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NAT I O N A L A S S O C I AT I O N O F B O A R D S O F P H A R M A CY A I D T O G O V E R N M E N T – T H E P R O F E S S I O N – T H E P U B L I C – 1 9 0 4 TO 2 0 0 0 Anderson Presents VIPPS at FIP Congress As the at the 60th International of at least one representative Verified Congress of the Federation from each of FIP’s 60 member Internet Internationale Pharmaceutique nations. Entitled “VIPPS and the Pharmacy (FIP), held in Vienna, Austria, Regulation of Online Pharmacy Practice in August. Upon the request of Practice,” Anderson’s remarks Sites™ FIP President Peter Kielgast, outlined the VIPPS program and (VIPPS™) and with the assistance of John illustrated how the program program Gans, executive vice president could translate internationally. continues of the American Pharmaceutical to grow, so does its reputation. Association (APhA), Anderson Proof of this is NABP Chairman addressed the members of the Dyke F. Anderson’s presentation FIP Council, which is composed At a press conference held at the August meeting, Kielgast (continued on page 126) Applications/Database Management Department Launched NABP has launched a new organized for research, publi- applications and submissions applications and database cations, and all of NABP’s next year. NABP’s testing management department to programs.” programs, licensure programs, better serve the state boards of pharmacy. The Application/Database “Centralizing the data entry primary function is data entry, function will create database manage- more consistent ment, and data procedures, data analysis. The depart- definitions, and ment processes and database manage- controls data enter- ment across ing the databases NABP’s programs,” through multiple says Carmen A. media, including Catizone, NABP scannable registra- executive director/ tion and application secretary. “This will forms; electronic allow data collected and submissions from boards and processed by the Applications/ testing vendors; manual data Database Management depart- entry; and data editing. The ment to be available to state department is expected to boards in real time and process more than 30,000 127 Survey Finds Nutraceuticals Being Added to Pharmacy Curriculum 128 Legal Briefs: Why Don’t You Staaay, Just a Little Bit Longer... 135 138 NABP Accepting Awards Nominations 2000-2001 Committee and Task Force Members ION OF BOA AT R CI DS PHARM OF AC Y TIONAL ASS O NA (continued on page 127) Management department’s 19 0 4 ® VOLUME 29 - NUMBER 9 - OCTOBER/NOVEMBER 2000 in this issue Anderson Presents VIPPS at FIP Congress (continued from page 125) announced FIP’s interest in the safer for consumers around Anderson’s speech included VIPPS certification program. the world. general and background There, he noted that the VIPPS Anglo-Saxon countries. FIP, headquartered in The Hague, is the umbrella organization for pharmacy worldwide. “The presentation was received overwhelmingly beyond my expectations,” says Anderson. “In the time remaining after the speech I was able to answer a number of questions, although there were more that I could not get to because of time constraints. I also received wonderful comments after the speech from people who came to me with questions or wanting additional information.” He added that throughout the conference attendees — Dyke F. Anderson, NABP chairman complementing him on the VIPPS certification program. Anderson says it is very important to introduce other countries to the VIPPS program. “As a national association, NABP can assist state boards in regulating the pharmacy sites within the borders of the United Currently, NABP is helping Australia and Canada implement the VIPPS certification program. “If all goes well,” says NABP President Jerry Moore, “the VIPPS system will be in place internationally by the end of the year.” States. However, international An international VIPPS pro- sites that are prescribing and gram would be based upon the selling drugs illegally require same principles that guide the cooperation with other coun- original VIPPS program. tries throughout the world in International sites wishing to order to fully protect consumers.” be considered for VIPPS certifi- There is no need to reinvent cation must be appropriately the wheel, Anderson adds, licensed or registered in all and other pharmacy regula- jurisdictions in which they tors realize that VIPPS can be practice pharmacy, and they modified to fit their countries’ must meet criteria review and needs, making pharmacy sites on-site inspection by a VIPPS program, as well as information from the NABP Executive Committee’s May meeting, when approval to expand the VIPPS program internationally was granted. Anderson will also be giving a presentation on VIPPS at the Drug Information Association Workshop on October 24 in Washington, DC. For additional information about the VIPPS program, please contact NABP at 847/698-6227, or visit the Association’s Web site at www.nabp.net. ION OF BOA AT R CI PHARM OF AC Y know more about VIPPS and “As a national association, NABP can assist state boards in regulating the pharmacy sites within the borders of the United States. However, international sites that are prescribing and selling drugs illegally require cooperation with other countries throughout the world in order to fully protect consumers.” DS approached him, wanting to information about the VIPPS TIONAL ASS O NA program lends itself well to 19 0 4 ® The NABP Newsletter (ISSN 0027-5700) is published ten times a year by the National Association of Boards of Pharmacy (NABP) to educate, to inform, and to communicate the objectives and programs of the Association and its 68 member boards of pharmacy to the profession and the public. The opinions and views expressed in this publication do not necessarily reflect the official views, opinions, or policies of NABP or any board unless expressly so stated. The subscription rate is $35 per year. National Association of Boards of Pharmacy 700 Busse Highway Park Ridge, Illinois 60068 847/698-6227 www.nabp.net [email protected] Carmen A. Catizone Executive Director/Secretary Courtney M. Karzen Editorial Manager © 2000 National Association of Boards of Pharmacy. All rights reserved. No part of this publication may be reproduced in any manner without the written permission of the Executive Director/Secretary of the National Association of Boards of Pharmacy. accredited team of inspectors. OCTOBER/NOVEMBER 2000 126 Survey Finds Nutraceuticals Being Added to Pharmacy Curriculum Consumer interest in herbal herbal or nutraceutical pharmacists about alternative products and nutraceuticals courses; and, of those schools medicines. continues to grow. But are that responded, less than 2% pharmacy schools equipping offer no type of