SETTLEMENT AGREEMENT
I.
PARTIES
This
Settlement Agreement (“Agreement”) is entered into as of October 31, 2005,
among the United States of America, acting through the United States Department
of Justice and the United States Attorney’s Office for the Eastern District of
Pennsylvania and on behalf of the Offices of Inspectors General of the
Department of Health and Human Services (“HHS-OIG”) and the Department of
Veterans Affairs (“VA-OIG”), (collectively the “United States”), and King
Pharmaceuticals, Inc., and Monarch Pharmaceuticals, Inc., (collectively “King”
and, together with the United States, the “Parties”), through their authorized
representatives.
II.
PREAMBLE
As
a
preamble to this Agreement, the Parties recite the following:
X. Xxxx
Pharmaceuticals, which has its principal place of business in Bristol,
Tennessee, manufactures and sells generic and branded pharmaceuticals through
several wholly-owned subsidiaries. The subsidiaries of King Pharmaceuticals
are
listed on Attachment A. For purposes of this Agreement, all references to
King include its subsidiaries to the extent that they have manufactured or
sold
pharmaceuticals that fall within the “Covered Conduct” of this Agreement. The
“Covered Conduct” is fully described in Paragraph I, below. King has
manufacturing facilities in several locations in the United States, and its
sales force is located throughout the United States. King sells its products
throughout the United States, including in the Eastern District of
Pennsylvania.
B. Xxxxxx
Xxxxxx (the “relator”) is an individual residing in the State of
Tennessee.
On
March 12, 2003, the relator filed a qui tam
action
in the United States District Court for the
Eastern
District of Pennsylvania captioned United
States ex rel. Xxxxxx Xxxxxx, et al. x. Xxxx Pharmaceuticals, Inc., et
al.
(the
“Civil Action”). Relator
had been employed as a director of National Accounts at Monarch Pharmaceuticals
from January 1998 to October 14, 2002, and he was responsible for the
negotiation of certain sales agreements between Monarch Pharmaceuticals and
certain customers.
C. The
Civil
Action also named as plaintiffs twelve states and the District of Columbia
that
had, during the relevant period, state false claims act statutes (collectively,
the “Plaintiff States”). This Agreement resolves the civil claims of the United
States against King as set forth in Paragraph 4, below. King has entered
into an agreement (the “NAMFCU Agreement”) with the National Association of
Medicaid Fraud Control Units (“NAMFCU”) providing for, among other things, the
disbursement of the State Settlement Amount (as defined in Paragraph 3,
below).
X. Xxxx
sold
pharmaceuticals that were purchased or reimbursed by commercial and government
payors and other customers, including the Department of Health and Human
Services (“HHS”) and the Department of Veterans Affairs (“VA”). Each of the
government customers was required by federal law to receive certain prices
or
pricing information, and federal law required King to pay certain rebates in
connection with its pharmaceutical products.
E. At
all
relevant times, the Medicaid Rebate Program, 42 U.S.C. § 1396r-8, required
participating manufacturers to pay rebates to the state Medicaid agencies
pursuant to specific rules based in part, in the case of single-source and
innovator multiple-source pharmaceuticals, upon the lowest price at which the
manufacturer sold its products to certain commercial customers. The purpose
of
these specific rules is to ensure that Medicaid receives the benefit of
discounts in relation to the pricing available in the commercial marketplace.
King
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entered
into a rebate agreement with the Health Care Financing Administration (“HCFA”),
now the Centers for Medicare & Medicaid Services (“CMS”), and certain
of King’s products were at all relevant times covered by state Medicaid plans
that provided medical assistance for outpatient prescription drugs. 42 U.S.C.
§§ 1396a(a)(10)(A), 1396d(a)(12), and 1396r-8(a)(1). Under the Medicaid
Rebate Program and rebate agreement with CMS, King generally agreed: (i) to
report quarterly to CMS its average manufacturer price (“AMP”) and, in the case
of single-source and innovator multiple-source pharmaceuticals, best price
for
its pharmaceutical products, as defined by 42 U.S.C. §§ 1396r-8(k)(1) and
1396r-8(c)(1)(C); and (ii) to pay quarterly rebates to the states based on
the product of (a) the units of each dosage form and strength paid for
under the state Medicaid plan during the rebate period as reported by the state,
and (b) the greater of the difference between the AMP and best price, or
minimum rebate percentage of the AMP, as further defined in 42 U.S.C.
§ 1396r-8(c). The states receiving Medicaid rebates are referred to in this
Agreement as the “Participating States.”
F. At
all
relevant times, King participated in the Drug Pricing Program, 42 U.S.C.
§ 256b, which is part of the Public Health Service (“PHS”) Act, 42 U.S.C.
§§ 201-300gg-92 (the “PHS Drug Pricing Program”). As a participant in the
Drug Pricing Program, King entered into an agreement with HHS in connection
with
the pricing of its drug products sold to entities such as AIDS drug purchasing
assistance programs, community health centers, hemophilia treatment centers,
and
certain disproportionate share hospitals, as defined in 42 U.S.C.
§ 256b(a)(4) (“the PHS entities”). Under the Drug Pricing Program and its
agreement with HHS, King generally agreed that the amount that King required
the
PHS entities to pay for drug products would not exceed the AMP, as reported
by
King to CMS in the previous calendar quarter, minus a specified
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rebate
percentage that was derived, in part, from the Medicaid rebate paid by King
in
the preceding calendar quarter for each drug, as further described in 42 U.S.C.
§ 256b(a).
