GA-0144
Whether schools of acupuncture
Cite as Tex. Att'y Gen. Op. GA-0144
ATTORNEY GENERAL OF TEXAS
GREG
ABBOTT
February 5,2004
Mr. Don W. Brown
Commissioner
of Higher Education
Opinion No. GA-0144
Texas Higher Education Coordinating
Board
Re: Whether schools of acupuncture
are subject
P.O. Box 12788
to regulation
by the Texas Higher Education
Austin, Texas 78711
Coordinating
Board under chapter 6 1, subchapter
G of the Education
Code, or whether they are
exempt from regulation under section 61.303(a) of
the code
(RQ-009 1 -GA)
Dear Mr. Brown:
You ask whether schools of acupuncture
are subject to regulation
by the Texas Higher
Education Coordinating
Board (the “THECB”) under chapter 6 1, subchapter G of the Education
Code, or whether they are exempt from regulation by the THECB under section 61.303(a) of the
code.’
Chapter 61 of the Education Code creates the THECB, a state agency, and declares that “[i]t
shall perform only the functions which are enumerated in [chapter 6 1 ] and which the legislature may
assign to it.”
TEX. EDUC. CODE ANN. 8 61.021(a) (Vernon 1996). Subchapter
G of chapter 61
provides for the regulation of private postsecondary
educational institutions, which term is defined
as an educational
institution which:
(A) is not an institution
of higher education as defined by Section
61.003;
(B) is incorporated
under the laws of this state, maintains a place of
business in this state, has a representative
present in this state, or
solicits business in this state; and
(C) furnishes or offers to furnish courses of instruction in person, by
electronic
media,
or by correspondence
leading to a degree or
providing credits alleged to be applicable to a degree.
‘See Letter from Don W. Brown, Commissioner
of Higher Education,
Texas Higher Education
Coordinating
Board, to Honorable
Greg Abbott, Texas Attorney
General, at l-4 (Aug. 5, 2003) (on file with Opinion Committee)
[hereinafter
Request Letter].
Mr. Don W. Brown
- Page 2
(GA-0144)
Id. 5 61.302(2) (Vernon Supp. 2004).
Section 61.304 empowers
the THECB to regulate every
private postsecondary
educational institution:
“A person may not grant or award a degree on behalf
of a private postsecondary
educational institution unless the institution has been issued a certificate
of authority to grant the degree by the board in accordance with the provisions
of this subchapter.”
Id. 9 61.304 (Vernon 1996).
You note that there are four schools of acupuncture in Texas* and that the THECB “has never
granted a certificate of authority” to any of the Texas acupuncture schools “to allow them to award
degrees, or to use the protected term ‘college.”
Request Letter, supra note 1, at 2. The four Texas
schools of acupuncture fall within the definition of “[plrivate postsecondary
educational institution”
in section 61.302.
TEX. EDUC. CODE ANN. 5 61.302(2) (V emon Supp. 2004). None of them are
“[i]nstitution[ s J of higher education” under section 6 1.003, see id. 8 6 1.003( 8); each “is incorporated
under the laws of this state, maintains a place of business in this state, has a representative
present
in this state, or solicits business
in this state”; and each of them “furnishes
or offers to furnish
courses of instruction
in person, by electronic media, or by correspondence
leading to a degree or
providing credits alleged to be applicable to a degree.”
Id. tj 61 .302(2).3
Your question
is whether the exemptions
of section 61.303(a) apply to the schools of
acupuncture operating in Texas. See Request Letter, supra note 1, at 2-4. That provision states:
(a) The provisions
of this subchapter do not in any way apply to an
institution
which is fully accredited
by a recognized
accrediting
agency, or an institution or degree program that has received approval
by a state agency authorizing
the institution’s
graduates to take a
professional
or vocational state licensing examination
administered
by that agency.
The granting of permission
by a state agency to a
graduate of an institution to take a licensing examination
does not by
itself constitute approval of the institution or degree program required
for an exemption under this subsection.
TEX. EDUC. CODE ANN. 8 61.303(a) (Vernon Supp. 2004). Section 61.303(a) essentially furnishes
two exemptions
from the THECB’s
authority
to require a school of acupuncture
to obtain a
certificate of authority in order to operate. The first exemption applies when the institution is “fully
accredited by a recognized
accrediting
agency.”
