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<strong>CMS</strong>-1403-FC<br />

dispensers are not required to conduct e-prescribing for<br />

Medicare covered drugs prescribed for Medicare Part D<br />

eligible beneficiaries, but if they do conduct such e-<br />

prescribing, they must do so using the applicable standards<br />

that are in effect at the time of the transmission. Part D<br />

sponsors, in turn, must support e-prescribing so that<br />

providers and dispensers who wish to conduct e-prescribing<br />

transactions with plans will be able to do so using the<br />

adopted standards that are in effect at the time of the<br />

transaction. We refer those commenters with questions<br />

regarding the creation and scope of the Medicare Part D e-<br />

prescribing program to the “Background” section of the<br />

E-Prescribing and the Prescription Drug Program proposed<br />

rule published in the February 4, 2005 Federal Register<br />

(70 FR 6256)<br />

In the CY 2008 PFS proposed rule (72 FR 38194), we<br />

proposed to revise §423.160(a)(3)(i) to eliminate the<br />

computer-generated facsimile exemption to the NCPDP SCRIPT<br />

standard for the communication of prescription or certain<br />

prescription-related information between prescribers and<br />

dispensers for the transactions specified in<br />

§423.160(b)(1)(i) through (xii). In keeping with the<br />

comments that we received, we finalized modifications that<br />

required prescribers and dispensers to use NCPDP SCRIPT<br />

345

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