herbal or students with the tools to nutraceutical course. effectively counsel patients Herbal and nutraceutical product courses cover many topics, including the role of the Food and Drug Administration regarding alternative medi- (FDA) in regulating drugs versus cines? NABP surveyed 81 US dietary supplements, clinical schools and colleges of phar- efficacy studies for herbs, macy to find out if the study of product standardization issues, nutraceuticals has reached the and documented drug interac- classroom. tions. Also, many schools cover Of the 58 schools that re- the top 10-20 herbal products sponded to the survey, 41 offered on the market, discuss- include the teaching of herbal ing advocated uses, efficacy, products as either part of The survey results indicate ineffectiveness, side effects, another course (ie, over-the- there is a definite, growing known drug interactions, and counters and therapeutics) or trend to include the study of clinical “pearls” for practice. as a required course solely herbal products in pharmacy dedicated to herbal products curricula. According to the and/or nutraceuticals. A survey, many schools currently further breakdown shows that changing their curricula to the nearly 40% of responding entry-level PharmD degree will schools have required herbal be incorporating herbal and or nutraceutical courses; 31% nutraceutical information into have both elective and required their programs. Colleges and courses; approximately 28% of schools of pharmacy recognize schools offer only elective the need to educate future Information about herbals and nutraceuticals is widely available, but the amount of information from critical studies is limited. The NABP survey shows that the academic world understands the need for students to become more knowledgeable about this topic. Applications/Database Management Department Launched (continued from page 125) and communications depart- Foreign Pharmacy Graduate to NABP’s Web site and the ment, which were previously Equivalency Examination™ department has begun process- ® responsible for entering and (FPGEE ) applications. The maintaining their own data, department receives and are supported by the new processes disciplinary informa- department, which began tion for the NABP Clearing- functioning in June. house and for the Healthcare Currently, the department processes NAPLEX® (North American Pharmacist Licensure Examination™) and Multistate Pharmacy Jurisprudence Examination™ (MPJE™) registration forms; NAPLEX score transfer requests; and OCTOBER/NOVEMBER 2000 Integrity and Protection Data Base (HIPDB) program. Verified Internet Pharmacy Practice Sites™ (VIPPS™) certified pharmacy information and Pharmacist and Pharmacy Achievement and Discipline® (PPAD®) information is posted ing NABP meeting registrations. Once fully staffed and operational, the department will assume responsibility for data analysis and synchronization of data across all of NABP’s databases. Also this new department will soon be generating standard and ad hoc reports and supporting research projects for NABP programs as well as the state boards of pharmacy. 127 LegalBriefs Why Don’t You Staaay, Just a Little Bit Longer … By Dale J. Atkinson, JD As has been headaches, antidepressant In an unrelated case, and stressed on numer- medications, antianxiety within a few months of the ous occasions, agents, and migraine medica- death of the technician, the regulatory boards tion as well as the analgesics same physician pleaded guilty to must understand Stadol and Nubain. a Class D felony of fraudulently the parameters under which they may operate. Boards of pharmacy are statutorily created and empowered through a legislatively enacted practice act. It is within this statutory authority that boards must carry out their duties and responsibilities. Actions outside the scope of authority will be considered ultra vires acts, or acts beyond the scope of authority. The consequences of acting outside the scope of authority can be severe, ranging from the removal or limitation of the immunity protections granted to boards and board members to a judicial reversal or prohibition from enforcing important regulatory board decisions. Eventually, the technician transferred to another medical center for consultation with a physician regarding her drug dependence and mental health. At her own insistence, the technician was discharged. Her discharge diagnosis and analysis included depression; attempting to obtain Demerol. Based upon this guilty plea, the State Board of Registration for the Healing Arts ordered the physician to appear for a hearing. One of the grounds for discipline for the hearing included a citation to a specific statute which stated: drug seeking behavior; previous The license of a physician history of intravenous and shall be automatically intramuscular Stadol drug revoked at such time as the abuse; psychogenic purpura; final trial proceedings are cephalalgia; history of ulcer- concluded whereby a ative skin lesions, probably physician has been adjudi- self-inflicted; and suspected cated and found guilty or history of childhood sexual has entered a plea of guilty abuse. The evaluating physi- or nolo contendere in a cian notified the prescribing felony criminal prosecution physician of the technician’s under the laws of the State drug problem. The evaluator of Missouri, the laws of any wrote, “Because of her history other state, or the laws of of drug seeking behavior and the United States of the out-of-hospital use of America for any offense Consider the following facts. A Stadol without a physician’s reasonably related to the licensed osteopathic physician prescription, I think it is very qualifications, functions or and surgeon who practiced important to minimize any duties of a physician. family medicine became narcotics or other dependency addicted to narcotics and inducing drugs that this alcohol. The physician struck patient could come in contact up a relationship with a labora- with.” In spite of this analysis, tory technician in the hospital the physician continued to where the physician was on prescribe Demerol to the staff. The technician became his technician. He also prescribed patient shortly thereafter. For 70 tablets of a Schedule II drug several years, the physician containing hydrocodone and prescribed and administered two prescriptions for Stadol. excessive amounts of Demerol Shortly thereafter, the techni- to the technician. He also cian died of an overdose of Eighteen months later, the prescribed medication for severe morphine. Board initiated a new disciplin- OCTOBER/NOVEMBER 2000 Based upon the guilty plea, the Board revoked the physician’s license but stayed the revocation and placed his license on probation with conditions for five years. The Board also ordered the physician not to prescribe or administer any controlled substances, Stadol, or Nubain. 