Acr Practice Parameter For Diagnostic CT
Acr Practice Parameter For Diagnostic CT
Acr Practice Parameter For Diagnostic CT
and clinical
medical physicists in the United States. The College is a nonprofit professional society whose primary purposes are to advance the science of radiology,
improve radiologic services to the patient, study the socioeconomic aspects of the practice of radiology, and encourage continuing education for
radiologists, radiation oncologists, medical physicists, and persons practicing in allied professional fields.
The American College of Radiology will periodically define new practice parameters and technical standards for radiologic practice to help advance the
science of radiology and to improve the quality of service to patients throughout the United States. Existing practice parameters and technical standards
will be reviewed for revision or renewal, as appropriate, on their fifth anniversary or sooner, if indicated.
Each practice parameter and technical standard, representing a policy statement by the College, has undergone a thorough consensus process in which it has
been subjected to extensive review and approval. The practice parameters and technical standards recognize that the safe and effective use of diagnostic
and therapeutic radiology requires specific training, skills, and techniques, as described in each document. Reproduction or modification of the published
practice parameter and technical standard by those entities not providing these services is not authorized.
This document is an educational tool designed to assist practitioners in providing appropriate radiologic care for
patients. Practice Parameters and Technical Standards are not inflexible rules or requirements of practice and are
not intended, nor should they be used, to establish a legal standard of care1. For these reasons and those set forth
below, the American College of Radiology and our collaborating medical specialty societies caution against the
use of these documents in litigation in which the clinical decisions of a practitioner are called into question.
The ultimate judgment regarding the propriety of any specific procedure or course of action must be made by the
practitioner in light of all the circumstances presented. Thus, an approach that differs from the guidance in this
document, standing alone, does not necessarily imply that the approach was below the standard of care. To the
contrary, a conscientious practitioner may responsibly adopt a course of action different from that set forth in this
document when, in the reasonable judgment of the practitioner, such course of action is indicated by the condition
of the patient, limitations of available resources, or advances in knowledge or technology subsequent to
publication of this document. However, a practitioner who employs an approach substantially different from the
guidance in this document is advised to document in the patient record information sufficient to explain the
approach taken.
The practice of medicine involves not only the science, but also the art of dealing with the prevention, diagnosis,
alleviation, and treatment of disease. The variety and complexity of human conditions make it impossible to
always reach the most appropriate diagnosis or to predict with certainty a particular response to treatment.
Therefore, it should be recognized that adherence to the guidance in this document will not assure an accurate
diagnosis or a successful outcome. All that should be expected is that the practitioner will follow a reasonable
course of action based on current knowledge, available resources, and the needs of the patient to deliver effective
and safe medical care. The sole purpose of this document is to assist practitioners in achieving this objective.
1 Iowa Medical Society and Iowa Society of Anesthesiologists v. Iowa Board of Nursing, 831 N.W.2d 826 (Iowa 2013) Iowa Supreme Court refuses to find
that the ACR Technical Standard for Management of the Use of Radiation in Fluoroscopic Procedures (Revised 2008) sets a national standard for who may
perform fluoroscopic procedures in light of the standard’s stated purpose that ACR standards are educational tools and not intended to establish a legal
standard of care. See also, Stanley v. McCarver, 63 P.3d 1076 (Ariz. App. 2003) where in a concurring opinion the Court stated that “published standards or
guidelines of specialty medical organizations are useful in determining the duty owed or the standard of care applicable in a given situation” even though
ACR standards themselves do not establish the standard of care.
Computed tomography (CT) is a radiologic modality that provides clinical information in the detection,
differentiation, and demarcation of disease. It is the primary diagnostic modality for a variety of clinical problems
and is widely accepted as a supplement to other imaging techniques.
CT is a form of medical imaging that involves the exposure of patients to ionizing radiation [1]. According to
National Council on Radiation Protection & Measurements (NCRP) report 160 [2], the radiation exposure from
CT contributes to nearly half of all the radiation exposure from medical procedures to the US population. It
should be performed only under the supervision of a physician with the necessary training in radiation protection
to optimize examination safety [1,3-5]. A Qualified Medical Physicist must be available [6].
