234): To register NPs and create business arrangements. 

The forms noted above can all be found at the Government of Alberta's Health Professional Business Forms. Also, be sure to review: 

2. Register with the Tracked Prescription Program if you will be prescribing medications prone to misuse.

3. Obtain a Workers' Compensation Board (WCB) Billing Number if you will be treating WCB patients. 

Additional Alberta Health resources that you may find helpful: 

The CRNA is currently developing and updating standards and guidelines for practice to outline clear expectations of registrants when providing patient care in independent practice settings.

The CPSA Standards of Practice can be reviewed for reference as outlined above.

For guidance on developing skills and competencies, you can reach out to our practice consultants.

Athabasca University offers an opportunity to take additional education for NPs who also wish to be dually licenced for family all ages (FAA).

Choose a name that clearly reflects your area of practice and services. Follow the CRNA's Advertising Standards and the Code of Ethics. Keep it factual and transparent. Your name should not mislead, imply superiority or create unrealistic expectations. You are responsible for how your clinic name is used across all platforms — oral, print and/or electronic. Signage should help people identify your clinic without solicitation. These guidelines apply to all clinic types (e.g. uninsured services and publicly funded health services) no matter the services offered.

 

Privacy

A PIA is required by a custodian any time there are:
  • New administrative practices or information systems relating to the collection, use and disclosure of individually identifying health information
  • Changes to existing administrative practices or information systems relating to the collection, use and disclosure of individually identifying health information Privacy and Security Polices for Custodians provides NPs with a template for the development of policies and procedures custodians can use when submitting a PIA to the Office of the Information and Privacy Commissioner of Alberta (OIPC) 
Custodian as defined in the HIA (2000). A custodian includes the following:
  • hospital boards, nursing home operators, provincial health boards
  • ambulance operators, regional health authority, the Health Quality Council of Alberta, licensed pharmacies
  • health-care professionals that are designated under the Health Information Regulation (Alta Reg 70/2001).

NPs must review and understand their duties to protect patient privacy, including: the Privacy and Management of Health Information Standards and Privacy and Security Policies for Custodians.

Additional resources include:

Alberta Health (AH) HIA resources are available to assist with understanding the rules governing and protecting health information in the custody or under the control of a custodian:

Registrants should follow the Documentation Standards for patient records. Additional information can also be found in the Privacy and Management of Health Information Standards.

 

Infection Prevention and Control

Maintaining a safe, clean, and compliant clinic is essential for patient care and professional practice. Here are key steps to meet IPC requirements: 

1. Become familiar with general IPC standards: 

2. Review reusable and single-use medical device resources: 

 

Absence/Closing/Relocating/Leaving a Clinic

The CRNA expects NPs to arrange for coverage of their clinical practice when they are away or unavailable (e.g. vacation, after hours coverage, etc.).

For example, a call schedule could be developed for weekend or evening coverage, or longer absence arrangements could be made with a colleague to provide coverage.

When closing or leaving a practice, the CRNA expects NPs to consider patients they have been providing care for and endeavour to assist the patients to find another care provider.

NPs must do their best to not abandon patients, in accordance with the Canadian Nurses Association Code of Ethics for Registered Nurses.

All outstanding testing and investigations must be followed up with or arrangements must be made with another provider to do so. The patient must be well informed, preferably in writing, of what to expect and who they should be working with. NPs should also ensure all outstanding referrals have been completed.

Patients, other health professionals and health institutions need to be given adequate notice that the NP is closing or leaving the practice. Notice is required since patients must find another health care provider, so other providers need to know where to send outstanding consultations, etc..

NPs must make arrangement for the disposition of patient records, as outlined in the Privacy and Management of Health Information Standards, and the Privacy and Security Policies for Custodians.

Contact the Office of the Information and Privacy Commissioner (OIPC) of Alberta with privacy and management of patient information legislative requirement questions at generalinfo@oipc.ab.ca.

An NP must notify the CRNA with a change to practice location in accordance with the Health Professions Act (HPA, Part 2, 4.0 (b) iii and 4.1).

The CRNA expects NPs to notify all health providers who they refer to or are referred to them, as well as professional working relations, of the location change. 

Patients on an NP's panel must be given adequate notice, preferably in writing, prior to the relocation. Current patients should have the option of receiving care at the new location. If it is an option and a patient prefers to stay at the current clinic, the NP must provide access to the patient's outstanding investigations, consultation reports and any other information regarding the patient's health needs.

 

Oversight

The CRNA is responsible for regulating NPs and RNs in Alberta. The CRNA does not regulate clinics. Instead, the CRNA is responsible for regulating NPs' practice within clinics.
 
If an NP is engaged in independent practice, or if the NP is the clinic director, they are accountable and responsible to ensure the clinic meets the requirements for the safe delivery of patient care (e.g. supervision, infection prevention and control measures, properly credentialed and trained staff, protection of patient health information).
 
Please see the clinic director questions below for more information.

All NPs are accountable for the care they provide to their patients and to follow the applicable legislation, regulations and the CRNA’s Standards of Practice.

Federal and provincial legislation often refers to a “medical practitioner” as someone who can practise medicine. The terms “medical practice” and “medical director” are most commonly associated with physician practice.

Clinic director is therefore the preferred term for an NP in this role, rather than medical director.

In practice settings with multiple providers and staff, a clinic director is responsible for overseeing the non-clinical aspects of the clinic (e.g. staffing, advertising, infection prevention and control requirements, and safe handling of health records) and assisting with establishing policies and procedures for the clinic to guide safe patient care.

A clinic director is accountable for the overall leadership of the clinic to ensure the safe, competent and ethical delivery of patient care.

Clinic director responsibilities may include, but are not limited to:  

MRP refers to a regulated health care professional (usually a medical doctor or NP) who has the overall responsibility for directing and coordinating the care and management of a patient over a specific period of time.

The designated MRP at an institution or health care site is typically identified in the site’s policies and procedures. Adapted from Canadian Medical Protective Association.

Within the NPPCP, NPs are identified as the MRP for the patients on their panel. The NP is accountable to ensure the patients health care needs are met, including completing any required referrals, ordering tests or procedures and ensuring follow-up is completed within an appropriate amount of time as dictated by the urgency of the patient’s care needs.

In Alberta, nurse practitioners can form corporations to offer professional services without the CRNA’s approval. This is different from the requirements faced by other health care professionals such as physicians, dentists, chiropractors and optometrists, who must obtain approval from their respective regulatory college and a permit for a professional corporation.

NPs can form a corporation by following the Government of Alberta’s guidelines for incorporating a business, which can be found here. It is recommended to consult with the Canadian Nurses Protective Society, an accountant and a lawyer to explore the options available to you.