Title: DEA REGULATIONS
1DEA REGULATIONS
Frances Cullen, PC 197 14th Street, NW Suite
250 Atlanta, Georgia 30318 www.francullen.com (404
) 806-6771
2OVERVIEW
- 1. Regulation of Controlled Substances State
of Georgia Drug Enforcement Agency (DEA) and
Georgia Drugs Narcotics (GDNA) - 2. Purchasing Controlled Substances
- 3. Power of Attorney
- 4. Required Recordkeeping
- 5. Initial Inventory
- 6. Inventory Control
3OVERVIEW (Contd)
- 7. Administration
- 8. Prescriptions
- 9. Labeling
- 10. Waste disposal
- 11. Documentation
- 12. Security
- 13. Audits
- 14. Addressing Loss or Theft
- 15. Transportation of Controlled Substances
- 16. Diversion drug dependence by all
professionals
4DEA REGULATIONS YOU NEED TO KNOW
- 42 CFR section 1301.12(a) - Requirement for
Separate DEA for Different Locations - 42 CFR 1301.76 Other Security Measures
- 42 CFR 1304.03,1304.04, 1304.21, 1304.22,
General Recordkeeping - 42 CFR 1304.5 DEA Order Forms for Schedule II
drugs Requirements - 42 CFR 1304.11 Inventory Requirements-must
denote open or close-every 2 years
5DEA REGULATIONS YOU NEED TO KNOW (Contd)
- 42 CFR 1304.22(d) Requirement for Separate
Records - 42 CFR 1305 Power of Attorney
- 42 CFR 1305.13 DEA Form 222
- 42 CFR 1307.21 Drug Disposal
6PURCHASING CONTROLLED SUBSTANCES
- Each provider must have a Valid DEA number
- For Schedule II controlled substances, you must
use DEA Form 222 Order forms signed by the
practitioner or another person authorized to
order controlled substances through a valid Power
of Attorney - Controlled Substances may be purchased only from
- Another Registrant, Distributor, or Pharmacy
7PURCHASING CONTROLLED SUBSTANCES (Contd)
- Purchases and transfers for controlled substances
in Schedules IIIV only require a transfer form.
A copy of the transfer form must be maintained by
both the supplier and the receiver.
8POWER OF ATTORNEY
- A Registrant can authorize one or more
individuals to issue orders for Schedule II
controlled substances on the registrants behalf
by executing a Power of Attorney (POA) - The POA must be maintained in the files with
executed DEA Form 222 - The POA must be available for inspection.
9REQUIRED RECORD KEEPING
- Documentation is required every time a controlled
substance changes hands. You must have a paper
trail. - The trail is from the manufacturer, to the
distributor, to the pharmacy and/or the
practitioner, and to the end user. - State and Federal controlled substance laws
require maintenance of controlled substance
records for period of 2 years from the date of
each inventory. The GA Board of Veterinary
Practice requires maintaining records for 3
years. The Statute of Limitations under FDA law
is 5 years, so a 5 year retention policy may be
advisable.
10RECORD KEEPING
- Records must be maintained at the registered
practice location and must be readily retrievable
and open to inspection and copying. - A registrant must maintain a file of receipt
records for their receipt of all controlled
substances. - Keep records for the receipt of Schedule III-IV
drugs separate from Schedule II DEA Form 222
Official Order Forms. - Keep your logbooks for 5 years, the Federal FDA
Statute of Limitations.
11RECORD KEEPING (Contd)
- Keep accessible all DEA Form 222s for Schedule
II controlled substances - Keep accessible your invoices for Schedule III-V
controlled substances.
12KEY DETAILS FOR RECORD KEEPING
- Registrants MUST maintain the following
information for all controlled substances
received - 1. Date of receipt
- 2. Drug Description
- a. Name c. Dose
- b. Drug strength d. Quantity received
- 3. Name, address and DEA number of the supplier
- 4. Name, address and DEA number of the
recipient - 5. Name or initials of employees verifying
receipt of the drugs
13DETAILED RECORD KEEPING (Contd)
- Receipt records may be kept in a handwritten or
typed log, or may be maintained electronically. - The third copies of all DEA Form 222 Order Forms
must be signed and dated to verify receipt of the
Schedule II drugs.