128 ary action against the same Following this interpretation, stay of execution. Conse- physician. The charges related the court held that the intent quently, the court held that, to the physician’s treatment of of the general assembly was to because the portion of the the technician. After a hearing, restrict the discretion of the Board’s order staying the the Board issued a second Board. That is, the Board’s revocation of the physician’s disciplinary order suspending only determination was license and placing it on the physician’s medical license whether the physician was probation was void, the for a period of 60 days; placing convicted of a felony that was physician no longer had a his license on probation with reasonably related to the license as of the entry date of conditions for a period of 10 qualifications, functions, or the first disciplinary order. As years; and restricting him from duties of a physician, a finding a result of this revocation, the prescribing, administering, affirmed by the Board and not physician no longer had a dispensing, ordering, or pos- valid license and could not be sessing controlled substances subjected to the second and certain other drugs. The physician appealed the Board’s second disciplinary order. On appeal, and before addressing the specific allegations of error raised by the physician, the court, on its own volition, considered whether the Board The court appears to hold that the initial revocation of the physician’s license divested the board of jurisdiction to hear a second disciplinary matter. disciplinary order. In so holding, the court held that the issues on appeal by the physician for the second disciplinary order were moot. The issue of whether a Board has “jurisdiction” over an individual or practitioner is had acted within its jurisdiction important to note under these when it stayed the revocation of circumstances. While not the physician’s license in the contested by the physician. overtly stated in the opinion, first disciplinary hearing. In its However, the Board could not the court appears to hold that initial assessment, the court “stay” the statutorily mandated the initial revocation of the cited the general rule that if the revocation. Specifically, the physician’s license divested the Board exceeded its jurisdiction court held that the Board board of jurisdiction to hear a to assess the discipline and if exercised unauthorized discre- second disciplinary matter, in the board exceeded and violated tion in staying its revocation of spite of the fact that the its statutory authority, such the physician’s license and circumstances giving rise to acts were void. placing such license on proba- this second set of allegations tion. According to the court, took place while the physician the Board had only one option was duly licensed. It may be under the circumstances, important for regulatory revocation. boards, under certain circum- The court considered the language of the specific statute which called for the “automatic revocation” of the license of the physician if the criminal guilty The court also cited the general verdict were reasonably related rule that when an administra- to the practice of medicine. The tive agency usurps its author- court concluded that the term ity, its unlawful act is void. “automatic” meant self-acting Thus, the physician’s license and, thus, “a license cannot was revoked as of the first revoke itself.” disciplinary order and was not subject to a Board-ordered OCTOBER/NOVEMBER 2000 stances, to initiate an additional disciplinary action against an already disciplined licensee to provide further sanctions to better protect the public health. This is especially true in jurisdictions where (continued on page 134) 129 The Academic Perspective Flexibility through Demonstration Projects By David B. Brushwood, JD The pace of change more, health care has become cannot be done due to the in health care is more evidence-based, and impossibility of studying an increasing, and decisions about authorizing illegal practice. One of the the solutions to changes in practice are not insidious costs of maintaining new problems likely to be made based on a status quo is that new ideas require approaches fuzzy promises in the absence are not put to the test. This is that were unan- of solid supportive data. probably not always a bad ticipated as recently as a decade ago. In pharmacy, conscientious practitioners are considering new ways of doing things. Pharmacy practice innovations include central fill, call centers, unit-of-use State boards of pharmacy are charged with the responsibility to protect the public health, but increasingly they are accepting correlative responsibility for public health promotion. State regulation is not thing. Many ideas are halfbaked and do not warrant even a test. Testing bad ideas would expose the public to harm and betray the public trust that has been placed in the various governing bodies. simply a negative force that Perhaps one effective option for prevents bad practices. It can recognizing the need to be also be a positive force that flexible in regulation, and to enables good practices. Unfor- also continue a high level of tunately, state boards of public health protection, is to In many states, some or all of pharmacy are sometimes legislatively authorize boards of these approaches to practice restricted in the positive pharmacy to approve pilot violate laws that were enacted influence they can exert on studies or demonstration at a time when innovation was pharmacy practice by restric- projects that may include not so critical for professional tive enabling legislation violations of technical legal survival. In the mid-twentieth containing rules that may requirements, but also contain century, a change in profes- have lost their usefulness. oversight mechanisms to packaging, therapeutic interchange, automated dispensing, and the expanded use of supportive personnel. sional practice could wait for the deliberate legislative process to first react to proposals, then consider options, and finally adjust to the slowly changing times. Changes in practice could be thoroughly reviewed, exhaustively discussed, and then implemented through regulations in plenty of time to enable beneficial improvements in practice. In addressing this problem, the quandary legislators will face is how to accept new ways of practice, in the absence of data to support the new practices and with continued assurance that the public will not be unnecessarily placed at risk of harm. Legislators who ask for evidence that an innovative practice is both safe and effective will be frustrated by adequately protect the public. In this way, innovative pharmacists would have the opportunity to at least try out a seemingly good idea and produce the compelling data that should lead to rapid adoption of productive change. Formal quality checks would detect any threats to the public that might arise during the pilot study, and a pilot study would be ended if unacceptable risks In contemporary practice, the the scant supportive data they time it takes to amend state are likely to receive. A practice legislation can lead to lost that has not been legal, and There is precedent for such an opportunities for a pharmacy that the legislature is being approach in the medication use profession that is adjusting to asked to approve, will not be system. An investigational new new demands and to increased supported by data because drug (IND) exemption is, in public expectations. Further- studies that might support it effect, a formal way for the OCTOBER/NOVEMBER 2000 to the public became evident. 