X. Xxxx
was
party to a Master Agreement with the VA and a Federal Supply Schedule contract,
number V797P-5185x. Under its agreements with the VA, King was required to
make
its “covered drugs” available for procurement on the Federal Supply Schedule of
the General Services Administration. 38 U.S.C. § 8126(a)(1). With few
exceptions, King was not allowed to charge a price for its “covered drugs” that
exceeded a “Federal Ceiling Price” of 76 percent of the non-Federal AMP less an
additional discount. 38 U.S.C. § 8126(a)(2). King’s “covered drugs” are
defined in 38 U.S.C. § 8126(h)(2). Eligible purchasers at the Federal
Ceiling Price with King included the VA, the PHS, the Department of Defense
(“DOD”), Indian Health Service, and the Coast Guard. 38 U.S.C. § 8126(b).
In addition, King was required to disclose certain commercial pricing
information to the VA in connection with its Federal Supply Schedule contract
and to offer Federal Supply Schedule customers certain discounts under the
contract’s “Price Reductions Clause.” King’s Master Agreement with the VA, its
Federal Supply Schedule contract, and the related legal and contractual
requirements described in this paragraph are sometimes collectively referred
to
hereinafter as the “VA Pricing Program”.
X. Xxxx
also
participated in certain state rebate programs (“State Programs”) that generally
required a rebate separate from the Medicaid rebate for each state’s
utilization. The affected states were California, Connecticut, Delaware,
Florida, Indiana, Massachusetts, Maryland, Maine, Minnesota, Missouri, Montana,
New Jersey, New York, North Carolina, Oregon, Pennsylvania, Rhode Island, Texas,
Utah, Vermont, Wisconsin, and Wyoming (referred to in this Agreement as “the
State Program States”). The affected programs by state are listed in
Attachment B.
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I. The
United States contends that it has certain civil claims against King as
specified in Paragraph 4, below, for engaging in the conduct alleged in
Sections (i) through (v) of this paragraph during the period
January 1, 1994, through December 31, 2002, unless otherwise specified
below (the “Covered Conduct”).
(i) The
United States contends that King knowingly did not collect and analyze its
pricing information in a manner that ensured that King would be able to
accurately determine the AMP and best price on a quarterly basis. The United
States also contends that King knowingly did not adequately train its personnel
to calculate accurate AMP and best price data, and that King knowingly did
not
provide its employees with appropriate tools, such as specialized software
programs or other commonly used means for calculating Medicaid rebate payments,
so that its employees could calculate AMPs and best prices
accurately.
(ii) The
United
States also contends that King knowingly included inappropriate customers in
its
retail class of trade, which resulted in inaccurate calculations of
AMPs.
(iii) The
United States contends that because of the knowing misconduct alleged in
Sections (i) and (ii) above, certain of King’s AMP and best price calculations
constituted “false records” within the meaning of 31 U.S.C. § 3729. The
United States further contends that, by including such “false records” in its
quarterly submissions to CMS, King failed to report accurately to CMS on a
quarterly basis the AMPs and best prices, where applicable, for its
pharmaceutical products, and to pay the corresponding proper amounts of Medicaid
rebates resulting in an overall underpayment of Medicaid rebates for the
relevant time period. Further, the United States contends that because of King’s
knowing misconduct with respect to certain of its pharmaceutical products,
King
overcharged the PHS entities, failed to deliver accurate
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information
to the VA and overcharged purchasers from the VA Federal Supply Schedule. The
State Program States also contend that King failed to pay the proper State
Program rebates, resulting in an overall underpayment of State Program rebates
for the relevant time period.
(iv) Accordingly,
the United States contends that the activities alleged in Paragraph I (i)
through (iii) rendered false the following claims or statements: (1) King’s
reports to CMS of AMPs and best prices, and the related state invoices, for
the
pharmaceutical products listed in Attachment C for the 36 quarters from
January 1, 1994, through December 31, 2002; (2) King’s charges to
PHS entities for the pharmaceutical products listed in Attachment D for the
period January 1, 1994, through December 31, 2002; and (3) King’s
charges to VA Federal Supply Schedule customers for the pharmaceutical products
listed in Attachment E for the period January 1, 1994, through
December 31, 2002 and pricing and other information delivered to the United
States in connection with its negotiation of and performance under its Federal
Supply Schedule contract and the various amendments and modifications thereto.
In addition, the State Program States contend that the activities alleged in
Paragraph I (i) through (iii) rendered false King’s State Program invoices
for the programs listed in Attachment B for the pharmaceutical products
listed in Attachment F, for the period January 1, 1994, through
December 31, 2002.
(v) All
other
conduct of King alleged in the Civil Action is also included in the “Covered
Conduct.”
X. Xxxx represents: After King received an SEC subpoena
regarding various matters, the Audit Committee of King's Board of Directors
initiated an independent internal investigation. When this investigation
identified the deficiencies in King's AMP and best price methodologies described
in Paragraph I, above, King's outside counsel retained KPMG, a nationally
recognized accounting firm that, in part, specializes in health care and
Medicaid
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reporting.
With
KPMG's assistance, King undertook
a comprehensive recalculation to determine the amount of King's underpayments
under the Medicaid rebate program, underpayments under the State Programs,
and
overcharges to the PHS entities and Federal Supply Schedule customers.
King and KPMG began this recalculation by compiling a database of all King
transactional data (including sales, rebates and chargebacks), government
utilization, customer, contract and product data relevant to the calculation
of
AMP, best price, Medicaid unit rebate amounts and related PHS, Federal Supply
Schedule and State Program calculations for the relevant period. This data
was compiled from sources that included King's sales, adjustment and chargeback
records, records of amounts paid to purchasers and other payors, records of
product utilization by, and rebates paid to, the state Medicaid agencies
and State Programs, contracts and other agreements with pharmaceutical product
purchasers, and King's historical pricing records. King and KPMG confirmed
the completeness of the data they compiled by reconciling it to the net sales
data in the general ledger trial balances underlying King's audited financial
statements. In addition, KPMG helped King to determine the appropriate
class of trade for each of the purchasers of King's pharmaceutical
products.
