Hello All,

 

We have a permanent medication disposal receptacle at the pharmacy located on our University campus. I assist with its management (and finding funding for it!) We were recently notified that we are now required to obtain a DOT permit in order to ship these med-containing boxes. I’m attaching a letter from the DOT for your review and I’m hopeful that some of you are more knowledgeable on this and can help.

 

While the DOT permit has no related fee, the underlying theme seems to be that the meds are considered “hazardous” and there is a statement that “Each "Hazmat employee", as defined in § 171.8, who performs a function subject to this special permit must receive training on the requirements and conditions of this special permit in addition to the training required by §§ 172.700 through 172.704”. My guess is the training won’t be free.

 

From the DOT letter, it appears that this action has resulted from a request by Stericycle. Yet, household generated pharmaceutical waste is exempt from RCRA, so I’m at a loss. It also seems a conflict of interest that a medical waste vendor has pushed for this. These are the same meds that mail order companies are shipping to patients nationwide.

 

This is yet another barrier to participation as “authorized collectors”.

 

Any thoughts?

 

Jeanie Jaramillo-Stametz, PharmD

Managing Director, Texas Panhandle Poison Center

Asst. Professor, Texas Tech UHSC School of Pharmacy

Director, Medication Cleanout

1300 S. Coulter St., Suite 105

Amarillo, TX 79106

(voicemail): (806)414-9299

(poison center office): (806)414-9402; 9404

(mobile): (806)376-0039