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RWC-340B President, Shannon Stephenson, submitted comments to HRSA in response to the Information Collection Request (ICR), issued by the Health Resources and Services Administration (HRSA).

In the submission, RWC-340B made the following requests:

1) implement its proposal to no longer require a NOFO number for registration or recertification of RWCs, which proposal was clearly stated in the ICR notice;
2) clarify that covered entities are required to notify HRSA of “material” breaches in the attestation statement, which is consistent with current HRSA policy; and
3) continue its current policy of allowing covered entities the flexibility to list a pharmacy that is owned within a covered entity’s health system as either a shipping address or to register the pharmacy as a contract pharmacy.

Click Here to read the full submission.