14INITIAL INVENTORY
- On the date of receipt and stocking of any
controlled substance, you must perform an initial
inventory of the controlled substances on hand. - The following information must be documented
- 1. Date
- 2. Documentation of whether the inventory was
taken at Opening or Close of business, or if the
practice location is open 24 hours a day, the
time of the inventory - 3. Drug name
- 4. Drug strength
- 5. Dosage form
- 6. Quantity of dosage units on hand
15INITIAL INVENTORY (Contd)
- The initial inventory of Schedule II drugs must
be maintained on a separate form and document
then the initial inventory of Schedule IIIV
drugs. - Do not perform an inventory that combines
Schedule II drug counts with drugs in Schedule
IIIV, and do not include any non-controlled
drugs on inventory documents.
16ANNUAL INVENTORY
- An initial inventory is taken on the first day
you start stocking controlled substances. - An annual inventory must be taken on any date
that is within one year of initial stocking and,
from then on, on any date within one year of the
previous annual inventory date. - The same information must be maintained in the
annual inventory as is required for an initial
inventory.
17CHECKLIST!
- All of the six areas of information listed for
your initial inventory must be documented. - Schedule II drugs should be documented on a
separate form. - Do not combine non-controlled drugs on the annual
controlled substance inventory. - For tax purposes, and to save time and work, you
may coincide your annual inventory date with the
date of your business inventory at the end of the
year.
18COUNT, COUNT, COUNT!
- Include all controlled substance dosage units in
your inventory regardless of whether they are in
stock bottles, have been set aside for
destruction, are samples, or are outdated. - You must have an exact count for Schedule II
controlled substances - When Schedule II controlled substances are
counted, they must be hand-counted every time.
No estimates! - Â
19COUNTING (Contd)
- Counting Schedules IIIV controlled substances
- -You may open a bottle and estimate the number
of units if the stock bottle is labeled to
contain less than 1,000 dosage units. - -If the stock bottle is labeled to contain 1,000
units or more, then an individual hand count must
be performed to provide an exact count. - If you stock all schedules, you must have two
annual inventory documents one for Schedule II
and one for Schedules IIIV. - You may choose to perform them on the same date.
20LOG YOUR INVENTORY!
- Many practitioners choose to maintain an ongoing
log of all drugs administered or dispensed. This
provides an ongoing count every day of what they
have used and what they still have on hand. - Perpetual logs are useful and encouraged, and
deter theft and diversion, but do not replace the
requirement to have a specific annual inventory
document. They are also not required by law. - Annual inventories must always be separate
documents that stand-alone and are maintained
separately.
21PRESCRIPTIONS
- Prescriptions are written orders provided only to
patients. - Prescriptions may not be written to obtain stock
for administering and dispensing in a clinic. - A practitioner must establish a legitimate need
to prescribe controlled substances through an
assessment utilizing pertinent diagnostic tools
and the determination that there is a valid need
for the drug(s) prescribed. - A patient chart must be maintained!
22PRESCRIPTIONS (Contd)
- All prescriptions for controlled substances must
contain the following information - 1. The date in the upper right hand corner must
be the date the prescription was written and
signed. - 2. Name and address of the patient/pet owner
- 3. The species of the animal.
- 4. Drug name, dosage form, drug strength,
quantity, and directions for administration. - 5. Original ink signature of the veterinarian.
- 6. Veterinarians DEA number.
- 7. Name and address of the veterinarian
23GA BOARD OF PHARMACY LAW
- Effective October 2011, the Georgia Board of
Pharmacy now requires that all Schedule II
prescription drugs be sequentially numbered and
written on approved security paper. - Keep a separate file of copies of your Schedule
II prescriptions.