King
further represents: It re-calculated the AMPs and best prices for its
pharmaceutical products from January 1, 1998, through December 31, 2002. King
compared the AMPs and best prices that it had originally reported to CMS with
the re-calculated AMPs and best prices. This data is contained in a summary
document prepared by King, known as the Medicaid variance report, which also
identifies King’s total underpayment of Medicaid rebates for that period.
According to King, all AMP and best price differences between what King
originally reported to CMS and the corrected AMPs and best prices are reflected
in the Medicaid variance report on a product and quarter basis. In addition,
King prepared variance reports reflecting its overcharges
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from
January 1, 1998, through December 31, 2002, to PHS entities and certain VA
Federal Supply Schedule customers and its underpayments of rebates from January
1, 1998 through December 31, 2002 to the State Program States. In addition,
King
used the results of the recalculation for the 1998 to 2002 period to determine
by extrapolation Medicaid, PHS, VA Federal Supply Schedule and State Program
variances for all King products with utilization under the applicable program
for the period from January 1, 1994 through December 31,
1997.
X. Xxxx represents that it has performed the
review and calculations and prepared the variance reports described in
Paragraph J, above in good faith and that it believes that such
calculations and variance reports are complete and accurate in all material
respects. King acknowledges that the United States considered, among other
things, the variance reports described in Paragraph J, above, and other
information provided by King in its settlement of the Covered Conduct.L. The
United States contends that it also has certain administrative claims, as
specified in Paragraph 6, below, against King for the Covered
Conduct.
M. This
Agreement is made in compromise of disputed claims. It is neither an admission
of liability by King
nor
a concession by the United States that its claims are not well founded. King
expressly denies the allegations of the United States and the relator as set
forth herein and in the Civil Action and denies that it has engaged in any
wrongful conduct in connection with the Covered Conduct. Neither this Agreement,
its execution, nor the performance of any obligations under it, including any
payments, nor the fact of the settlement, is intended to be, or shall be
understood as, an admission of liability or wrongdoing, or other expression
reflecting upon the merits of the dispute by King.
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N. To
avoid
the delay, uncertainty, inconvenience, and expense of protracted litigation
of
the above claims, the Parties reach a full and final settlement pursuant to
the
Terms and Conditions below.
III.
TERMS
AND CONDITIONS
1. King
agrees to pay to the United States, the Plaintiff States, the Participating
States, and the State Program States, collectively, $124,057,318, with interest
accrued to the date that King makes the payment provided for in
Paragraph 2, below (the
“Settlement Amount”). King has also agreed that this interest accrues at 3.75
percent per annum from July 1, 2005. The Settlement Amount shall constitute
a debt immediately due and owing on the Effective Date of this Agreement (as
defined in Paragraph 21, below).
2. Of
the
Settlement Amount in Paragraph 1, above, King and the United States agree
that the sum of $73,420,225, with accrued interest, shall represent the federal
share of the Settlement Amount (the “Federal Settlement Amount”). The Federal
Settlement Amount includes all amounts payable in respect of the federal share
of the Medicaid Rebate Program, the VA Pricing Program and the PHS Drug Pricing
Program. With respect to the first two programs, King agrees to make an
electronic funds transfer of the Federal Settlement Amount in
accordance with the
written
instructions to be provided by the Department of Justice. King agrees to make
such transfer no later than ten business days following the Effective Date
(as
defined in Paragraph 21, below).
With
respect to the PHS Drug Pricing Program, King agrees to transfer the portion
of
the Federal Settlement Amount payable to the PHS entities listed on
Attachment G into a segregated bank account (the “PHS Settlement Account”)
no later than ten business days following the Effective Date (as defined in
Paragraph 21 below). As will be provided in written instructions from the
United States, King will disburse the amount transferred into the PHS
Settlement
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Account
to the individual PHS entities listed on Attachment G within thirty days
following the Effective Date (as defined in Paragraph 21,
below).
3. Of
the
Settlement Amount in Paragraph 1, above, King, the Plaintiff States, the
Participating States, and the State Program States (collectively, the “States”)
have agreed that the sum of $50,637,093, with accrued interest as provided
in
Paragraph 1, above, shall represent the state share of the Settlement
Amount (the “State Settlement Amount”). King agrees to transfer the State
Settlement Amount in accordance with the provisions of the NAMFCU Agreement
and
the individual state settlement agreements referred to therein (the “State
Settlement Agreements”).
4. Subject
to the exceptions in Paragraph 5, and subject to Paragraph 15, below
(concerning bankruptcy proceedings commenced within 91 days of the Effective
Date of this Agreement), and in consideration of the obligations of King set
forth in this Agreement, the United States, on behalf of itself, its officers,
agents, agencies, and departments, agrees fully and finally to release King,
its
past and present parents, corporate affiliates, divisions, and subsidiaries,
and
each of their predecessors, subsidiaries, successors and assigns (the “King
Corporate Entities”), and, except as provided in Paragraph 5, below, their
past and present directors, officers, agents and employees (together with the
King Corporate Parties, the “King Released Parties”), from any civil or
administrative monetary claim that the United States has or may have under
the
False Claims Act, 31 U.S.C. §§ 3729-3733, the Program Fraud Civil Remedies
Act, 31 U.S.C. §§ 3801-3812, the Medicaid Rebate Xxxxxxx, 00 X.X.X.
