What must a transferring pharmacist record on a transferred CIII-CV prescription?

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When a pharmacist transfers a controlled substance prescription for medications classified as CIII to CV, specific record-keeping requirements are in place to ensure proper documentation and compliance with regulations. The correct answer encompasses all necessary details that must be recorded during a transfer.

Firstly, indicating "VOID" on the face of the prescription is essential. This signifies that the original prescription can no longer be filled at the transferring pharmacy, preventing any confusion or potential dispensing errors.

Secondly, recording the name, address, and DEA registration number of the receiving pharmacy is crucial. This ensures that there is a documented trail that can be referenced if needed for audits, pharmaceutical reviews, or regulatory inspections. This information confirms where the prescription has been transferred and maintains accountability across pharmacies.

Lastly, documenting the date of the transfer and the name of the transferring pharmacist is also mandatory. This information adds another level of traceability and ensures that there is a record of who initiated the transfer and when it took place, which can be important for compliance checks and in the event of any issues arising from the prescription.

Each of these components plays a vital role in maintaining accurate, compliant records of controlled substance prescriptions and ensuring the integrity of the dispensing process. Therefore, the requirement to record all these elements in the transfer

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