SORS: Suspicious Order Report System for DEA Compliance

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ornithoptor

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The rule went into effect 10/23/2019, but it did not seem to garner much attention.
Can anyone share what they are doing differently with the new rule?
For some, is maintaining ARCOS access all you will be doing for now?
Is anyone in the process of developing policies and procedures? Any tips would be appreciated.


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Is this for reporting prescribers for their patient orders, or for reporting pharmacies for their drug orders, or both?
 
Not quite sure how this differs from my state's PMP suspicious activity report function on website (or if they are one in the same; can report MDs, practices, and patients)... We don't necessarily have written policy/procedures; RPh here just go by professional judgment (myself and a few other RPh @ my store have used PMP reporting system several times)
 
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