Executive Summary
- Only a Tennessee-licensed physician (MD or DO) can serve as a medical director or supervising physician for a medical spa. The medical director must hold an active Tennessee license and maintain an active medical practice in the state.
- Tennessee requires medical spa registration with the state. The medical director is responsible for cosmetic medical services and must ensure that the registration is renewed annually. Operating without a current registration can be considered unprofessional conduct and may trigger disciplinary action.
- Cosmetic procedures such as injectables, energy-based treatments, and microneedling are treated as medical acts. Physicians may delegate these services to qualified staff, but delegation must be documented and comply with state medical board standards and applicable collaborative or supervisory agreements.
- APRNs and PAs can prescribe medications only under written collaborative or supervisory agreements with a physician. These agreements define the scope, prescribe authority, and set expectations for oversight.
- Tennessee law also requires transparency around the medical director’s certification status. Medical spas must clearly display the supervising physician’s name and certification information in signage and advertising.
- Unlike some states that regulate cosmetic devices through separate licensing agencies, Tennessee places significant responsibility on the supervising physician through medical board oversight, written protocols, and medical spa registry requirements.
Tennessee Medical Director Requirements for Medspas
Tennessee regulates medical spas primarily through the Tennessee Board of Medical Examiners, the medical spa registry law, and supervision rules for physicians, APRNs, and PAs. Because cosmetic medical services are legally treated as medical practice, oversight, delegation, and registration requirements all flow through the supervising physician. Missing even one administrative obligation, such as annual medical spa registration or written collaborative agreements, can expose a practice to disciplinary action or liability.
This page organizes the moving parts: who can serve as a medical director or supervising physician; how collaboration works for nurse practitioners and physician assistants; what delegation actually requires under Tennessee law; and the operational structure most medspas use to stay compliant. Where applicable, references align with Tennessee statutes, board rules, and registry requirements.
The Tennessee Quick Compliance Checklist
Recordkeeping & Access
Change Management
The Legal Frame: Medical Spa Registration + Supervising Physician Requirements
Who Can Be a Medical Director or Supervising Physician in Tennessee?
Why Nonphysician Medical Direction Is Not Permitted
Collaboration & Delegation: NPs and PAs in a Tennessee Medspa
Prescriptive Authority
APRNs may prescribe medications only through a written Collaborative Practice Agreement (CPA) with a physician, and PAs may prescribe through a written Supervisory Agreement approved by the Tennessee Board of Medical Examiners. These agreements define the scope of prescribing authority, consultation procedures, and oversight expectations.
Controlled substances require appropriate DEA registration and compliance with board rules. APRNs and PAs cannot prescribe independently without physician collaboration or supervision in place.
Provider Limits
Day-to-Day Delegation
Practical Tips That Survive Audits
Maintain organized documentation of Collaborative Practice Agreements, Supervisory Agreements, chart review schedules, and training records. Regulators commonly ask to see proof that delegation is documented and that physician oversight is active rather than nominal.
Keep records showing how supervision occurs, including consultation notes, meeting documentation, and evidence that protocols are updated when new procedures are introduced.
Injectables & Device Procedures: What “Legal” Looks Like in Practice
Injectables (e.g., Botox®, Dermal Fillers)
Lasers, IPL, and Energy-Based Devices
Microneedling, Chemical Peels, Threads, IV Therapy
The Paperwork Tennessee Actually Expects to See
Medical Spa Registration Documents
Licenses & Credentials
Collaborative and Supervisory Agreements
Delegation Protocols & Training Records
Marketing and Signage Documentation
Common Pitfalls We See (and How to Avoid Them)
- Assuming an RN or aesthetic provider can act as a medical director. Only a Tennessee-licensed MD or DO with an active medical practice may serve as supervising physician for a registered medical spa.
- Operating without a current medical spa registration. Registration must be renewed annually, and operating without it may be considered unprofessional conduct.
- Missing or outdated collaborative agreements. APRNs and PAs must maintain current written agreements defining their delegated authority.
- Delegating procedures without written protocols. Cosmetic medical services require documented physician authorization and oversight structures.
