National Nurses United

National Nurse magazine Oct-Nov-Dec 2021

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NATIONAL N ational nurses united called on the Federal Trade Commission (FTC) to investigate exploitative employment contracts common in the hospital industry that impose harsh burdens on new registered nurse graduates. NNU issued the request in October in response to a Labor Day message by FTC Chair Lina Khan inviting public comment about contract terms that bind workers. In comments posted to the FTC on Sept. 30, NNU noted that many hospitals require newly hired nurses to sign "New Grad" con- tracts or "RN Residency" contracts as a condition of employment. The contracts force nurses to stay employed at the hospital for a period of years and assess an onerous and substantial penalty if they resign or are terminated. The mandatory contracts expose the nurses to substantial financial burdens if, at a later date, they choose to work at other facilities with safer patient care and work- ing conditions or improved economic standards. Often, noted NNU, the contracts are "disingenuously dressed up as a form of enhanced education with a set cost or 'tuition.'" But, in fact, "the 'education' is the mere basic on-the-job training necessary to perform the nurse's job while the true intent of the contracts is to indenture nurses to the employers." Typically, the contracts are enforced for newly graduated RNs without prior hospital experience but occasionally are also required of more experienced RNs who are hired for a position in a specialized area of a hospital where they do not have previous clinical experience and expertise. The impact can be especially damaging in hospital markets with high levels of con- centration where one, or even all, potential employers in the market require such an agreement as a condition of employment. A California law passed last year could serve as a national model, suggested NNU. AB 2588, sponsored by the California Nurses Association, an NNU affiliate, declared that new grad contracts are unlaw- ful, clarifying that, under existing law, nurses and other hospital employees cannot be held liable for the cost of their own train- ing except under limited circumstances. AB 2588 was signed by California Gov. Newsom last fall. In its comments, NNU posted examples of contracts imposed by three hospital chains, Hospital Corporation of America (HCA), Tenet Healthcare, and MedStar Health. HCA, the largest for-profit health care system, operating 176 hospitals in the United States, is the biggest operator in 20 of what are called Health Referral Regions in the country, controlling more than half the market in seven of them, including 69 percent of all discharges in Panama City, Fla., 58 percent in Asheville, N.C., and 52 percent in Austin, Texas. At HCA's Mission Hospital in Asheville, RNs seeking first-time employment must first sign a contract with HCA subsidiary HealthTrust and participate in the com- pany's StaRN program. The contract requires the nurse to remain employed at the hospital for two years or be subject to a fee of up to $10,000. "This program is also not unique to the Asheville facility and is likely to be found" at other HCA hospitals, NNU wrote. Tenet, the third largest for-profit hospi- tal chain in the country, utilizes a similar strategy to dominate specific hospital mar- kets. In El Paso, Texas, for example, it employs 43 percent of all nurses in acute- care hospitals. Tenet requires newly graduated nurses at its El Paso facilities to commit to two years of employment or face a fee of $10,000. Tenet has a similar pro- gram at its Carondelet St. Mary's Hospital in Tucson, Ariz. MedStar is the largest health system in the District of Columbia metropolitan area, employing about 54 percent of all nurses working in acute-care hospitals. MedStar's Nursing Residency/Bridge Program agree- ment requires 18 months of service or imposes a penalty of $5,000. "Further investigation by the FTC will find this is a pervasive practice in most hos- pital markets in the country," wrote NNU, reiterating a request that the FTC open an investigation into such contracts throughout the hospital industry. "We believe that once these agreements have received due scrutiny, that the FTC will conclude, just as the California Legislature did, that the contracts are in violation of current law and the appropriate remedies must be taken to ensure a fair playing field for nurses and hospital workers," NNU con- cluded. —Charles Idelson RNs call on FTC to investigate hospital contracts Exploitative contracts put harsh burdens on new nurses 2021 Statement of Ownership, Management, and Circulation Publication title: National Nurse. Publication number: USPS 0807-560, ISSN 2153-0386. Filing date: 10-1-2021. Issue frequency: Quarterly, with combined issues in January-February-March, April-May-June, July- August-September, and October-November-December. Number of issues published annually: 4. Annual subscription price: $40. Complete mailing address of known office of publication: 155 Grand Ave., Oakland, Alameda County, California, 94612. Contact person: Lucia Hwang. Telephone: (510) 273-2200. Complete mailing addresses of headquarters or general business office of publisher: Same as above. Publisher: California Nurses Association/National Nurses United, 155 Grand Ave., Oakland, California, 94612. Editor: Lucia Hwang. Managing edi- tor: None. Owner: California Nurses Association/National Nurses United, 155 Grand Ave., Oakland, California, 94612. Known bondholders, mortgagees, and other security holders owning or holding 1 percent or more of total amount: none. Tax status: Has not changed during preceding 12 months. Publication title: National Nurse. Issue date for circulation data below: April-May-June 2021. Extent and nature of circulation: Registered nurse members of CNA/NNU and subscribers. For the following, the first number represents the average number of copies of each issue during preceding 12 months and the second number represents the number of copies of the single issue published nearest to filing date. Total number of copies (net press run): 153,790; 148,245. Mailed outside-county paid subscriptions stated on PS Form 3541: 139,779; 143,921. Mailed in-county paid subscriptions stated on PS Form 3541: 0; 0. Paid distribution outside the mails including sales through dealers and carriers, street vendors, counter sales, and other paid distribution outside USPS: 0; 0. Paid distribution by other classes of mail through the USPS: 34, 46. Total paid distribution: 139,813; 143,967. Free or nominal rate outside-county copies included on PS Form 3541: 0; 0. Free or nominal rate in-county copies included on PS Form 3541: 0; 0. Free or nominal rate copies mailed at other classes through the USPS: 0; 0. Free or nominal rate distribution outside the mail: 0; 0. Total free or nominal rate distribution: 0; 0. Total distribution: 139,813; 143,967. Copies not distributed: 13,977; 4,278. Total: 153,790; 148,245. Percent paid: 100%; 100%. 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