130 Food and Drug Administration a modern health care system. plan of study could include (FDA) to permit a technical They suggest that regulators background information violation of the law to occur reflect on how their activities regarding the proposed activity under very controlled circum- might impede constructive and its expected value, as well stances. According to the Food, innovation in the design and as identification of individuals Drug, and Cosmetic Act, it is provision of health care ser- involved with the activity and illegal to place into interstate plans for the protection of commerce an unapproved new human subjects. In fact, a drug. However, the Act permits the FDA to allow unapproved new drugs into interstate commerce under an IND exemption because there otherwise would be no drug studies and no innovation in drug therapy. There is a risk to the public from the use of unapproved new drugs under an IND, but it is a necessary risk and it is a controlled risk. In a similar fashion, state State boards of pharmacy could consider permitting unapproved new drug use activities that would otherwise be illegal, on the condition that the activities be done within a study that bears the characteristics of a controlled clinical trial. new drug use activities that would otherwise be illegal, on the condition that the activities be done within a study that bears the characteristics of a controlled clinical trial. It is necessary for state legislatures to permit these studies to occur, just as the Congress has permitted unapproved new drugs to be used in limited ways. In their landmark book, New Rules: Regulation, Markets, and the Quality of American Health Care, authors Troyen Brennan and Donald Berwick argue for the establishment of “safe havens” for major innovation in health care. They note that regulation has historically tended to undervalue innovation as an essential feature of OCTOBER/NOVEMBER 2000 require that all such projects be approved by an Institutional Review Board familiar with the necessaries for protecting human subjects in experimentation. The pharmacy profession is serious about meeting expanded responsibilities, but some regulations currently hinder innovation necessary to meet expanded responsibilities. Boards of pharmacy can be boards of pharmacy could consider permitting unapproved board of pharmacy could vices. Anticipating that some regulators will be concerned about the risks of innovation, Brennan and Berwick state: “Some will fear that forces of irresponsibility might be unleashed, but to them we reply that risks can come from two types of imbalance: too much innovation and too little.” empowered to authorize the “safe havens” for innovation the profession wants and needs. But this will require legislation that the profession will have to propose and support. Pilot studies and demonstration projects may be the best way to provide immediate opportunities for innovation and lasting legislation State boards of pharmacy can that incorporates into wide- be trusted to permit studies of spread practice new knowledge promising new approaches to from isolated successes by a medication use, and to not few pioneers. permit poorly conceived studies, under authority they might Attorney David Brushwood is a be given to allow demonstra- professor at the University of tion projects. Just as the FDA Florida College of Pharmacy. He requires a protocol for an IND holds degrees from the Univer- exemption, the boards could sity of Kansas, Schools of require a plan of study for a Pharmacy and Law. demonstration project. The 131 Compliance News Maine Board Urges Caution with OxyContin Prescriptions The Maine Board of Pharmacy reported in its September Newsletter that the Maine Department of Professional larly OxyContin. “Make sure stances, including you verify all information with OxyContin, that cannot the prescribing physician,” be copied; n advises Cameron. use numbers followed by The Maine Board of Pharmacy words to describe the made the following recommen- quantity and strength of dations. medication; n and Financial n Regulation1 has patient and the name of the pharmacy urged pharmacists diagnosis; ask selected by the patient for and physicians to questions, controlled substance use extreme caution especially of prescriptions as well as for when prescribing or first-time the patient’s insurance filling prescriptions patients; plan; and for narcotic drugs, n especially controlled tion to the selected phar- OxyContin. According substances macy, when feasible, for to the Board, alter- prescriptions authentication. ation and forgery of written for prescriptions for large quanti- Watch for n specify on the prescription fax a copy of the prescrip- 1 OxyContin are at an ties; evaluate all time high in the state. Know your the ordered dosage; n Always verify telephoned and The Department of Professional and Financial Regulation is the umbrella state agency for numerous licensing boards including the Board of Pharmacy. The Board of Licensure in Medicine and the Board of Osteopathic Licensure are affiliated with the Department. OxyContin, prescribed by faxed prescriptions by physicians primarily for comparing them with hard chronic pain management, copies provided by the Searching for Compliance Officer Correspondents has replaced hydrocodone as patient; and NABP is searching for Compli- Inspect the quality of ance Officer correspondents among drug dealers. The prescription paper presented from all districts for the Newsletter reported that for alterations or forgeries. “Compliance News” column the street drug of choice n during the past two months, four deaths caused by The Maine Board of Licensure OxyContin overdoses have in Medicine has also made been reported in Maine. recommendations to their physicians to address the that runs every other month in the NABP Newsletter. Articles feature