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

other than transient/temporary network transmission<br />

failures) specifically included comments requesting<br />

amendments to the computer-generated facsimile exemption<br />

that would address when a prescriber or dispenser is<br />

prohibited from using the NCPDP SCRIPT standard for e-<br />

prescribing. The commenter noted that the Drug Enforcement<br />

Administration’s (DEA) prohibition of e-prescribing of<br />

controlled substances would prevent a provider from<br />

prescribing such controlled substances under the Part D<br />

program in accordance with the adopted standards. One<br />

commenter stated that vendors would have to disable<br />

electronic communication of prescriptions from their client<br />

prescribers through the prescription information exchange<br />

network to those pharmacies that are only computer-<br />

generated facsimile-enabled. The vendor assumed that if<br />

their client prescriber attempts to send those<br />

prescriptions electronically that the prescription will be<br />

rejected by the prescription information exchange network<br />

because the pharmacy is not activated with the network for<br />

electronic transactions using the NCPDP SCRIPT standard.<br />

<strong>This</strong> same commenter noted that the network <strong>has</strong> heretofore<br />

insulated the prescriber from having to be concerned with<br />

whether or not the patient’s choice of pharmacy was enabled<br />

to receive prescriptions in a particular way. After the<br />

354

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