§ 0000x-0, the Drug Pricing Program, 42 U.S.C. § 256b, the Civil
Monetary Penalties Law, 42 U.S.C. § 1320a-7a, § 603 of the Veterans
Health Care Act of 1992, 38 U.S.C. § 8126, any statutory provision
applicable to the programs in this Agreement for which the Civil Division,
United
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States
Department of Justice, has actual and present authority to assert and compromise
pursuant to 28 C.F.R. Part 0, Subpart I, § 0.45(d) (1995), and common law
claims, including claims for fraud, unjust enrichment, payment by mistake,
or
breach of contract, for the Covered Conduct.
5. Notwithstanding
any term of this Agreement, the United States specifically does not in this
Agreement release King and the other King Released Parties from any and all
of
the following: (a) any criminal, civil, or administrative liability arising
under Title 26, United States Code (Internal Revenue Code); (b) any
criminal liability; (c) any liability to the United States (or any agencies
thereof) for any conduct other than the Covered Conduct; (d) any liability
based upon obligations created by this Agreement; (e) except as explicitly
stated in this Agreement, any administrative liability, including mandatory
exclusion from Federal health care programs; (f) any express or implied
warranty claims or other liability for defective or deficient products and
services provided by King; (g) any liability based on a failure to deliver
items or services due; (h) any civil liability against individuals, if they
have received written notification that they are the target of a “criminal
investigation” (as defined in the U.S.
Attorneys’ Manual),
have
been indicted, charged or convicted, or have entered into a plea agreement,
in
each case related to the Covered Conduct; and (i) except as expressly
stated in this Agreement, any administrative liability against individuals,
including current and former directors, officers, and employees of King and
the
other King Corporate Entities.
6. In
consideration of the obligations of King set forth in this Agreement and the
Corporate Integrity Agreement (“CIA”) referred to in Paragraph 19, below,
and incorporated by reference into this Agreement, subject to Paragraph 15,
below (concerning bankruptcy proceedings commenced within 91 days of the
Effective Date of this Agreement), and conditioned on payment of the Federal
Settlement Amount, HHS-OIG agrees to release and
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refrain
from instituting, directing or maintaining any administrative action seeking
exclusion from the Medicare, Medicaid, or other Federal health care programs
(as
defined in 42 U.S.C. § 1320a-7b(f)) against King and each other King
Corporate Entity under 42 U.S.C. § 1320a-7a (Civil Monetary Penalties Law),
or 42 U.S.C. § 1320a-7(b)(7) (permissive exclusion for fraud, kickbacks,
and other prohibited activities), for the Covered Conduct, except as reserved
in
Paragraph 5, above, and as reserved in this paragraph. HHS-OIG expressly
reserves all rights to comply with any statutory obligations under 42 U.S.C.
§ 1320a-7(a) (mandatory exclusion) to exclude King from the Medicare,
Medicaid, or other Federal health care program based upon the Covered Conduct.
Nothing in this paragraph precludes HHS-OIG from taking action against entities
or persons, or for conduct and practice, for which claims have been reserved
in
Paragraph 5, above.
7. The
United States will file a motion to dismiss the federal count of the Civil
Action promptly following execution of this Agreement; however, the motion
will
provide that dismissal with prejudice will not occur until King has transferred
the applicable portions of the Federal Settlement Amount to the United States
and into the PHS Settlement Account, as described in Paragraph 2,
above.
8. King
waives and will not assert any defenses King may have to any criminal
prosecution or administrative action relating to the Covered Conduct that may
be
based in whole or in part on a contention that, under the Double Jeopardy Clause
in the Fifth Amendment of the Constitution, or under the Excessive Fines Clause
in the Eighth Amendment of the Constitution, this Agreement bars a remedy sought
in such criminal prosecution or administrative action. Nothing in this paragraph
or any other provision of this Agreement constitutes an agreement
by
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the
United States concerning the characterization of the Settlement Amount for
purposes of the Internal Revenue laws, Title 26 of the United States
Code.
9. King,
on
behalf of itself and the other King Corporate Entities, fully and finally
releases, waives, and discharges the United States, its agencies, employees,
servants, and agents from any claims (including attorneys’ fees, costs and
expenses of every kind and however denominated) which King or any other King
Corporate Entity has asserted, could have asserted, or may assert in the future
against the United States, its agencies, employees, servants, and agents,
related to or arising from the United States’ investigation and prosecution of
the Covered Conduct.
10. The
Settlement Amount that King must pay pursuant to this Agreement shall not be
decreased as a result of the denial of claims for payment now being withheld
from payment by any Medicaid program payor, or any State payor, or any other
government payor; and, if applicable, King agrees not to resubmit to any
Medicaid program, state payor, or any other government payor any previously
denied claims, which denials were based on the Covered Conduct, and agrees
not
to appeal any such denials of claims.
11. King
agrees to the following:
a. Unallowable
Costs Defined:
that
all costs (as defined in the Federal Acquisition Regulation, 48 C.F.R. §
31.205-47, and in Titles XVIII and XIX of the Social Security Act, 42 U.S.C.
§§
1395-1395ggg and 1396-1396v, and the regulations and official program directives
promulgated thereunder) incurred by or on behalf of King or any other King
Released Party in connection with the following shall be “unallowable costs” on
government contracts and under the Medicare Program, Medicaid Program, TRICARE
Program, and Federal Employees Health Benefits Program (“FEHBP”): (1) the
matters covered by this Agreement; (2)
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the
United States’ audit and civil investigation of the matters covered by this
Agreement; (3) King’s investigation, defense, and corrective actions undertaken
in response to the United States’ audit and civil investigation
in connection with the matters covered by this Agreement (including attorneys’
fees); (4) the negotiation and performance of this Agreement; (5) the payment
King makes to the United States pursuant to this Agreement and any payments
that
King may make to the relator, including costs and attorneys’ fees; and (6) the
negotiation of, and obligations undertaken pursuant to the CIA to:
(i) retain an independent review organization to perform annual reviews as
described in Section III of the CIA; and (ii) prepare and submit reports to
the OIG-HHS. Nothing, however, in Subparagraph a(6) of this paragraph affects
the status of costs that are not allowable based on any other authority
applicable to King.