Id. Although we have received several briefs
indicating
that the four Texas schools
of acupuncture
are accredited
by the Accreditation
*The four schools of acupuncture
are the Texas College of Traditional
Chinese Medicine, located in Austin; the
Academy
of Oriental
Medicine
at Austin;
the Dallas College of Oriental Medicine;
and the American
College of
Acupuncture
and Oriental Medicine,
located in Houston.
See http://www.acaom.org/.
‘See Texas College of Traditional
Chinese Medicine,
avazlable at http://www.texastcm.edu/;
Academy
of
Oriental Medicine
at Austin,
available at http://www.aoma.edu/;
Dallas College of Oriental Medicine,
availabZe at
http://www.diaom.corn/;
American College ofAcupuncture
and Oriental Medicine, available at http://www.acaom.edu/.
Mr. Don W. Brown - Page 3
(GA-0144)
Commission
for Acupuncture
and Oriental Medicine (the “ACAOM”),4 an agency recognized by the
United
States Department
of Education
as the national
accrediting
agency
for schools
of
acupuncture,5 for purposes of section 61.303(a) of the Education Code, a “[rlecognized
accrediting
agency” is “an association or organization so designated by rule of the [THECB] for purposes of this
subchapter.”
Id. 5 61.302(8).
You state that, while “[a]11 four acupuncture
schools that operate in
Texas at this time are accredited by the ACAOM, . . . this is not an accrediting
agency that is
recognized” by the THECB. Request Letter, supra note 1, at 3. Thus, the first exemption of section
61.303(a) is not applicable to schools of acupuncture
operating in Texas because such institutions
are not “fully accredited by a recognized
accrediting
agency” as that term is defined in section
61.302(g).
See TEX. EDUC. CODE ANN. §§ 61.302(8), .303(a) (Vernon Supp. 2004).
The second exemption applies to “an institution or degree program that has received approval
by a state agency authorizing the institution’s
graduates to take a professional
or vocational state
licensing examination
administered
by that agency.” Id. 8 61.303(a). The exemption includes the
caveat that “[t]he granting of perrnission by a state agency to a graduate of an institution to take a
licensing examination
does not by itself constitute approval of the institution
or degree program
required for an exemption under this subsection.”
Id. It is clear from this caveat that in order for
the second exemption to apply, a state agency must do more than permit graduates of an institution
to take the agency’s licensing examination.
Rather, the second exemption
requires that a state
agency has approved the institution or degree program. Thus, we must determine whether any other
law authorizes the Texas State Board of Acupuncture
Examiners (the “TSBAE”) to approve an
“institution
or degree program.”
Section 205.101 (a) of the Occupations
Code sets forth that “[slubject to the advice and
approval of the [Texas State Board of Medical Examiners],”
the TSBAE shall:
(1) establish qualifications
for an acupuncturist
to practice in this
state;
(2) establish minimum education and training requirements necessary
for the acupuncture board to recommend that the medical board issue
a license to practice acupuncture;
(3) administer an examination that is validated by independent testing
professionals
for a license to practice acupuncture;
(4) develop requirements
for licensure by endorsement of other states;
4See Briefs from Michele Shackelford,
General Counsel, Texas State Board of Medical Examiners
(Oct. 3,
2003); Jill Warren, Bracewell & Patterson,
L.L.P. (Oct. 3, 2003); Claire Bondy Hyder & Leslie Lynn Myers, Texas
Association
ofAcupuncture
and Oriental Medicine (Sept. 19,2003); Jimmie L. Coombes, Academy of Oriental Medicine
at Austin (Sept. 1,2003)
(all briefs on file with Opinion Committee).
‘See http://www.ed.gov/admins/fmaid/accred/accreditationqg6.html;
http://www.acaom.org.
Mr. Don W. Brown - Page 4
(GA-0144)
(5) prescribe the application form for a license to practice acupunc-
ture;
(6) make recommendations
on applications
for licenses to practice
acupuncture;
(7) establish the requirements
for a tutorial program for acupuncture
students who have completed
at least 48 semester hours of college;
and
(8) recommend
additional rules as are necessary to administer
and
enforce this chapter.
