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

provided during the encounter, the reporting of any one of<br />

the G codes counts as successful reporting and toward the<br />

required 50 percent reporting requirement. However, as<br />

previously discussed by reporting any one of the G codes,<br />

the physician or eligible professional is indicating that<br />

an electronic prescribing system <strong>has</strong> <strong>been</strong> adopted for use.<br />

With respect to narcotics and controlled substance,<br />

the third G code is reported in connection with using<br />

written prescriptions rather than electronic prescribing<br />

for such medications, because electronic prescribing of<br />

these medications is currently prohibited by Federal<br />

regulation. We are aware that the Drug Enforcement Agency<br />

(DEA) <strong>has</strong> proposed regulatory changes which if finalized<br />

would allow electronic prescribing of controlled substances<br />

under certain circumstances. <strong>This</strong> third G code would<br />

continue to be reportable for the 2009 Electronic<br />

Prescribing Measure without regard to possible changes in<br />

the DEA’s regulations with respect to the electronic<br />

prescribing of controlled substances. Based on concerns<br />

expressed to us, we are aware that professionals may find<br />

it impractical to utilize electronic prescribing for<br />

controlled substances, depending on specific requirements<br />

that may be finalized by the DEA. Therefore, to alleviate<br />

uncertainty with respect to the electronic prescribing<br />

695

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