- Marketing language that misrepresents credentials or independence. Advertising must accurately reflect licensure and supervising physician involvement.
FAQs
Can a nonphysician own my medspa?
How many APRNs or PAs can one physician collaborate with?
Do collaborative agreements need to define prescribing authority?
Are estheticians allowed to perform injectables or medical device procedures?
What documentation must be on file for inspections?
Templates and Operational Playbooks (What to Implement This Week)
Collaborative Practice & Supervision Agreement Template
Because APRNs and PAs must operate under written agreements with a supervising or collaborating physician, your internal template should include:
Parties and practice locations; scope of delegated services; prescribing authority; consultation and referral processes; emergency procedures; documentation standards; and chart-review expectations. Agreements should clearly reflect the physician’s responsibility for cosmetic medical services performed at the registered medical spa.
Delegation & Scope Matrix
Create a written matrix outlining which licensed providers may perform specific treatments. Typical columns include:
- Procedure | Authorized Provider Type | Training Requirements | Delegated Authority | Physician Availability | Complication Management Protocol.
Tennessee law defines cosmetic medical services as treatments that alter or damage living tissue using biologic materials, chemicals, devices, or energy-based systems, so delegation protocols must reflect physician oversight.
Monthly Quality Assurance (QA) Pack
Maintain a recurring QA file that includes:
- Meeting agendas and minutes; chart review summaries; complication or adverse-event tracking; device maintenance documentation; and updated protocols approved by the supervising physician.
- Because the medical director attests responsibility for cosmetic medical services through the state registry, documentation demonstrating active oversight strengthens compliance readiness.
Cosmetic Medical Device & Treatment Binder
Instead of a device-specific licensing binder, Tennessee practices typically maintain a centralized clinical binder that includes:
- Delegation policies; training records; consent forms; treatment logs; and protocols for procedures like injectables, energy-based treatments, and microneedling.
- Microneedling devices, for example, are classified as cosmetic medical devices capable of altering living tissue, meaning they fall under medical spa oversight requirements.
Marketing Compliance Checklist
Review advertising regularly to confirm:
- Accurate provider titles; supervising physician identification; credential transparency; and claims that reflect clinical oversight. Medical spa registration rules require disclosure of supervising physician information in signage and advertising materials.
Building a Defensible Structure (Clinical Oversight + Business Operations)
Many Tennessee medical spas use a structure that separates clinical care from administrative management:
- A physician-led clinical entity controls medical records, treatment protocols, and delegation decisions;
- A separate management organization may handle operations such as staffing, scheduling, marketing, or billing support.
Tennessee law places responsibility for cosmetic medical services squarely on the supervising physician listed on the medical spa registry, so governance documents should clearly reflect physician authority over clinical matters.
Implementation Plan (30/60/90 Days)
Days 1–30: Foundation & Documentation
- Confirm active medical spa registration and supervising physician listing.
- Inventory all licenses, collaborative agreements, and supervision contracts.
- Consolidate clinical protocols, consent forms, and delegation matrices so they align with Tennessee Board of Medical Examiners rules.
Days 31–60: Oversight in Practice
- Begin routine QA meetings and chart reviews consistent with collaborative or supervisory agreements.
- Audit documentation workflows to ensure the supervising physician has access to records and consultation processes remain active.
Days 61–90: Risk Hardening & Growth
- Train staff using documented competency checklists tied to written protocols.
- Review marketing materials and signage for compliance with physician disclosure requirements.
- Establish a public-facing compliance statement outlining patient safety practices and medical director oversight.
How Medical Director Co. Supports Tennessee Medspas
Access to Qualified Tennessee Physicians
Collaborative Agreement & Supervision Support
Ongoing Quality Assurance Systems
Telehealth & Remote Supervision Integration
Compliance Monitoring
As Tennessee medical spa rules evolve, we help update templates, protocols, and operational documents to reflect current board expectations.
Medical Director Co. provides Tennessee clinics with licensed physicians, compliance frameworks, and documentation systems designed to support safe and lawful growth.
Areas We Serve
We provide licensed medical directors and compliance support for clinics across Tennessee, including major metropolitan areas: