NOTICES
INDEPENDENT REGULATORY REVIEW COMMISSION
Notice of Comments Issued
[42 Pa.B. 6841]
[Saturday, October 27, 2012]Section 5(g) of the Regulatory Review Act (71 P. S. § 745.5(g)) provides that the Independent Regulatory Review Commission (Commission) may issue comments within 30 days of the close of the public comment period. The Commission comments are based upon the criteria contained in section 5.2 of the Regulatory Review Act (71 P. S. § 745.5b).
The Commission has issued comments on the following proposed regulation. The agency must consider these comments in preparing the final-form regulation. The final-form regulation must be submitted within 2 years of the close of the public comment period or it will be deemed withdrawn.
Reg. No. Agency/Title Close of the Public
Comment PeriodIRRC
Comments
Issued16A-5424 State Board of Pharmacy
Pharmacy Internship
42 Pa.B. 5353 (August 18, 2012)
9/17/12 10/17/12
State Board of Pharmacy
Regulation #16A-5424 (IRRC #2963)
Pharmacy Internship
October 17, 2012 We submit for your consideration the following comments on the proposed rulemaking published in the August 18, 2012 Pennsylvania Bulletin. Our comments are based on criteria in Section 5.2 of the Regulatory Review Act (71 P. S. § 745.5b). Section 5.1(a) of the Regulatory Review Act (71 P. S. § 745.5a(a)) directs the State Board of Pharmacy (Board) to respond to all comments received from us or any other source.
Section 27.26. Pharmacy internship.—Consistency with statute; Protection of the public welfare; Need; Feasibility; Reasonableness.
Under Paragraph (b)(2), the proposed regulation requires the ''ACPE-accredited pharmacy degree program'' (Program) to send acceptable documentation directly to the Board ''which includes the pharmacy student's name, address, Social Security Number . . .'' (Emphasis added.)
We have multiple concerns relating to the requirement for the acceptable documentation to include the student's Social Security Number (SSN). First, given the risk of identity theft and hardship to which the student could potentially be exposed, how will the Board internally secure this documentation, that includes the student's SSN, to protect the student from identity theft?
Additionally, the existing provision at Paragraph (b)(2) does not require the student's SSN. Why does the Board now need the student's SSN? Do all students, including foreign students, posses SSNs? Even if the SSN is provided, what capacity does the Board have to verify the SSN and how would it actually perform this verification?
Finally, in this instance, the Board is not directly asking the student to produce the SSN, but is rather asking a third party, the Program, to provide the student's SSN. Do all Programs, in all instances and locations, possess the student's SSN? Would the Board deny an internship to a student if the SSN is not disclosed by or available to the Program? What provisions of the Pharmacy Act would the Board use to deny an internship if the student's SSN is not provided by the Program?
Unless the Board can address our concerns and demonstrate the need for this SSN requirement, we recommend deleting it from Paragraph (b)(2).
SILVAN B. LUTKEWITTE, III,
Chairperson
[Pa.B. Doc. No. 12-2117. Filed for public inspection October 26, 2012, 9:00 a.m.]
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