CT examinations should be performed only for a valid medical reason and with the minimum exposure that
provides the image quality necessary for adequate diagnostic information [7-10]. This practice parameter applies
to all CT examinations performed in all settings.
Physicians who supervise and interpret CT examinations should be licensed medical practitioners who have a
thorough understanding of the indications for CT as well as a familiarity with the basic physical principles and
limitations of the technology of CT imaging. They should be familiar with alternative and complementary
imaging and diagnostic procedures and should be capable of correlating the results of these with CT findings. The
physicians should have a thorough understanding of CT technology and instrumentation as well as radiation
safety. Physicians responsible for CT examinations should be able to demonstrate familiarity with the anatomy,
physiology, and pathophysiology of those organs or anatomic areas that are being examined. These physicians
should provide evidence of training and the requisite competence to perform CT examinations successfully.
A. Physician
All examinations must be performed under the supervision of and interpreted by a physician who has the
following qualifications:
2Completion of an accredited radiology residency in the past 24 months will be presumed to be satisfactory experience for the reporting and interpreting
requirement.
Maintenance of Competence
All physicians performing CT examinations should demonstrate evidence of continuing competence in the
interpretation and reporting of those examinations. Competency can be assured on the basis of continuing
experience or through monitoring and evaluation that indicates acceptable technical success, accuracy of
interpretation, and appropriateness of evaluation.
The physician’s continuing education should be in accordance with the ACR Practice Parameter for Continuing
Medical Education (CME) and should include CME in CT as is appropriate to the physician’s practice needs
[13].
A Qualified Medical Physicist is an individual who is competent to practice independently one or more of the
subfields in medical physics. The American College of Radiology considers certification, continuing education,
and experience in the appropriate subfield(s) to demonstrate that an individual is competent to practice one or
more of the subfield(s) in medical physics and to be a Qualified Medical Physicist. The ACR strongly
recommends that the individual be certified in the appropriate subfield(s) by the American Board of Radiology
(ABR), the Canadian College of Physics in Medicine, or by the American Board of Medical Physics (ABMP).
A Qualified Medical Physicist should meet the ACR Practice Parameter for Continuing Medical Education
(CME). (ACR Resolution 17, 1996 – revised in 2012, Resolution 42) [13]
The appropriate subfield of medical physics for computed tomography is Diagnostic Medical Physics. (Previous
medical physics certification categories including Radiological Physics, Diagnostic Radiological Physics, and
Diagnostic Imaging Physics are also acceptable.)
A registered radiologist assistant is an advanced level radiographer who is certified and registered as a radiologist
assistant by the American Registry of Radiologic Technologists (ARRT) after having successfully completed an
advanced academic program encompassing an ACR/ASRT (American Society of Radiologic Technologists)
radiologist assistant curriculum and a radiologist-directed clinical preceptorship. Under radiologist supervision,
the radiologist assistant may perform patient assessment, patient management and selected examinations as
delineated in the Joint Policy Statement of the ACR and the ASRT titled “Radiologist Assistant: Roles and
Responsibilities” and as allowed by state law. The radiologist assistant transmits to the supervising radiologists
those observations that have a bearing on diagnosis. Performance of diagnostic interpretations remains outside the
scope of practice of the radiologist assistant. (ACR Resolution 34, adopted in 2006)
D. Radiologic Technologist
The technologist should have the responsibility for patient comfort, preparation and positioning for the CT
examination, monitoring the patient during the examination, and obtaining the CT data in a manner prescribed by
the supervising physician. If intravenous contrast material is to be administered, qualifications for technologists
performing intravenous injections should be in compliance with current ACR policy3 and with existing operating
procedures or manuals at the imaging facility. The technologist should also perform regular quality control testing
of the CT system under the supervision of a medical physicist.