b. Future
Treatment of Unallowable Costs:
These
unallowable costs shall be separately determined and accounted for by
King, and
King
shall not charge such unallowable costs directly or indirectly to any contracts
with the United States or any state Medicaid program, or seek payment for such
unallowable costs through any cost report, cost statement, information
statement, or payment request submitted by King or any of its subsidiaries
or affiliates to the Medicare, Medicaid, TRICARE, or FEHBP
Programs.
c. Treatment
of Unallowable Costs Previously Submitted for Payment:
King
further agrees that within 90 days of the Effective Date of this Agreement,
it
shall identify to applicable Medicaid, State, and VA fiscal agents, any
unallowable costs (as defined in this paragraph) included in payments previously
sought from the United States, or any State Medicaid Program, including, but
not
limited to, payments sought in any cost reports, cost statements, information
reports, or payment requests already submitted by King or any of its
subsidiaries or affiliates, and shall request, and agree, that such cost
reports, cost statements,
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information
reports, or payment requests, even if already settled, be adjusted to account
for the effect of the inclusion of the unallowable costs. King
agrees that the United States, at a minimum, shall be entitled to recoup from
King any overpayment plus applicable interest and penalties as a result of
the
inclusion of such unallowable costs on previously-submitted cost reports,
information reports, cost statements, or requests for payment.
Any
payments due after the adjustments have been made shall be paid to the United
States pursuant to the direction of the Department of Justice, and/or the
affected agencies. The United States reserves its rights to disagree with any
calculations submitted by King or any of its subsidiaries or affiliates on
the
effect of inclusion of unallowable costs (as defined in this paragraph) on
King
or any of its subsidiaries or affiliates’ cost reports, cost statements, or
information reports.
d. Nothing
in this Agreement shall constitute a waiver of the rights of the United States
to audit, examine, or re-examine King’s books and records to determine that no
unallowable costs have been claimed in accordance with the provisions of this
paragraph.
12. This
Agreement is intended to be for the benefit of the Parties only, and, except
to
the extent expressly provided in Paragraph 13, below, by this instrument
the Parties do not release any claims against any other person or entity other
than King and the other King Released Parties.
13. King
agrees that it shall not seek payment for any of the monies owed under this
Agreement from any health care beneficiaries or their parents, sponsors, legally
responsible individuals, or third-party payors. King waives any causes of action
against these beneficiaries or their parents, sponsors, legally responsible
individuals, or third party payors based upon the claims for payment covered
by
this Agreement. Nothing
in this Paragraph 13 shall affect King’s
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rights
to
recover amounts due under agreements with non-governmental third parties,
including sellers and manufacturers of pharmaceutical products to whom King
previously has paid royalties, co-promotion fees or other amounts determined
directly or indirectly by reference to the net sales of King’s
products.
14. King
expressly warrants that it has reviewed its financial situation and that it
is
currently solvent within the meaning of 11 U.S.C. §§ 547(b)(3) and
548(a)(1)(B)(ii)(I), and that it is not aware of any reasonably foreseeable
circumstances under which it would not remain solvent following payment of
the
Settlement Amount. Further, the Parties expressly warrant that, in evaluating
whether to execute this Agreement, they (a) have intended that the mutual
promises, covenants, and obligations set forth in this Agreement constitute
a
contemporaneous exchange for new value given to King, within the meaning of
11
U.S.C. § 547(c)(1); and (b) conclude that these mutual promises, covenants,
and obligations do, in fact, constitute such a contemporaneous exchange.
Further, the Parties warrant that the mutual promises, covenants, and
obligations set forth herein are intended and do, in fact, represent a
reasonably equivalent exchange of value which is not intended to hinder, delay,
or defraud any entity to which King was or became indebted to on or after the
date of this transfer, within the meaning of 11 U.S.C.
§ 548(a)(1).
15. If
within
91 days of the Effective Date of this Agreement or
of any
payment made hereunder,
King
commences, or a third party commences, any case, proceeding, or other action
under any law relating to bankruptcy, insolvency, reorganization, or relief
of
debtors, (a) seeking to have any order for relief of King’s debts, or
seeking to adjudicate King as bankrupt or insolvent; or (b) seeking
appointment of a receiver, trustee, custodian, or other similar official for
King or for all or any substantial part of King’s assets, King agrees as
follows:
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x. Xxxx’x
obligations under this Agreement may not be avoided pursuant to 11 U.S.C. §§ 547
or 548, and King will not argue or otherwise take the position in any such
case,
proceeding, or action that: (i) King’s obligations under this Agreement may
be avoided under 11 U.S.C. §§ 547 or 548; (ii) King was insolvent at the
time this Agreement was entered into, or became insolvent as a result of the
payment of the Settlement Amount; or (iii) the mutual promises, covenants,
and obligations set forth in this Agreement do not constitute a contemporaneous
exchange for new value given to King.
