Resources for Australian Osteopaths

Could your osteopathy website contain advertising breaches?

Check your website against five key Ahpra advertising requirements with our free tool.

Claims about recommended care, treatment outcomes and practitioner expertise can all create compliance concerns if not presented appropriately. This guide explains five key advertising rules and includes a free AI-powered audit designed specifically for osteopathy websites.

Why osteopaths specifically?

Osteopathy websites often contain advertising risks without practitioners realising it

The Osteopathy Board of Australia and the Australian Health Practitioner Regulation Agency (Ahpra) expect registered osteopaths to comply with strict advertising requirements.

If your website contains unsupported treatment claims, clinical testimonials, or language that implies guaranteed outcomes, you may be at risk of breaching Ahpra advertising guidelines. Breaches can result in significant penalties, and complaints can be made by anyone — including members of the public, patients, or competitors.
Osteopath examining woman's shoulder for treatment or assessment.

The practical reality.

Most osteopaths who receive an Ahpra notification were not deliberately trying to mislead anyone. Common marketing phrases, well-intentioned patient success stories, or broad statements about what osteopathy can achieve can all unintentionally create compliance issues.
What often matters most is being able to demonstrate that you’ve reviewed your advertising and taken reasonable steps to address potential concerns. This guide and audit tool are designed to help you do exactly that.

The Five Rules

What Ahpra actually checks for on an osteopathy website

These are the five advertising prohibitions under Section 133 of the National Law, written specifically for osteopaths and illustrated with examples that commonly appear on osteopathy websites.

Claims should be accurate, clear and evidence-based (Section 133(1)(A))

If your website discusses services, conditions, treatment outcomes or practitioner expertise, the information must be accurate and supported by acceptable evidence. Advertising can be misleading even when statements are technically true if they overstate what the evidence supports, imply guaranteed outcomes, or suggest specialist qualifications that do not exist.

Likely breach

"Osteopathy can correct the underlying cause of chronic headaches and restore normal body function."

Better wording

“Osteopathy may help people experiencing headaches. Treatment recommendations are based on your individual circumstances and clinical findings.”

Promotional offers need clear terms and conditions (Section 133(1)(B))

Promotions and introductory offers are permitted, but patients must be given clear information about what is included. Any conditions, exclusions, expiry dates and eligibility requirements should be stated prominently.

Likely breach

“New patient appointment only $49!” with no explanation of what the appointment includes.

Better wording

“Initial osteopathy consultation $49 (normally $130). Includes consultation, history-taking and assessment. Does not include follow-up appointments or any additional services. Available to new patients only until 31 December 2026.”

Clinical reviews and success stories are not allowed (Section 133(1)(C))

This is one of the most common compliance issues for osteopaths. Testimonials that refer to symptoms, conditions, treatments or outcomes cannot be used in advertising. This includes website testimonials, embedded review widgets, screenshots of reviews, and social media posts featuring patient feedback.
The restriction applies to platforms controlled by the practice. Reviews that remain on independent third-party platforms such as Google may remain visible, although care should be taken when responding to them.

Likely breach

“★★★★★ My lower back pain disappeared after just two appointments. I can finally exercise again!” — Jane M.

Better wording

Non-clinical feedback relating to customer service, communication, accessibility, or booking experiences are acceptable.

Avoid overstating what osteopathic treatment can achieve (Section 133(1)(D))

Advertising must not create unreasonable expectations about the benefits of treatment. For osteopaths, this means avoiding language that guarantees outcomes, promises recovery, or presents osteopathy as the answer to every health concern.

Likely breach

"Eliminate back pain naturally."

"Permanent relief from neck pain."

"Restore your body to perfect balance."

Better wording

"Osteopathic care may assist with the management of musculoskeletal complaints. Treatment outcomes vary between individuals, and recommendations are based on your specific needs."

Recommend care based on the patient, not the marketing (Section 133(1)(E))

Advertising must not encourage unnecessary or indiscriminate use of health services. This includes suggesting that people require ongoing treatment regardless of symptoms, creating fear about what might happen if they do not attend, or promoting treatment packages that encourage unnecessary appointments.

Likely breach

“You should see an osteopath regularly to keep your body functioning properly."

“Book a 12-month wellness plan to prevent future problems."

Better wording

"We recommend care based on your individual presentation and clinical needs. Treatment plans are reviewed regularly and adjusted according to your progress."

Free site audit

See where your website currently stands

Paste your website URL below. Our AI will read the page, check every line against the five rules above, and tell you exactly which phrases might need rewording — with a suggested rewrite for each.

Audit your osteopath website

Takes about 15 seconds. We don't store your URL or send you anything unless you ask us to.

Free audit includes an initial review of up to five pages. For full-site recommendations, see our complete AHPRA audit service.

Tailored to osteopaths

The AI is briefed on specific guidance from Ahpra and the Osteopathy Board of Australia, not generic compliance rules.

Self-assessment, not surveillance

We don't report findings to Ahpra. The purpose of this tool is to help osteopaths identify and address potential issues before they become a problem.

No legal advice

Where interpretation is unclear or a claim may be contentious, we recommend seeking advice from your professional indemnity insurer or a suitably qualified regulatory lawyer.

About this tool. Built as a self-assessment aid based on the Ahpra Guidelines for advertising a regulated health service, section 133 of the Health Practitioner Regulation National Law, and published guidance from the Osteopathy Board of Australia. It is not legal advice and does not guarantee compliance. For formal advice, consult your professional indemnity insurer or a regulatory lawyer. Official Ahpra resources are available at ahpra.gov.au/Resources/Advertising-hub.

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