topics such as drug diversion scams, prescription forgery problems, and inspector Greg Cameron, senior phar- possible conflict between macy inspector for the Maine adequate prescribing for pain Board of Pharmacy, has asked and diversion of drugs for illicit If you would like to serve as a pharmacies and licensed use. The Medical Board recom- correspondent, contact Lara pharmacists to follow certain mended that physicians: Jackson, editor, at NABP guidelines for filling prescrip- n headquarters, 847/698-6227. tions for any narcotic or controlled substance, particu- OCTOBER/NOVEMBER 2000 use special prescription training programs. forms for scheduled sub- 132 Health Law Officers Conference Program November 12-14, 2000 Beau Rivage Hotel Biloxi, Mississippi Sunday, November 12 9 - 10:30 AM 3 - 3:30 PM Magnolia Ballroom E-G Magnolia Ballroom E-G Understanding the PBM Operation Refreshment Break 11AM - 7 PM Magnolia Foyer Registration/Information Desk Open 1 - 1:15 PM Magnolia Ballroom E-G Welcoming Remarks Carmen A. Catizone, Executive Director/Secretary, NABP 1:15 - 2 PM 0.15 CEUs – 1.5 contact hours Program #: 205-000-00-012-L04 Sponsored by: Merck-Medco Manged Care, LLC Moderator: Donna M. Horn, Member, NABP Executive Committee Presenter: Kim Caldwell, Member, Texas State Board of Pharmacy Tuesday, November 14 8:30 AM - Noon Magnolia Foyer Registration/Information Desk Open 8:30 - 9 AM Magnolia Foyer Continental Breakfast 9 AM - Noon Magnolia Ballroom E-G 10:30 - 10:45 Keynote Address Alan J. Parisse, motivational and inspirational futurist Magnolia Foyer Magnolia Ballroom E-G Refreshment Break Workshop: Inspecting for Pharmaceutical Care Outcomes AM 10:45 AM - 12:15 2 - 5 PM PM Magnolia Ballroom E-G Magnolia Ballroom E-G Legislative Update Street Drug Update 0.15 CEUs – 1.5 contact hours Program #: 205-000-00-013-L03 Sponsored by: Eli Lilly & Co 0.3 CEUs – 3.0 contact hours Program #: 205-000-00-011-L01 Sponsored by: Walgreen Co Moderator: Richard “Mick” Markuson, President-elect, NABP Presenter: Harold L. Crossley, Associate Professor of Pharmacology, University of Maryland Dental School Moderator: B. Belaire Bourg, Jr, Member, NABP Executive Committee Presenter: John F. Atkinson, Counsel, NABP Legal Counsel 12:30 - 2 PM Camellia B Magnolia Ballroom E-G HLOC Award Luncheon Presiding: Dyke F. Anderson, Chairman, NABP Refreshment Break 2 - 5 PM 6:30 - 8 PM Magnolia Ballroom E-G Pavillion/Special Event Area Workshop: Investigating Internet Pharmacies 3:30 - 3:45 PM Welcoming Reception (Casual Attire – shorts, jeans, slacks, dresses.) Monday, November 13 8:30 AM - 5 PM Magnolia Foyer Registration/Information Desk Open 8:30 - 9 AM Magnolia Foyer Continental Breakfast OCTOBER/NOVEMBER 2000 0.3 CEUs – 3.0 contact hours Program #: 205-000-00-014-L03 Sponsored by: Pfizer Pharmaceuticals Group Moderator: John A. Fiacco, Treasurer, NABP Presenters: Timothy J. Benedict, Assistant Executive Director, Ohio State Board of Pharmacy Carla J. Stovall, Attorney General, Kansas 0.3 CEUs – 3.0 contact hours Program #: 205-000-00-015-L03 Sponsored by: PDX-NHIN, Inc Moderator: Vicki Schmidt, Member, NABP Executive Committee Panelists: Carol E. Fisher, Director of Enforcement, Investigation, and Compliance, Texas State Board of Pharmacy Llyn A. Lloyd, Executive Director, Arizona State Board of Pharmacy David Nau, Assistant Professor of Pharmaceutical Systems and Policy, West Virginia University School of Pharmacy John D. Taylor, Executive Director, Florida Board of Pharmacy Charles R. Young, Executive Director, Massachusetts Board of Registration in Pharmacy 10 - 10:30 AM Magnolia Ballroom E-G Refreshment Break Noon Magnolia Ballroom E-G Closing Remarks Jerry Moore, President, NABP 133 Around theAssociation Tennessee Board Awarded Survey Luncheon Gift Certificate The Tennessee Board of Pharmacy was selected as the owner of the Rexall Drug in n Larry J. Lantier, Jr, RPh Plentywood. n Richard J. Oubre, RPh Arizona Board Moves to New Office Retirements Leonard Eugene Herberlee The Arizona State Board of retired in July from the Pharmacy office has moved. The Nevada State Board of Board’s new address is 4425 W Pharmacy after 26 years of Olive Ave, Suite 140, Glendale, affiliation. During his time AZ 85302-3844. The phone with the Board, he served as a numbers have also changed: the member for three terms. He main office number is 623/463- first became associated with 2727 (ASBP) and the new fax the Board in 1974 as a part- number is 623/934-0583. The time inspector. In 1992, after Montana Board Names New Executive Director, Member Board’s home page address has closing his pharmacy and not changed and is accessible at retiring as a Board member, www.pharmacy.state.az.us. Herberlee became a full-time Check the Web site for Board inspector until his retirement. The Montana Professional meeting minutes, state phar- Licensing Division hired macy practice act, existing After 30 years of governmen- Rebecca Deschamps, RPh, as Board administrative regula- tal service to the District of the executive director for the tions, and proposed regulations. Columbia, Barbara Hagans, Montana Board of Pharmacy. Deschamps, a graduate of the New Board Members University of Montana School Louisiana recently appointed of Pharmacy, assumed her several new Board members, position as the new executive who are listed below. director on October 9. n Joseph L. Adams, RPh representative is Toylanda n Brian A. Bond, RPh Brown and can be reached by recently appointed to the Montana Board. Mann is co- n Lois R. Anderson, RPh 2000 winner of the annual drawing for the Survey of Pharmacy Law luncheon. State board offices that returned their updated Surveys to the NABP office by the deadline were eligible for the drawing. Robert Mann, RPh, was licensing specialist and contact representative with the District of Columbia Board of Pharmacy, has retired from her position as of August 31, 2000. The new calling 202/442-4778. LegalBriefs (continued from page 129) revoked licensees can apply for placed in that order to ensure reinstatement after a specified compliance by the disciplined period of time. practitioner as well as to This, of course, raises an additional important issue for regulatory boards to consider. provide a basis for future board Notice: This opinion has not been released for publication in the permanent law reports. It may be subject to a motion for re-hearing or transfer. It may be modified, superseded, or withdrawn. members to consider any such re-application for licensure. Attorney Dale J. Atkinson is a partner in the law firm of When drafting final orders, it is Cantrell v. State Board of Registra- Atkinson & Atkinson, counsel for imperative that reinstatement tion for the Healing Arts, 2000 WL NABP. rights (or the lack thereof) be 864987 (Mo. App. W.D.) OCTOBER/NOVEMBER 