b. If
King’s
obligations under this Agreement are avoided for any reason, including, but
not
limited to, through the exercise of a trustee’s avoidance powers under the
Bankruptcy Code, the United States, at its sole option, may rescind the releases
in this Agreement, and bring any civil and/or administrative claim, action,
or
proceeding against King for the claims that would otherwise be covered by the
releases provided in Paragraphs 4 and 6, above. King agrees that
(i) any such claims, actions, or proceedings brought by the United States
(including any proceedings to exclude King from participation in Medicare,
Medicaid, or other Federal health care programs) are not subject to an
“automatic stay” pursuant to 11 U.S.C. § 362(a) as a result of the action,
case, or proceeding described in the first clause of this paragraph, and that
King will not argue or otherwise contend that the United States’ claims,
actions, or proceedings are subject to an automatic stay; (ii) King will
not plead, argue, or otherwise raise any defenses under the theories of statute
of limitations, laches, estoppel, or similar theories, to any such civil or
administrative claims, actions, or proceeding which are brought by the United
States within 90 calendar days of written notification to King that the releases
have been rescinded pursuant to this paragraph, except to the extent such
defenses were available on the Effective Date; and (iii) King will not
contest the United States’ assertion that it
-17-
has
a
valid claim against King in the amount of $186,085,977 and
which
may be subject to penalties of $5,000 to $10,000 for each false claim submitted
to an agency of the United States or caused to be submitted to an agency of
the
United States, and the United States may pursue its claim in the case, action,
or proceeding referenced in the first clause of this paragraph, as well as
in
any other case, action, or proceeding.
x. Xxxx
acknowledges that its agreements in this paragraph are provided in exchange
for
valuable consideration provided in this Agreement.
16. Each
party to this Agreement shall bear its own legal and other costs incurred in
connection with this matter, including the preparation and performance of this
Agreement.
17. King
represents that this Agreement is freely and voluntarily entered into without
any degree of duress or compulsion whatsoever.
18. This
Agreement is covered by the laws of the United States. The Parties agree that
the exclusive jurisdiction and venue for any dispute arising between and among
the Parties under this Agreement shall be the United States District Court
for
the Eastern District of Pennsylvania, except that disputes arising under the
CIA
incorporated herein by reference shall be resolved exclusively through the
dispute resolution provisions set forth in the CIA.
19. King
has
entered into the CIA with HHS-OIG, attached as Attachment H, which is
incorporated by reference into this Agreement. King will immediately upon the
execution of the CIA begin to implement its obligations under the
CIA.
20. The
undersigned King signatories represent and warrant that they are authorized
by
their respective Boards of Directors to execute this Agreement. The undersigned
United States signatories represent that they are signing this Agreement in
their official capacities and they are authorized to execute this Agreement
through their respective agencies and departments.
-18-
21. As
used
in this Agreement, the “Effective Date” shall mean the first business day on
which the later of the following events shall have taken place: (1) this
Agreement has been fully executed by all the Parties; and (2) the district
court
has granted the motion to dismiss described in Paragraph 7 of this
Agreement and has entered an appropriate order.
22. The
Parties acknowledge that their respective rights and obligations under this
Agreement are not dependent upon the consummation of the NAMFCU Agreement or
the
State Settlement Agreements, including in the event that such other agreements
do not receive any required court approval. Notwithstanding anything herein
to
the contrary, King’s obligation to pay the State Settlement Amount, or any
individual State’s share thereof, shall arise only under the NAMFCU Agreement
and the State Settlement Agreements, and this Agreement shall not create any
presumption that King has any liability to any state, or as to the amount of
any
such liability that may be found to exist.
23. King
contends that beginning with its calculations and reports for products utilized
in the first quarter of 2003 it has been calculating and reporting AMP for
its
pharmaceutical products using a methodology that has resulted in it overpaying
its quarterly rebates to Medicaid and to state rebate programs. Nothing in
this
Agreement shall limit King’s right to pursue recovery of any overpayments that
may have resulted from its use of this methodology from the United States,
the
state Medicaid agencies or the state rebate programs, and nothing in this
Agreement shall limit the right of the United States or any state Medicaid
agency or rebate program to contest any such recovery.
24. This
Agreement shall be binding on all successors, transferees, heirs, and assigns
to
the Parties.
-19-
25. This
Agreement, together with the CIA incorporated by reference, constitutes the
complete agreement between the Parties with regard to the Covered Conduct.
This
Agreement may not be amended except by written consent of the Parties, except
that the CIA may be modified with only the mutual written consent of King and
XXX-XXX.
00. This
Agreement may be executed in counterparts, each of which shall constitute an
original and all of which taken together shall constitute one and the same
Agreement. Facsimiles
of signatures shall constitute acceptable binding signatures for purposes of
this Agreement.
[The
remainder of this page is intentionally left blank.]
-00-
XXX
XXXXXX XXXXXX XX XXXXXXX
DATED: 10/31/05
|
BY: /s/
Xxxxxxx X. Xxxxxx
XXXXXXX
X. XXXXXX
United
States Attorney
|
DATED: 10/31/05
|
BY: /s/
Xxxxxxxx X. Xxxxxx
XXXXXXXX
X. XXXXXX
Assistant
United States Attorney
Chief,
Civil Division
|
DATED: 10/31/05
|
BY: /s/ Xxxxxxx
Xxxxxxx
XXXXXXX XXXXXXX
Assistant
United States Attorney
|
DATED: 10/25/05 |
BY: /s/ Xxxxxx
Xxxxxxxxx
XXXXXX
XXXXXXXXX
Trial
Attorney
United
States Department of Justice - Civil
Division,
Commercial Litigation, Fraud
Section
|
DATED: 10/28/05 |
BY: /s/ Xxxxx
Xxxxxx
XXXXX
XXXXXX
Chief
Counsel to the Inspector General
Office
of Inspector General
United
States Department of Health
and
Human
Services
|
-21-
KING
PHARMACEUTICALS, INC.
MONARCH
PHARMACEUTICALS, INC.
DATED: 10/31/05
|
BY: /s/ Xxxxx X.
Xxxxxxxx
EXECUTIVE
SIGNATORY
King
Pharmaceuticals, Inc.
|
DATED: 10/318/05
|
BY: /s/ Xxxxx X.