The written or electronic request for a CT examination should provide sufficient information to demonstrate the
medical necessity of the examination and allow for its proper performance and interpretation.
Documentation that satisfies medical necessity includes 1) signs and symptoms and/or 2) relevant history
(including known diagnoses). Additional information regarding the specific reason for the examination or a
provisional diagnosis would be helpful and may at times be needed to allow for the proper performance and
interpretation of the examination.
The request for the examination must be originated by a physician or other appropriately licensed health care
provider. The accompanying clinical information should be provided by a physician or other appropriately
licensed health care provider familiar with the patient’s clinical problem or question and consistent with the
state’s scope of practice requirements. (ACR Resolution 35, adopted in 2006)
Self-referred patients who meet CT screening criteria may not require documentation of signs and symptoms and
may not require a referring provider request.
Images must be labeled with the following: (1) patient identification, (2) facility identification, (3) examination
date, (4) the side (right or left) of the anatomic site imaged, and (5) kVp and mA/mAs or other suitable radiation
dose parameter.
IV. DOCUMENTATION
High-quality patient care requires adequate documentation. There should be a permanent finalized record of the
CT examination and its interpretation. Images of all appropriate areas, both normal and abnormal, should be
recorded in a suitable archival format. An official interpretation (final report) of the CT findings should be
3See the ACR–SPR Practice Parameter for the Use of Intravascular Contrast Media.
Reporting should be in accordance with the ACR Practice Parameter for Communication of Diagnostic Imaging
Findings [14].
V. EQUIPMENT SPECIFICATIONS
See the various anatomic CT procedure practice parameters or technical standards for definitive equipment
specifications.
A. General Policy
Radiologists, medical physicists, registered radiologist assistants, radiologic technologists, and all supervising
physicians have a responsibility for safety in the workplace by keeping radiation exposure to staff, and to society
as a whole, “as low as reasonably achievable” (ALARA) and to assure that radiation doses to individual patients
are appropriate, taking into account the possible risk from radiation exposure and the diagnostic image quality
necessary to achieve the clinical objective. All personnel that work with ionizing radiation must understand the
key principles of occupational and public radiation protection (justification, optimization of protection and
application of dose limits) and the principles of proper management of radiation dose to patients (justification,
optimization and the use of dose reference levels).
http://www-pub.iaea.org/MTCD/Publications/PDF/Pub1578_web-57265295.pdf.
Nationally developed guidelines, such as the ACR’s Appropriateness Criteria®, should be used to help choose the
most appropriate imaging procedures to prevent unwarranted radiation exposure.
Facilities should have and adhere to policies and procedures that require varying ionizing radiation examination
protocols (plain radiography, fluoroscopy, interventional radiology, CT) to take into account patient body habitus
(such as patient dimensions, weight, or body mass index) to optimize the relationship between minimal radiation
dose and adequate image quality. Automated dose reduction technologies available on imaging equipment should
be used whenever appropriate. If such technology is not available, appropriate manual techniques should be used.
Additional information regarding patient radiation safety in imaging is available at the Image Gently® for
children (www.imagegently.org) and Image Wisely® for adults (www.imagewisely.org) websites. These
advocacy and awareness campaigns provide free educational materials for all stakeholders involved in imaging
(patients, technologists, referring providers, medical physicists, and radiologists).
Radiation exposures or other dose indices should be measured and patient radiation dose estimated for
representative examinations and types of patients by a Qualified Medical Physicist in accordance with the
applicable ACR technical standards. Regular auditing of patient dose indices should be performed by comparing
the facility’s dose information with national benchmarks, such as the ACR Dose Index Registry, the NCRP
Report No. 172, Reference Levels and Achievable Doses in Medical and Dental Imaging: Recommendations for
the United States or the Conference of Radiation Control Program Director’s National Evaluation of X-ray
Trends. (ACR Resolution 17 adopted in 2006 – revised in 2009, 2013, Resolution 52).