2000 134 NABP Accepting Awards Nominations Nominations for please consider the following their endeavors, best exemplify NABP’s 2001-02 criteria. the objectives of NABP, regard- Honorary Presi- less of their affiliation with the dent, the Lester Honorary President E. Hosto Distin- Nominees for Honorary Presi- guished Service dent should have served on Award, and the one or more of NABP’s com- Presented by NABP’s past Fred T. Mahaffey mittees or task forces and have presidents and named in honor Award must be received by participated in district and of NABP’s executive director Carmen A. Catizone, NABP’s annual meetings. In general, emeritus, the Fred T. Mahaffey executive director/secretary at nominees must have demon- Award recognizes a member Association headquarters no strated a strong commitment board of pharmacy that has later than December 31, 2000. to NABP, the mission of the made significant contributions The awards will be presented Association, and the profes- to the profession during the during NABP’s 97th Annual sion of pharmacy. past year. Specifically, the Meeting in Seattle, Wash, May Lester E. Hosto Distinguished Service Award 5-9, 2001. The letters of nomination, along with a brief biography or current curriculum vitae of the The Distinguished Service nominee, must be accom- Award (DSA), named in panied by a narrative explain- memory of NABP’s 1990-91 ing why the nominee should be President Lester E. Hosto, is considered for an award. the highest honor bestowed by When nominating a colleague or state board of pharmacy, Association. Fred T. Mahaffey Award nominated board’s efforts must have contributed to the protection of the public health and welfare through the enforcement of state and federal laws and regulations and the advancement of NABP’s goals and objectives as specified in the Constitution and Bylaws. the Association. The DSA Nominations will be reviewed plaque and pin are awarded to by the NABP Executive Com- those individuals who, through mittee, which will select the Honorary President and award recipients. NABP Seeks ACE Volunteers The 2001-02 Honorary Presi- NABP is seeking volunteers Mokhiber, Bryan H. Potter, the 97th Annual Meeting’s Third to serve on its Advisory and Donald H. Williams Business Session on Tuesday Committee on Examinations expire May 31, 2001. All afternoon, May 8. Later that (ACE), which oversees the three members are eligible evening, during NABP’s annual development and administra- for reappointment. Appoint- Awards Dinner, the Lester E. tion of all the Association’s ments will become effective Hosto Distinguished Service examination programs. The June 1, 2001. Award and the Fred T. Interested individuals should Mahaffey Award presentations submit a written statement of will be made. NABP’s 2000-01 interest and a current resume Honorary President, H. Lee or curriculum vitae to NABP Gladstein, will also be honored Executive Director/Secretary at that time. Carmen A. Catizone at NABP For more information regarding The terms of current ACE headquarters no later than the nominating process or the members Lawrence H. December 29, 2000. awards, please call NABP Committee also considers policy matters, develops longrange planning strategies, and recommends appropriate action on issues specific to NABP’s Executive Committee. dent will be announced during headquarters at 847/698-6227. OCTOBER/NOVEMBER 2000 135 AGuidance Dose of Humor for the New Graduates (and Not So New Graduates) By Phil D. Script My trusty pharmacy intern Al as photocopied prescriptions, have to be careful, though, that Buterol had done such a terrific different colored inks on the you do not refuse outright to fill job over the last few years I same prescription, lack of these prescriptions because they simply had to give him more required prescription informa- may be for patients who have than just a passing grade so he tion, etc. It is the tricky terminal illnesses or are in could finish his P-7 year and techniques used to dupe chronic pain. Talk to the finally graduate. Because there unwitting pharmacists for patient or caregiver. Find out are very few things that I savor which you have to be vigilant.” what is afflicting the patient more than pontificating, I dragged out my worn soapbox so I could give, as a gift to Al, lustrous pearls of wisdom that every new graduate should heed. “For instance, beware of the patient who lives very far from your pharmacy and is seeking to have you fill her prescription. Engage her in conversa- and what other non-controlled medications the patient has tried for treating his or her condition. When in doubt, verify the suspect prescription with the prescriber.” My many years with the tion and find out what the organization allowed me to medication is for and where “On the other hand, you must interact with the boards of she works. It is possible that also be on the watch for pharmacy and review many she works nearby and is filling prescribers who are writing disciplinary orders against the prescription on her way to illegitimate controlled sub- pharmacists. I saw recurring or from work. On the other stance prescriptions. If you see themes in these orders and in hand, she may have had these that one particular prescriber the misconduct that gave controlled substance prescrip- writes many of the controlled pharmacists the opportunity to tions filled at many different substance prescriptions that meet their board members on a pharmacies all over the area, you fill on a daily, weekly or personal level. and you are her latest target. monthly basis, call the pre- Also, if she is paying cash, be scriber to determine his or her even more cautious. In all areas of practice. But here is cases where you suspect the where it gets difficult. Calling prescription may not be an illegally practicing pre- legitimate, call to verify the scriber to verify one of his prescription with the pre- prescriptions will probably be scriber. Consider calling other fruitless. Use your best judg- local pharmacists to determine ment in filling his prescriptions “Go ahead, Mr Script,” urged whether they have filled similar based upon information you Al, “I am hanging on your every prescriptions for her. You will obtain about the patient’s word.” Filled with pride and a be surprised by what you find if condition, medication history, bit of hubris, I began to you do a little investigating.” and other treatments, pharma- “Al,” I said, “you pay attention to what I am going to say and follow my advice, and your pharmacist license should remain blemish-free until the day you quit practicing pharmacy.” dispense to my soon-to-bedeparted protégé some kernels of wisdom. Al squealed, “I like the idea of playing ‘detective’; what else should I look for when I fill ceutical and non-pharmaceutical, that