Xxxxxxxx
EXECUTIVE
SIGNATORY
Monarch
Pharmaceuticals, Inc.
|
DATED: 10/31/05
|
BY: /s/ Xxxx
Xxxxxxxxx XXXX
XXXXXXXXX, ESQ.Cravath,
Swaine & Xxxxx LLP
|
-22-
Attachment
A
King
Pharmaceuticals of Nevada, Inc.
King
Pharmaceuticals Research and Development, Inc.
Gentrac,
Inc.
JMI-Xxxxxxx,
Inc.
Meridian
Medical Technologies, Inc.
Brunswick
Biomedical Investment Corporation
STI
International Limited
Meridian
Medical Technologies Limited
Monarch
Pharmaceuticals, Inc.
Monarch
Pharmaceuticals of Ireland Limited
Parkedale
Pharmaceuticals, Inc.
Xxxxx
Pharma Incorporated
Xxxxxxx
Pharmaceuticals, Inc.
Attachment
B
California
ADAP
California
COHS
California
FPACT
California
Unknown
Connecticut
ADAP
Connecticut
PACE
Connecticut
SAGA
Connecticut
Unknown
Delaware
PA
Delaware
SRP
Delaware
Unknown
Florida
Senior Rx
Indiana
AIM
Indiana
Unknown
Maine
ADAP
Maine
ERP
Maine
LCDE
Maine
Unknown
Maryland
KDP
Maryland
PAP
Maryland
Unknown
Massachusetts
ACH
Massachusetts
DEL
Massachusetts
SPP
Massachusetts
Unknown
Minnesota
ADAP
Minnesota
PDP
Minnesota
SD
Minnesota
Unknown
Missouri
ADAP
Missouri
Senior Rx
Montana
Unknown
New
Jersey ADAP
New
Jersey ADRP
New
Jersey PAAD
New
Jersey SG
New
Jersey Unknown
New
York
ADAP
New
York
DS
New
York
EAC
New
York
EPIC
New
York
HHR
New
York
HR
New
York
MDP
New
York
Unknown
North
Carolina Unknown
Oregon
ADAP
Pennsylvania
ESRD
Pennsylvania
GA
Pennsylvania
PACE
Pennsylvania
PB
Pennsylvania
Unknown
Xxxxx
Xxxxxx XXX
Xxxxx
Xxxxxx Xxxxxxx
Xxxxx
CHIP
Texas
CIDC
Texas
CSHCN
Texas
KH
Utah
ADAP
Vermont
Script
Wisconsin
CD
Wisconsin
SC 200
Wisconsin
Unknown
Wyoming
ADAP
Wyoming
MMP
-2-
Attachment
C
ACETAMINOPHEN
ADRENALIN
ALTACE
AMANTADINE
ANEXSIA
ANUSOL
APLISOL
AVC
BARIUM
BICILLIN
BREVITAL
BROMPHEN
BROMPHENIRAMINE
CHLORAMPHENICOL
CHLOROMYCETIN
CODEINE
COLY-MYCIN
CORGARD
CORTISPORIN
CORZIDE
CYTOMEL
DELESTROGEN
DRIZE-R
ENDAGEN
FLORINEF
FLUOGEN
FLUPHENAZINE
GUAIFENESIN
HCBT/APAP
HISTOPLASMIN
HUMATIN
HYDROCODONE
HYDROCORTISONE
KEMADRIN
KETALAR
KETAMINE
KGDAL
KGFED
KGHIST
LEVOXYL
LORABID
MANTADIL
MENEST
MONAFED
MORPHINE
NASABID
NEOPOLYMYXIN
NEOSPORIN
NORDETTE
NUCOFED
ORTHO-PREFEST
OTOCAIN
OXYCODONE
PAPAVERINE
PEDIOTIC
PENICILLIN
PHENIRAMINE
PHENOBARBITAL
PHENTERMINE
PITOCIN
PITRESSIN
POLYSORIN
POLYSPORIN
PROCANBID
PROCTOCORT
PROLOPRIM
QUIBRON
SEPTRA
SILVADENE
TAPAZOLE
THALITONE
THEREVAC
THIOMALATE
THROMBIN
THYROID
TIGAN
TUSSEND
TUSSIGON
TUSSIN
VANEX
VIRA-A
VIROPTIC
WYCILLIN
-2-
Attachment D
ACETAMINOPHEN
ADRENALIN
ALTACE
AMANTADINE
ANEXSIA
ANUSOL
APLISOL
AVC
BARIUM
BICILLIN
BREVITAL
BROMPHEN
BROMPHENIRAMINE
CHLORAMPHENICOL
CHLOROMYCETIN
CODEINE
COLY-MYCIN
CORGARD
CORTISPORIN
CORZIDE
CYTOMEL
DELESTROGEN
DRIZE-R
ENDAGEN
FLORINEF
FLUOGEN
FLUPHENAZINE
GUAIFENESIN
HCBT/APAP
HISTOPLASMIN
HUMATIN
HYDROCODONE
HYDROCORTISONE
KEMADRIN
KETALAR
KETAMINE
KGDAL
KGFED
KGHIST
LEVOXYL
LORABID
MANTADIL
MENEST
MONAFED
MORPHINE
NASABID
NEOPOLYMYXIN
NEOSPORIN
NORDETTE
NUCOFED
ORTHO-PREFEST
OTOCAIN
OXYCODONE
PAPAVERINE
PEDIOTIC
PENICILLIN
PHENIRAMINE
PHENOBARBITAL
PHENTERMINE
PITOCIN
PITRESSIN
POLYSORIN
POLYSPORIN
PROCANBID
PROCTOCORT
PROLOPRIM
QUIBRON
SEPTRA
SILVADENE
TAPAZOLE
THALITONE
THEREVAC
THIOMALATE
THROMBIN
THYROID
TIGAN
TUSSEND
TUSSIGON
TUSSIN
VANEX
VIRA-A
VIROPTIC
WYCILLIN
-2-
