Thursday, October 23, 2014

Second Question of the Day October 23, 2014 Isn't the wording of NCPA's New Resolution Interesting? It excludes FDA outsourcing facilities and says prepared pursuant to the state-regulated practice of compounding rather than stating in "Compliance" with "ALL" state and/or federal law. So if I prepare in accordance with Texas law, but ship to Michigan and am not in compliance with its law , NCPA supports reimbursement? What about if I fail to comply with federal law (not just DQSA) but all laws, NCPA still supports reimbursement? What about if it would be against a state or federal law to reimburse for the compounded medication?


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