Virginia Regulatory Town Hall
Agency
Department of Health Professions
 
Board
Board of Pharmacy
 
chapter
Regulations Governing the Practice of Pharmacy [18 VAC 110 ‑ 20]
Next Comment     Back to List of Comments
11/22/11  7:46 pm
Commenter: Stephen M. LaHaye, Pharm.D. - St. Francis Medical Center

Rescheduling of Tetrahydro-cannibol from Schedule I to Schedule II for medical use
 

I am opposed to the request for Rescheduling of Tetrahydro-cannibol from Schedule I to Schedule II for medical use.  In the hospital setting, it would be impossible for pharmacists to verify the source of the product or determine an appropriate dosing regimen.  The January 2011 DEA Position on Marijuana (http://www.justice.gov/dea/marijuana_position.pdf) states,

"THE DEA POSITION ON MARIJUANA

Until the Department of Justice and the FDA can determine legitimate medicinal uses and mechanisms to insure the safety and efficacy of the supply for legitimate patients, tetrahydro-cannibol should remain a Schedule I substance in Virginia.  Thank you for the opportunity to comment.

Marijuana is properly categorized under Schedule I of the Controlled Substances Act (CSA), 21U.S.C. classification, including evidence that smoked marijuana has a high potential for abuse, has no accepted medicinal value in treatment in the United States, and evidence that there is a general lack of accepted safety for its use even under medical supervision."

CommentID: 21160