Reference no: EM132976617
Question:
Part a - Draft email to finance manager and stakeholders inviting for brainstorming session
part b - notes from your online research on risks associated with opening up 24/7
part c & part d - no submissions - select 4 requirements from observation checklist and provide your responses
part e - risk register template - appendix d
part f - draft risk treatment action plan - appendix e. Final risk treatment action plan and final risk register along with version control in the footer & covering email to finance manager briefing risk register and action plan and seeking feedback.
Part g - power point slides communicating the risk treatment action plan to the staff members and select 4 requirements from observation checklist and provide your responses assessment 4
Part A - Fill the table given & DRAFT EMAIL requesting quote
Part B - Draft an email for not responding on time to the company representative
Part C - Evaluation report covering all the points given along with version control
Risk management strategies
In respect to health/fitness assessment and prescription, risk management strategies should also aim to address the law and any published codes/standards of practice.
Additionally, when actioning these risk management strategies, fitness professionals must not only be qualified but must also know how to apply their knowledge, skills and experience to safely attend to a client's characteristics such as age, gender, fitness level and health status.
Strategies may include:
1. Comply with federal laws, applicable state and local laws and codes/standards of practice.
2. Have only qualified fitness professionals conduct and interpret health and fitness assessments.
3. Have only qualified fitness professionals discuss health and fitness assessment results with participants.
4. Set up safety procedures for health-related fitness testing such as a health history questionnaire and selection of appropriate protocols given the health history of the individual.
5. Establish written ‘scope of practice' guidelines for fitness professionals who provide fitness assessments and prescriptions, e.g., it would be inappropriate to have someone conduct fitness testing and prescribe exercise who has had no formal education and assessment of their practical skills in testing/prescription.
6. Establish written ‘scope of practice' guideless for health/fitness professionals who provide nutrition or weight management education.
7. Have only ‘advanced' qualified fitness professionals (e.g., those with credentials such as a master's degree in clinical exercise physiology) provide fitness assessments and advice to high risk populations, as well as ensuring medical advisory committee advice has been taken into consideration.
8. Create a secure, confidential and private documentation management system for data obtained in health and fitness assessments and prescription.
9. Undertake and document continuing education and training programs for fitness professionals as well as keeping records of established scopes of practice and testing protocols used.
10. Establish written ‘scope of practice' guidelines for fitness professionals that provide health and wellness coaching services in person and over the Internet.
Attachment:- Research reports on industry and proposed initiative.rar