24ADMINISTRATION/DISPENSING
- Maintain a Controlled Substance Dispensing or
Administration Log that contains the following - 1. Date of administration at facility or
dispensing to patient - 2. Patient name/owner
- 3. Patient address/owner
- 4. Drug name
- 5. Drug strength
- 6. Dosage form
- 7. Quantity
- 8. Whether it was Administered (A) or Dispensed
(D) - 9. Name or initials of employee performing the
administering/dispensing
25ADMINISTRATION/DISPENSING(Contd)
- This administration/dispensing log should be
maintained and filed separately from patient
charts. - This document should account for the use and
disposition of all controlled substances utilized
in the practice.
26WHATS IN A LABEL?
- Labeling
- All controlled substances must be dispensed in
child proof containers with required labels and
stickers. - Required labeling
- 1. Date of dispensing
- 2. Name and address of dispensing practitioner
- 3. Patients name
- 4. Drug name, drug strength, dosage form and
quantity - 5. Directions for administration
- Â
27WHATS IN A LABEL? (Contd)
- Warning labels
- All controlled substances dispensed must bear a
warning sticker that informs the owner that it is
illegal to transfer controlled substances to
anyone other than the patient for whom it was
dispensed. These stickers are available through
drug companies or pharmacies. - Packaging
- Controlled substance samples in FDA approved
pre-packaged containers are not required to be
repackaged. - Controlled substances cannot be dispensed in
envelopes, plastic bags or other unapproved
containers.
28DOCUMENT PATIENT CHARTS
- All use of controlled substances must be
documented in the patients chart. - Each prescription, administration and dispensing
chart note must contain - 1. Date
- 2. Activity
- 3. Drug Name
- 4. Strength
- 5. Dosage Form
- 6. Quantity
29DOCUMENT PATIENT CHARTS (Contd)
- If you do not stock controlled drugs and you only
prescribe, then controlled substance
prescriptions must only be documented in the
patients charts. - If you administer and dispense controlled
substances, you must document this information
both in the administration/dispensing log and
then again in the patient chart.
30WASTE YOUR CONTROLLED
- Controlled substances are wasted or destroyed for
two reasons - 1. The drugs are outdated, expired or
unwanted or - 2. They have been contaminated by patient
contact. - Only controlled substances contaminated by
patient contact may be destroyed onsite by a
practitioner. - When a drug has been contaminated by patient
contact it should be destroyed beyond reclamation
by two people and the required documentation
should be completed. - Outdated/expired controlled substances may not be
destroyed on site by a practitioner without prior
approval from the United States Drug Enforcement
Administration.Â
31WASTE YOUR CONTROLLED(Contd)
- When a drug has not been contaminated and is
expired, outdated, recalled or unwanted, it must
be sent to a reverse distributor. - The DEA Website maintains a current list of
reverse distributors. - The reverse distributor will inventory the drugs
you wish to have destroyed, and they will remove
and destroy the drugs for you. - They will provide you with a receipt to show that
- you transferred the controlled drugs to
them. - This document must be maintained for 2 years.
-
32TRANSFER OF CONTROLLED SUBSTANCES
- You must maintain transfer records for transfers
to a reverse distributor or if you sell
controlled substances to another practitioner. - There is a pre-printed Transfer of Controlled
Substances Form on the DEA website. - All transfers of Schedule II drugs must be
documented on a DEA Form 222.
33TRANSFER OF CONTROLLED SUBSTANCES (Contd)
- Schedule IIIV drugs may be transferred on a form
containing all required documentation - 1. Name, address and DEA number of the supplier
- 2. Name, address and DEA number of the receiver
- 3. Date of the transfer
- Name, strength, dosage form and quantity of the
drug(s) transferred - If both parties have a copy of these documents,
it can serve as a transfer document for the
supplier, and also a receipt record for the
receiver.
34DOCUMENT YOUR WASTE!
- Any unused portion of a syringe must be
documented as wastage. - Wastages may be documented on an
administration/ dispensing log or on a separate
document in the same file for the documentation
of waste. - When drugs are wasted or destroyed, they must be
destroyed beyond reclamation. - Always have a witness to your wasting.