the patient is receiving to address his condition.” “First and foremost,” I ex- controlled substance “Are there any other golden plained, “quickly learn what to prescriptions?” nuggets regarding controlled look for to determine whether a controlled substance prescription is legitimate. Some things will tip you off right away such OCTOBER/NOVEMBER 2000 “Obviously,” I said, “unusually high doses and prescriptions substance prescriptions?” Al eagerly asked. written for large numbers of “Last but not least, my young tablets are always suspect. You budding pharmacist, be on the 136 lookout for prescribers, such as employees you supervise, even is accepted. For instance, many dentists, podiatrists, or optom- when you are not around, states will only accept American etrists who prescribe medica- engages in conduct that Council on Pharmaceutical tions that are outside the violates the state’s practice act. Education (ACPE)-approved CE; scope of their practice. For If you choose to become a PIC some states require a certain example, dentists, optom- and you understand and number of CE hours be completed in particular areas of etrists, and podiatrists have no legitimate reason to prescribe weight loss medications, whether for themselves or for others. If a person describing herself as a doctor self-prescribes sibutramine (Meridia), find out what kind of “doctor” she is. If the medication is outside the reasonable scope of her practice, not only should you not fill the prescription but also you should report her to the professional board that issued her license and regu- “Pharmacists should make sure they understand the CE requirements of every state in which they are licensed: the total number of CE hours they must obtain, the time frame in which they must complete the CE hours, and the type of CE that is accepted. pharmacy practice such as pharmacy law; and, some states only allow a certain number of CE hours to be completed as part of a home study program. The balance of CE hours may have to be completed in-person in the form of ‘live’ seminars and lectures. It is imperative that pharmacists contact all applicable boards of pharmacy to determine each state’s CE requirements and coordinate these obligations with their calendars so they do not have lates her practice.” too few hours or the wrong type Al was scribbling furiously and, accept any additional legal without even looking up from responsibilities you have, then his notepad, pleaded for more make sure your employer “Is there any other insight you advice and guidance. adequately compensates you can give me, Mr Script? I want for your increased accountabil- to have a squeaky clean ity under the law.” record!” Al beamed. offered a position as the “Finally, Al, continuing educa- “Al, make duplicate copies of pharmacy manager or the tion, or CE, is an easily your CE credits, and keep the pharmacist-in-charge (PIC), overlooked requirement that extra copy in a safe place away before you accept, find out many pharmacists neglect.” from your hungry dog, out of “Two more points I would like to make. First, when you are what legal responsibilities you have under the pharmacy practice act in your state and decide whether you are able to “But that is not an onerous duty, and it is a pretty easy obligation to meet.” Al seemed confused. assume and carry out these additional responsibilities. In “Pharmacists should make sure some states, PICs may be they understand the CE require- responsible for the activities of ments of every state in which their employees as they relate they are licensed: the total to the practice of pharmacy. number of CE hours they must This is a very broad responsi- obtain, the time frame in which bility, and your license could they must complete the CE be disciplined if one of the hours, and the type of CE that OCTOBER/NOVEMBER 2000 of CE hours.” your flood-prone basement, and away from your ornery employer who could fire you and refuse to give you your CE certificates.” And with that, I confidently stepped off my soapbox, congratulated Al on completing pharmacy school in only nine years, and gingerly slid the rickety box under my desk to await my next preaching engagement. 137 2000-2001 Committee and Task Force Members NABP President Jerry Moore has appointed the following individuals to serve as members of the Association’s 2000-2001 committees and task forces. Every effort has been made to accommodate individual requests to serve on a committee or task force and to assure uniform representation from all regional districts. Executive Committee Honorary President ................... H. Lee Gladstein, New Jersey State Board of Pharmacy Chairman ................................ Dyke F. Anderson, Nebraska Board of Pharmacy President .......................................... Jerry Moore, Alabama State Board of Pharmacy President-elect ............. Richard “Mick” Markuson, Idaho Board of Pharmacy Treasurer ..................................... John A. Fiacco, New York Board of Pharmacy Member ................................ B. Belaire Bourg, Jr, Louisiana Board of Pharmacy Member ...................................... Paula L. Castor, Pennsylvania State Board of Pharmacy Member ...................................... Donna M. Horn, Massachusetts Board of Regulation in Pharmacy Member ..................... S. Patricia “Tris” McSherry, New Mexico Board of Pharmacy Member ........................................ Vicki Schmidt, Kansas State Board of Pharmacy Member ....................................... Donna S. Wall, Indiana Board of Pharmacy Committee on Constitution and Bylaws Chair ........................................ Michael A. Moné, Kentucky Board of Pharmacy Member ...................................... Wayne A. Camp, Louisiana Board of Pharmacy Member ............................................. Karen Ryle, Massachusetts Board of Registration in Pharmacy Member ................................ Charles Curtis Barr, Nebraska Board of Pharmacy Member ................................ Robert P. Giacalone, Ohio State Board of Pharmacy Alternate ................................. Kendall M. Lynch, Tennessee Board of Pharmacy Alternate ........................... Eugene “Gene” Drake, Arizona State Board of Pharmacy EC Liaison ........................... B. Belaire Bourg, Jr, Louisiana Board of Pharmacy Committee on Law Enforcement/Legislation Chair .................................... Richard A. Palombo, New Jersey State Board of Pharmacy Member .............................. Dennis K. McAllister, Arizona State Board of Pharmacy Member ........................ Jeanne Gilligan Furman, Maryland Board of Pharmacy Member ........................... Clayton Oxford Wilson, Alabama State Board of Pharmacy Member ..................................... Catherine Polley, Michigan Board of Pharmacy Member .......................................... Linda Labenz, Nebraska Board of Pharmacy Member ....................................... Larry L. Pinson, Nevada State Board of Pharmacy Alternate ............................. Timothy J. Benedict, Ohio State Board of Pharmacy Alternate .................................. Charles A. Young, Massachusetts Board of Registration in Pharmacy EC Liaison .............................. Dyke F. Anderson, Nebraska Board of Pharmacy Task Force on Expanded Use of the Internet in Pharmacy Practice and Regulation Chair .............................................. Ann D. Abele, Ohio State Board of Pharmacy Member ...................... William L. “Buck” Stevens, Mississippi State Board of Pharmacy Member ...................................... Audrey H. Neely, Illinois Department of Professional Regulation Member ............................................ Helen Fong, Florida Board of Pharmacy Member ................................... Richard R. Smiga, Pennsylvania State Board of Pharmacy Member ............................................. Lydia Main, West Virginia Board of Pharmacy Member ..................................... Sam M. Costello, Alabama State Board of Pharmacy Alternate ................................ Patricia F. Donato, New York Board of Pharmacy EC Liaison ................ S. Patricia “Tris” McSherry, New Mexico Board of Pharmacy Task Force on Model Guidelines for Formulary Development Chair ..................................... William T. Winsley, Ohio State Board of Pharmacy Member ............................. Edith G. Goodmaster, Connecticut Commission of Pharmacy Member .................................... Stephen R. Statz, South Dakota State Board of Pharmacy Member ................................... John P. Bohlman, Wisconsin Pharmacy Examining Board Member ....................... Anthony W. Alexander, Jr, New Jersey State Board of Pharmacy Member ................................... Davis C. Hook, Jr, South Carolina Board of Pharmacy Member ...................................... Carl O. Benson, Minnesota Board of Pharmacy Alternate ................................ Thomas F. Dudley, Oklahoma State Board of Pharmacy EC Liaison ................................. Donna M. Horn, Massachusetts Board of Regulation in Pharmacy (continued on next page) OCTOBER/NOVEMBER 2000 138 VIPPS-Certified Online Pharmacies Total 13 With the addition of www.accuratepharmacy.com clinical services to manage medication compliance and www.eMD.com, there are now a total of 13 associated primarily with chronic disease states. online pharmacy sites that have earned Verified The online pharmacy is licensed in 46 states and Internet Pharmacy Practice Sites™ (VIPPS™) has 80 managed care contracts associated with certification. more than 170 million patients. The site’s password-protected medication Accurate Medical Equipment & management and charting applica- Supply Co, Inc, a privately tion includes electronic prescribing, owned pharmacy and durable online medical charting, drug fulfill- medical equipment (DME) ment by the patient’s chosen phar- company, launched macy, and clinical care services such www.accuratepharmacy.com in as monitoring chronic disease June 2000. The full-service site patients for prescription compliance. offers pharmaceuticals (specializing in unit dose bronchodilators and TPN As VIPPS-certified sites, accuratepharmacy.com therapy), oxygen and respiratory therapy prod- and eMD.com may display the VIPPS hyperlink ucts, DME, an on-staff respiratory therapist to seal of approval on their Web sites. By clicking on answer questions on respiratory care, and the VIPPS seal, consumers will be able to find the diabetic supplies. verified information they need to make informed Also VIPPS certified, eMD.com, a business-tobusiness Internet health care subsidiary of BioShield Technologies, Inc, offers consumers online prescription fulfillment and provides decisions regarding their choice of online pharmacies. Consumers may also access the VIPPS database directly via NABP’s Web site at www.nabp.net. 2000-2001 Committee and Task Force Members (continued from previous page) Task Force on Drug Diversion through Institutional Outlets Chair .................................... Byron “Tom” Alford, Alabama State Board of Pharmacy Member ........................................ Susan Ksiazek, New York Board of Pharmacy Member .................................. Wallace E. Nelson, North Carolina Board of Pharmacy Member ..................................... David Flashover, New York Board of Pharmacy Member ................................... Donald P. Gibson, Minnesota Board of Pharmacy Member ....................................... John D. Taylor, Florida Board of Pharmacy Member .................................... Dennis M. Jones, South Dakota State Board of Pharmacy Alternate .................................. L. Stan Haywood, North Carolina Board of Pharmacy Alternate ...................................... Wiki Erickson, Texas State Board of Pharmacy EC Liaison ................................... Donna S. Wall, Indiana Board of Pharmacy Member ....................................... John D. Taylor, Florida Board of Pharmacy Member ............................... Charles S. Campbell, Arkansas State Board of Pharmacy Member ...................................... Lloyd K. Jessen, Iowa Board of Pharmacy Examiners Member ................................... Gary A. Schnabel, Oregon State Board of Pharmacy Errata In the September 2000 issue of the NABP Newsletter, Dennis McAllister was said to Focus Group to Regulate Patient Outcomes have been the executive director of Arizona Member ................................... Charles R. Young, Massachusetts Board of Registration in Pharmacy Member .................................... David D. Dryden, Delaware State Board of Pharmacy State Board of Pharmacy, in fact, he once OCTOBER/NOVEMBER 2000 served as president of that Board. 139 NABP Meeting Dates Friday-Sunday, November 10-12, 2000 District IV Meeting, Radisson Hotel & Suites, Chicago, Ill Friday, May 5, 2001 Pre-convention Executive Committee Meeting The Sheraton Seattle Hotel, Seattle, Wash Saturday-Sunday, November 11-12, 2000 Executive Committee Meeting, Beau Rivage Hotel, Biloxi, Miss Saturday-Wednesday, May 5-9, 2001 97th Annual Meeting, The Sheraton Seattle Hotel, Seattle, Wash Sunday-Tuesday, November 12-14, 2000 Health Law Officers Conference, Beau Rivage Hotel, Biloxi, Miss ION OF BOA AT R CI DS PHARM OF AC Y TIONAL ASS O NA Friday-Sunday, February 2-4, 2001 Executive Committee Meeting Location to be Announced 19 0 4 ® newsletter National Association of Boards of Pharmacy 700 Busse Highway Park Ridge, Illinois 60068 OCTOBER/NOVEMBER 2000 140