1. The supervising radiologist, lead CT technologist, and Qualified Medical Physicist should collaborate to
design and review all new or modified protocol settings to ensure that both image quality and radiation
dose aspects are appropriate.
2. The facility should establish radiation dose index thresholds during any new CT protocol design.
3. If an estimated radiation dose index is above the applicable threshold for a routine clinical CT
examination, steps should be taken to adjust the protocol to fall within established values, if possible.
4. A periodic review process should be instituted for all protocols to ensure that no changes have been
applied that may degrade image quality or unreasonably increase radiation dose.
5. Depending on the implementation on a particular scanner, the CT dose index display option should not be
disabled. Such information should be viewed during the examination prescription phase.
6. CT staff should maintain CT-specific continuing education that focuses on patient safety.
Policies and procedures related to quality, patient education, infection control, and safety should be developed and
implemented in accordance with the ACR Policy on Quality Control and Improvement, Safety, Infection Control,
and Patient Education appearing under the heading Position Statement on QC & Improvement, Safety, Infection
Control, and Patient Education on the ACR website (http://www.acr.org/guidelines).
A comprehensive CT quality control program should be documented and maintained at the CT facility. The
program should help minimize radiation risk to the patient, facility personnel, and the public and maximize the
quality of diagnostic information. CT facility personnel must adhere to radiation safety regulations when inside
the scanner room. Overall program responsibility should remain with the physician, but specific program
implementation should be supervised by the medical physicist in compliance with local and state regulations as
well as manufacturer specifications. The facility should maintain a record of quality control tests, frequency of
their performance, description of procedures and a list of individuals or groups performing each test. The
parameters of technique, equipment testing, and acceptability of limits for each test should also be maintained,
along with sample records for each test. Quantitative dose determination should be conducted periodically, in
addition to equipment performance monitoring.
The supervising physician should review all practices and policies at least annually. Policies with respect to
contrast and sedation must be administered in accordance with institutional policy as well as state and federal
regulations. A physician should be available on-site whenever intravenous, intra-disc, intra-articular, or intrathecal
contrast is administered [11,12]. A physician should be available on-site whenever intravenous sedation is
administered [15].
Appropriate emergency equipment and medications must be immediately available to treat adverse reactions
associated with administered medications [15]. The equipment and medications should be monitored for inventory
and drug expiration dates on a regular basis. The equipment, medications, and other emergency support must also
be appropriate for the range of ages and sizes in the patient population.
For the pregnant or potentially pregnant patient, see the ACR–SPR Practice Parameter for Imaging Pregnant or
Potentially Pregnant Adolescents and Women with Ionizing Radiation [27].
Equipment performance monitoring should be in accordance with the ACR–AAPM Technical Standard for
Diagnostic Medical Physics Performance Monitoring of Computed Tomography (CT) Equipment [28].
ACKNOWLEDGEMENTS
This practice parameter was revised according to the process described under the heading The Process for
Developing ACR Practice Parameters and Technical Standards on the ACR website
(http://www.acr.org/guidelines) by the ACR Commission on Body Imaging.
Principal Reviewer
Joseph G. Cernigliaro, MD, FACR
REFERENCES
1. Mahesh M. MDCT Physics: The Basic--Technology, Image Quality and Radiation Dose. First ed.
Philadelphia, Pa: Lippincott Williams & Wilkins; 2009.
2. National Council on Radiation Protections and Measurements (NCRP). Ionizing radiation exposure of the
population of the United States, NCRP Report No. 160. Bethesda, Md2009.
3. Christner JA, Zavaletta VA, Eusemann CD, Walz-Flannigan AI, McCollough CH. Dose reduction in helical
CT: dynamically adjustable z-axis X-ray beam collimation. AJR Am J Roentgenol. 2010;194(1):W49-55.
*Practice parameters and technical standards are published annually with an effective date of October 1 in the
year in which amended, revised or approved by the ACR Council. For practice parameters and technical
standards published before 1999, the effective date was January 1 following the year in which the practice
parameter or technical standard was amended, revised, or approved by the ACR Council.