TEX. OCC. CODE ANN. 9 205.101 (a) (Vernon 2004). Moreover, “[tlhe acupuncture
board does not
have independent
rulemaking
authority.”
Id. 5 205.101 (b). On the other hand, section 205.206 of
the Occupations
Code provides:
(a) A reputable acupuncture
school, in addition to meeting standards
set by the acupuncture
board, must:
(1) maintain
a resident
course
of
instruction
equivalent to not less than six terms of four months
each for a total of not less than 1,800 instructional
hours;
(2) provide supervised patient treatment for at least
two terms of the resident course of instruction;
(3) maintain
a course of instruction
in anatomy-
histology, bacteriology, physiology, symptomatology,
pathology, meridian and point locations, hygiene, and
public health; and
(4) have the necessary teaching force and facilities for
proper instruction in required subjects.
(b) In establishing standards for the entrance requirements
and course
of instruction of an acupuncture
school, the acupuncture
board may
consider the standards set by the National Accreditation
Commission
for Schools and Colleges of Acupuncture and Oriental Medicine [now
the ACAOM] .6
Id.5 205.206.
6See http://www.acaom.org/accdtd-cndtdschls.htm.
Mr. Don W. Brown
- Page 5
(GA-0144)
Although the TSBAE is directed to “establish minimum education and training requirements
necessary for the acupuncture board to recommend
that the medical board issue a license to practice
acupuncture”’
id. 5 205.101 (a)(2), this requirement
is not equivalent to the authority to approve an
“institution or degree program” offered by a school of acupuncture.
See TEX. EDUC. CODE ANN.
8 61.303(a) (V emon Supp. 2004).
The TSBAE’s duty is directed at “minimum
education and
training requirements”
that individuals
must meet.
See TEX. OCC. CODE ANN. 4 205.101(a)(2)
(Vernon 2004).
Section 61.303(a) of the Education
Code makes this point abundantly
clear in
declaring that “[tlhe granting of permission by a state agency to a graduate of an institution to take
a licensing examination
does not by itselfconstitute
approval of the institution or degree program
required for an exemption under this subsection.”
TEX. EDUC. CODE ANN. 8 61.303(a) (Vernon
Supp. 2004) (emphasis added). Moreover, although subsection (b) of section 205.206 declares that
the TSBAB may establish “standards for the . . . course of instruction of an acupuncture
school,”
TEX. OCC. CODE ANN. $205.206(b)
(Vernon 2004)’ we do not believe that this language is specific
enough to permit the TSBAE to approve an “institution or degree program.”
TEX. EDUC. CODE ANN.
9 61.303(a) (V emon Supp. 2004).
By contrast, the Board of Nurse Examiners is specifically empowered
to “approve schools
of nursing and educational
programs
that meet the board’s requirements”
as well as “deny or
withdraw approval from a school of nursing or educational program that fails to meet . . . prescribed
. . . standard[s].”
TEX. OCC. CODE ANN. 9 301.157(b)(4)-(5)
(Vernon 2004). And section 301.252
declares that the Board of Nurse Examiners may waive a particular licensing requirement
“if the
applicant provides satisfactory sworn evidence that the applicant has completed an acceptable level
of education in. . . a professional nursing school approved by the board.” Id. 8 301.252(b)( 1). Thus,
when the legislature intends to confer on a licensing board the authority to approve an institution or
degree program, it knows how to do so. We conclude, therefore, that because the TSBAE is not
empowered to approve any “institution or degree program,” a school of acupuncture is not excepted
from regulation by the THECB by the second exemption of section 6 1.303(a) of the Education Code.
See TEX. EDUC. CODE ANN. § 61.303(a) (Vernon Supp. 2004).
Accordingly,
in answer to your specific question, acupuncture schools are not exempt from
regulation by the THECB under section 61.303(a) of the Education Code. Those schools may not
use the protected term “college” or award degrees without approval by the THECB.
Mr. Don W. Brown
- Page 6
(GA-0144)
SUMMARY
Schools of acupuncture are subject to regulation by the Texas
Higher Education Coordinating
Board.
BARRY R. MCBEE
First Assistant Attorney General
DON R. WILLETT
Deputy Attorney General for Legal Counsel
NANCY S. FULLER
Chair, Opinion Committee
Rick Gilpin
Assistant Attorney General, Opinion Committee