Telehealth Insurance in Alabama

Alabama treats a physician’s telehealth service as occurring where the patient is physically located, so physicians generally need an Alabama license when treating an Alabama patient. The rule also sets a follow-up trigger for unresolved conditions and additional conditions for remote controlled-substance prescriptions. 1,2

What Is Virtual Care And Telehealth?

Telehealth liability can cover claims arising from remote health care, such as a video visit or remote monitoring. If you provide care online, match the quote to your clinicians, services and patient locations; cyber and in-person risks need separate review. Read the national Virtual care and telehealth guide.

What to Watch for in Alabama

  • Patient Location Sets the State

    Alabama treats a physician’s telehealth service as occurring at the patient’s location. An out-of-state physician has narrow exceptions for fewer than 10 service days or fewer than 10 patients in a calendar year, consultation with an Alabama physician for up to 10 days, and necessary care for a patient being transported into Alabama. Tell your broker which clinicians treat Alabama patients and how often; an exception to licensure does not establish policy coverage. 1,2

  • Unresolved Conditions Can Trigger In-Person Care

    After more than four telehealth visits in 12 months for the same unresolved condition, a physician must see the patient or refer for in-person care within a reasonable time, capped at 12 months. The rule excludes statutory mental-health services; qualifying video with specified licensed personnel at the patient site can count as in-person, but LPCs and LSWs do not qualify. Ask how your workflow documents this trigger and how your quote treats the clinicians and services involved. 1

  • Remote Controlled-Substance Prescribing Has Conditions

    For a controlled-substance prescription by telehealth, Alabama requires synchronous audio or audiovisual communication, an in-person encounter within the prior 12 months, and a legitimate medical purpose established within that period. Those conditions do not apply in an inpatient setting or a medical emergency; qualifying licensed personnel at the originating site may satisfy the in-person encounter, but an LPC or LSW may not. Ask the broker to list remote prescribing services and auxiliary clinicians separately. 2,1

Who Regulates Insurance in Alabama

Alabama Department of Insurance

The Alabama Department of Insurance oversees insurers and licensed producers, reviews insurance filings, and takes consumer complaints. Its online services page links directly to Alabama company and agent searches, licensing resources, and complaint filing. 3,4,5

Surplus-lines tax and stamping office

Reported tax rate: 6% of taxable surplus-lines premium Alabama’s 6% tax applies to surplus-lines premium when Alabama is the insured’s home state; until the state’s multistate compact clearinghouse is operational, Alabama guidance says 100% of the premium on a multistate policy is taxed here. Separately charged policy fees are taxable. Surplus-lines policies do not receive Alabama guaranty-fund protection if the insurer becomes insolvent. 6,7,9,8,12

  • Alabama's diligent-search rule has two exceptions: A broker generally must make diligent effort before a surplus-lines placement; Alabama guidance says three declinations satisfy it. For an exempt commercial purchaser, 15 U.S.C. § 8205 removes that search only after the broker discloses the admitted-market protection difference and the purchaser then requests placement in writing. 8,10,11

Providers With Documented State Licenses

No provider in Spot’s research documents both a state license record and this coverage line. This does not establish that providers are unlicensed. Check the regulator’s license lookup and confirm availability with a provider when requesting a quote.

Questions to Ask Before You Buy in Alabama

  1. Which Alabama-patient services and clinician classes will the policy schedule, including any in-person visits triggered by an unresolved condition?
  2. Does the proposed policy treat remote controlled-substance prescribing and care delivered with an auxiliary clinician at the patient site as covered professional services?
  3. Which Alabama locations and clinician entities are included when an out-of-state physician treats a patient here?

Virtual Care And Telehealth in Alabama: FAQ

Do physicians need an Alabama license to provide telehealth to Alabama patients? 1,2

Generally, yes. Alabama treats the service as occurring where the patient is located; the statute has narrow exceptions for fewer than 10 service days or fewer than 10 patients in a calendar year, consultation with an Alabama physician, and care for a patient being transported into Alabama. 1,2

Can an Alabama physician prescribe controlled substances by telehealth? 1

Yes, subject to state and federal law. Outside an inpatient setting or medical emergency, the visit must include synchronous audio or audiovisual communication, an in-person encounter in the preceding 12 months, and a legitimate medical purpose established in that period. 1