35DOCUMENT YOUR WASTE (Contd)
- When controlled substances are wasted because of
contamination by patient contact, the following
documentation must occur - 1. Log must have registrants name and address
- 2. Date of wastage
- 3. Time of destruction/wastage
- 4. Patients name
- 5. Drug name, drug strength, and quantity
destroyed - 6. The reason for the wastage
- 7. Signature or initials of the person
performing the destruction - 8. Signature or initials of the second person
witnessing the destruction.
36SECURITY!!!
- All registrants are required to have adequate
controls in place to detect and prevent the
diversion of controlled substances. - Some security measures are physical, such as
alarms, safes, and locks. - Other security measures include the
implementation of good practice and office
policies, and maintaining required records.
37SECURITY AND STORAGE
- STORAGE
- All controlled substances must be stored in a
securely locked and substantially built safe or
cabinet. - The security provided must be commensurate with
the quantity and types of controlled substances
stocked. - Controlled substances may not be left out
unattended and/or where unauthorized persons
would have access to them. - Prescription pads should be secured in a locked
drawer or cabinet.
38 EMPLOYEE SECURITY
- BACKGROUND CHECKS
- Obtain a criminal history or a Georgia Crime
Information Center (GCIC) Report on all employees
or potential employees. - Employees with a criminal history of a conviction
or plea to a drug crime may not have access to
controlled substances unless the DEA grants a
rule waiver for that person.
39BEST PRACTICES FOR SECURITY
- Routinely review controlled substance laws and
regulations so you are familiar with
requirements. - 2. Contact DEA authorities when you have
questions or concerns. - 3. Implement a written policy to ensure
compliance with the DEA and to ensure that
employees know how controlled substances are to
be handled in your office. - 4. Conduct periodic training with your staff.
- 5. Conduct periodic reviews and self inspections
of your own practice. - 6. Periodically audit and reconcile your drug
counts against your record keeping to ensure
that all drugs are accounted for, no drugs are
missing, and there are no record keeping errors. -
40BEST PRACTICES FOR SECURITY
- 7. Review your invoices from drug companies to
ensure you authorized the drug purchase. - 8. When possible, have all controlled drug
activities performed by two people, not one. - 9. The person who orders and purchases the drugs
should be a different person than the person who
receives, checks them in, and adds them to
inventory. Ideally, a third person should pay the
bills. - 10. Separate the duties of ordering, receiving
and paying so there are checks and balances.
41BEST PRACTICES FOR SECURITY (Contd)
- The person who receives controlled substance
shipments and checks them in should have a second
person verify what was received and that the
drugs are accurately being added to the perpetual
inventory logs. - Although not required, perpetual inventory logs
are encouraged to provide an ongoing record of
what you have dispensed and what you have
remaining in supply. - Do not allow patients and visitors access to drug
supplies! This means if drugs are missing, it is
an employee who is responsible.
42POLICIES AND PROCEDURES
- Policies and procedures that require oversight
and witnesses protect both you, your practice,
and your employees because if there is a
discrepancy in the drug count, consistent
compliance with policies will protect you and
your practice from theft and potential liability,
and protect employees from false accusations. - Restrict the number of people who have access to
your drugs. - 3. Have a policy in place requiring random drug
testing for employees. Even if you do not want
to conduct random drug testing on a regular
basis, you should be able to demand a drug test
during the course of an internal investigation
should drugs be missing.
43POLICIES AND PROCEDURES (Contd)
- 4. Periodically you should personally review
your administration and dispensing logs to make
sure that an employee has not removed drugs and
made up the name of a fictitious patient you
dont remember treating. - 5. Set up a calendar or reminder system so you
know when it is time for an annual inventory for
the renewal of licenses and registrations.