Virtual Care And Telehealth in Other States

Other Coverage in Alabama

Sources

  1. Telemedicine. Alabama Board of Medical Examiners and Medical Licensure Commission; Summary of Ala. Code §§34-24-700–707: license requirement; physician responsibilities; in-person visit requirement; prescribing. Accessed 2026-09-28.
  2. Act 2022-302, Telemedicine Act. Alabama Legislature; §§34-24-700–707, especially §§34-24-702–704. Accessed 2026-09-28.
  3. Alabama Department of Insurance. Alabama Department of Insurance; Official agency homepage. Accessed 2026-09-28.
  4. Online Services. Alabama Department of Insurance; Links to Alabama company search, agent search, producer licensing, and consumer complaint services. Accessed 2026-09-28.
  5. File a Consumer Complaint. Alabama Department of Insurance; Official online complaint process. Accessed 2026-09-28.
  6. Code of Alabama § 27-10-31: Annual Tax of Surplus Line Brokers. Alabama Legislature; Six percent tax on direct surplus-lines premiums, less return premiums and excluding state or federal taxes. Accessed 2026-09-28.
  7. Surplus Line Broker FAQs. Alabama Department of Insurance; Page 2: per-policy fees are subject to the surplus-lines broker tax under § 27-10-31. Accessed 2026-09-28.
  8. Surplus Line Broker Requirements. Alabama Department of Insurance; Current broker licensing and diligent-effort placement requirements. Accessed 2026-09-28.
  9. Surplus Lines. National Association of Insurance Commissioners; Explains that state guaranty-fund protection available in the admitted market is not available for surplus-lines policies. Accessed 2026-09-28.
  10. Surplus Line Broker FAQs. Alabama Department of Insurance; FAQ: three declinations satisfy Alabama diligent effort; FAQ references 15 U.S.C. § 8205 as a separate exception. Accessed 2026-09-28.
  11. 15 U.S.C. § 8205: Streamlined application for commercial purchasers. U.S. House of Representatives, Office of the Law Revision Counsel; Broker's due-diligence search exception for an exempt commercial purchaser requires prior disclosure that admitted-market insurance may offer greater protection/regulatory oversight and the purchaser's subsequent written request for nonadmitted placement. Accessed 2026-09-28.
  12. Instructions for Multi-State Policies. Alabama Department of Insurance; Current instruction: until SLIMPACT clearinghouse is operational, if Alabama is home state of a multistate policy, 100% of premium is taxed at 6% and remitted to Alabama. Accessed 2026-09-28.
  13. Licenses. At-Bay; Current producer introduction and state table; At-Bay Insurance Services LLC; P&C and surplus-lines identifiers. Accessed 2026-09-21.
  14. Licenses and Carriers. Coalition; Licenses and Carriers, re-read 22 September 2026: Insurance Licenses table for Coalition Insurance Solutions, Inc., national producer number 18419475, with producer and surplus-lines numbers for all 50 states and DC including California 0L76155, Georgia 196479, Texas 2199630 and 2205589, Pennsylvania 815731 and 817452, Colorado 539028 and Wisconsin 3000108852. Insurance Carriers table naming, with NAIC numbers, Allianz Underwriters Insurance Company 36420, Arch Specialty Insurance Company 21199, Ascot Specialty Insurance Company 45055, Ascot Insurance Company 23752, Aspen Specialty Insurance Company 10717, Chaucer Insurance Company DAC, Coalition Insurance Company 29530, Fireman's Fund Indemnity Corporation 11380, Fortegra Specialty Insurance Company 16823, Lloyd's of London, MSIG Specialty Insurance USA Inc. 34886, MS Transverse Specialty Insurance Company 41807, Steadfast Insurance Company 26387, Vantage Risk Specialty Insurance Company 16275 and Zurich American Insurance Company 16535. Accessed 2026-09-22.
  15. Insurance Producer Licenses. Corgi Insurance; Current complete Insurance Producer Licenses table for Corgi Insurance Services, Inc.; 50 rows covering 49 states and DC (DC 3003091619); no New Mexico row; no NPN or as-of date shown. Accessed 2026-09-28.
  16. About Hiscox US Insurance. Hiscox; Hiscox Insurance Company Inc. NAIC 10200 as Chicago, IL domiciled insurer admitted or licensed in all 50 states and D.C.; Hiscox Inc. as general agent and Lloyd’s coverholder for Syndicates 33 and 3624; surplus-lines placements through licensed surplus-lines brokers; A.M. Best rating statement. Accessed 2026-09-16.
  17. Licenses. ERGO NEXT Insurance; Current entity-by-state license table reopened 28 September 2026: 50 rows under Next First Insurance Agency, Inc., including Washington, DC; New York rows instead list Next Insurance Services PC-1423070 and AP Intego BR-1198885. Accessed 2026-09-28.
  18. Insurance Licenses by State. TechInsurance; Current state table; identifies TechInsurance as a division of Specialty Program Group LLC d/b/a SPG Insurance Solutions; lists DC 3000041536 and labels Rhode Island “Individual licenses,” without an agency license number. Accessed 2026-09-28.
  19. Licenses. Vouch; Effective 16 January 2025: Vouch Specialty Insurance Services, LLC, NPN 19926463; P&C table (50 states and DC); surplus-lines table includes Idaho 870820; footnote says Georgia and Idaho do not issue agency-level surplus-lines licenses; Idaho retained as producer-only due to conflict. Accessed 2026-09-15.

Updated .

This guide is informational and does not determine whether a policy is available or meets your needs. Editorial policy. To suggest a correction, contact Spot with a supporting source.

Get Help With Insurance Buying and Renewals.

Get help buying coverage and managing renewals, with less paperwork for your team. Start with a free consultation.

Talk to Spot