44HOW TO HANDLE LOSS/THEFT
- There may be small losses in compounding or in
using a syringe. These are considered
insignificant losses occurring in the course of
normal practice. You should document these so
that your records will always balance. - A significant loss occurs anytime you are missing
a controlled substance, you do not know where it
went, and cannot account for it. These
significant losses, which may indicate theft and
diversion of controlled substances, must be
reported to the DEA immediately upon discovery. -
-
45CALL THE DEA GDNA
- 1. When a significant loss or theft is
discovered, immediately call, fax, or email the
DEA 1(800)-882-9539. You should also report the
loss by using DEA Form 106. The DEA form may be
submitted electronically from their website at
www.deadiversion.usodj.gov within one business
day. - 2. You may also want to call the GA Drugs and
Narcotics Agency at (404) 656-5100.
46TRANSPORTATION OF CONTROLLED SUBSTANCES
- Everyone who orders, dispenses, prescribes or
administers a controlled substance must be
registered with the DEA. - Mobile practitioners should be registered at
their base of operations storage must occur
at the base. - Your drugs must be stored and accounted for in
accordance with DEA regulations. - Non-profit status does not exclude any
practitioner from DEA requirements.
47TRANSPORTATION OF CONTROLLED SUBSTANCES
- Drugs should be removed from the vehicle when not
doing ambulatory calls remember hot summer
weather and cold winter weather can affect drugs. - You must have a locked tool box in your vehicle
for such use.
48EUTHANASIA
- Animal protection laws, along with Federal and
State law govern euthanasia - O.C.G.A. 4-11-5.1
et seq. - DEA Rules and Regulations
- Georgia Board of Pharmacy Law and Rules
- Georgia Board of Veterinary Medicine Law Rules
- Georgia Department of Agriculture Law Rules
49DEA RULES REGULATIONS
- A veterinarian regularly working in an impound
facility must have a DEA number attached to the
facility. - Controlled substances can be stored at the
impound facility. - Veterinarian can issue a Power of Attorney for
someone at the facility to receive and log in
controlled substances. - Facility must have secure double locked storage
for controlled substances.
50DEA RULES REGULATIONS(Contd)
- For euthanasia performed part time at an impound
facility or on-site, the veterinarian must follow
DEA recordkeeping and security rules for the
transport of controlled substances. - In transporting controlled substances, take only
the amount you anticipate using. - Have written procedures in place for the
transportation of controlled substances.
51GEORGIA BOARD OF VETERINARY MEDICINE
- Board Rule No. 700-14-.03 permits Indirect
Supervision for certain tasks meaning - The licensed veterinarian is not on the premises
but has given either written or oral instructions
for the treatment of the animal patient
52GEORGIA DEPARTMENT OF AGRICULTURE RULES
- GA CODE 4-11-5.1(b)(e)
- Euthanasia shall be performed by a licensed
veterinarian or physician or a lay person who is
properly trained in the proper and humane use of
a method of euthanasia. Such lay person shall
perform euthanasia under the supervision of a
licensed veterinarian or physician. This shall
not be construed so as to require that a
veterinarian or physician be present at the time
the euthanasia is performed.
53STAY WITH YOUR SCOPE OF PRACTICE
- Your veterinary license limits your practice to
animals. - Treatment of humans is outside the scope of your
practice. - Beware! Controlled substance activities outside
your scope of your practice is illegal drug
distribution - a felony crime. - Ensure safe practices for the protection of you,
your employees, your patients and the public! - Â
54Keep Current on GA Laws and Rules
- GA Veterinary Laws Rules can be found at
- http//sos.georgia.gov/plb/veterinary/
- GA Veterinary Medical Association can be found
at www.gvma.net - Check periodically! The GA Board and GVMA will
update you on issues pertinent to your practice.
55FRANCES CULLEN
- Frances E. Cullen is a former assistant attorney
general and former criminal prosecutor with
specialized knowledge in representing licensed
professionals subject to Licensing Board review
and criminal actions related to professional
practices. - Also relevant to Veterinary practice, Ms. Cullen
has a strong knowledge of Drug Enforcement Agency
(DEA), Georgia Drugs and Narcotics, and Georgia
Board of Veterinary Medicine laws and rules. - For more information, please visit
www.francullen.com or call us at (404) 806-6771.