Attachment
E
ACETAMINOPHEN
ADRENALIN
ALTACE
AMANTADINE
ANEXSIA
ANUSOL
APLISOL
AVC
BARIUM
BICILLIN
BREVITAL
BROMPHEN
BROMPHENIRAMINE
CHLORAMPHENICOL
CHLOROMYCETIN
CODEINE
COLY-MYCIN
CORGARD
CORTISPORIN
CORZIDE
CYTOMEL
DELESTROGEN
DRIZE-R
ENDAGEN
FLORINEF
FLUOGEN
FLUPHENAZINE
GUAIFENESIN
HCBT/APAP
HISTOPLASMIN
HUMATIN
HYDROCODONE
HYDROCORTISONE
KEMADRIN
KETALAR
KETAMINE
KGDAL
KGFED
KGHIST
LEVOXYL
LORABID
MANTADIL
MENEST
MONAFED
MORPHINE
NASABID
NEOPOLYMYXIN
NEOSPORIN
NORDETTE
NUCOFED
ORTHO-PREFEST
OTOCAIN
OXYCODONE
PAPAVERINE
PEDIOTIC
PENICILLIN
PHENIRAMINE
PHENOBARBITAL
PHENTERMINE
PITOCIN
PITRESSIN
POLYSORIN
POLYSPORIN
PROCANBID
PROCTOCORT
PROLOPRIM
QUIBRON
SEPTRA
SILVADENE
TAPAZOLE
THALITONE
THEREVAC
THIOMALATE
THROMBIN
THYROID
TIGAN
TUSSEND
TUSSIGON
TUSSIN
VANEX
VIRA-A
VIROPTIC
WYCILLIN
-2-
Attachment
F
ACETAMINOPHEN
ADRENALIN
ALTACE
AMANTADINE
ANEXSIA
ANUSOL
APLISOL
AVC
BARIUM
BICILLIN
BREVITAL
BROMPHEN
BROMPHENIRAMINE
CHLORAMPHENICOL
CHLOROMYCETIN
CODEINE
COLY-MYCIN
CORGARD
CORTISPORIN
CORZIDE
CYTOMEL
DELESTROGEN
DRIZE-R
ENDAGEN
FLORINEF
FLUOGEN
FLUPHENAZINE
GUAIFENESIN
HCBT/APAP
HISTOPLASMIN
HUMATIN
HYDROCODONE
HYDROCORTISONE
KEMADRIN
KETALAR
KETAMINE
KGDAL
KGFED
KGHIST
LEVOXYL
LORABID
MANTADIL
MENEST
MONAFED
MORPHINE
NASABID
NEOPOLYMYXIN
NEOSPORIN
NORDETTE
NUCOFED
ORTHO-PREFEST
OTOCAIN
OXYCODONE
PAPAVERINE
PEDIOTIC
PENICILLIN
PHENIRAMINE
PHENOBARBITAL
PHENTERMINE
PITOCIN
PITRESSIN
POLYSORIN
POLYSPORIN
PROCANBID
PROCTOCORT
PROLOPRIM
QUIBRON
SEPTRA
SILVADENE
TAPAZOLE
THALITONE
THEREVAC
THIOMALATE
THROMBIN
THYROID
TIGAN
TUSSEND
TUSSIGON
TUSSIN
VANEX
VIRA-A
VIROPTIC
WYCILLIN
-2-
Attachment
G
Abbeville
County Health Dept
Access
Community Health Network
Addison
County Health Dept
Adult
& Child Health (cab For Hlth
Adventist
Majuro Hospital
Adventist
Majuro Hospital
Aids
Arms
Inc
Aids
Healthcare Foundation
Aids
Healthcare Foundation
Aids
Healthcare Foundation
Aids
Healthcare Foundation
Akron
Health Department
Ala
D/H
Cherokee County/TB
Ala
D/H
Dallas Cty/TB
ALA
D/H
Xxxxxx Cty/TB
Ala
D/H
Xxx County/TB
Ala
D/H
Monroe Cty/TB
Alamance
County Hospital
Alameda
-
Eastmont Wellness Center
Alameda
-
Hayward Health Center
Alameda
-
Newark Health Center
Alameda
Co Dept of Health
Alameda
County Medical Center
Albany
Cty Mntl Hlth Clinic
Alexander
Co Health Dept
Xxxxxxxxx,
Xxxxx Xxx MD
Alexandria
Health Department Pharma
Allegany
County Health Dept
Xxxxx
County Health Dept
Allentown
Bureau of Health
Xxxx
Xxxxxx Medical Center
Ammonoosuc
Community Hlth Svs
Anchorage
Neighborhood Health Cl
Anchorage
Neighborhood Health/
Xxxxxx
County Health Dept
Angle,
Xxxxxx A MD
Xxxx
Arundel County Government
Anson
Cty
Health Department
Xxxxxxx
Xxxxxxxx
Appalachia
Health District
Appalachian
District Health Departm
Arasu,
Gopinath MD
Area
Health Development Board, Inc.
Arizona
Dept of Health Serv, STD Section
Arkansas
Dept. of Health
Arlington
Comm Clin Pharmacy
Arsenal
Health Center A/B/of
Aschc
Inc
Pharmacy of
Xxxx
County Health Department
Atlantic
City Med Ctr Pharm
Atlantic
City Medical Center
Atlantic
Medical Center, Inc
Atlanticare
Medical Center
Audrain
County Health Unit
Aurora
Sinai Medical Center, Inc.
Autauga
County Health Dept.
Xxxxx,
Xxxxxx E MD
Xxxxxxx
Co Health Department
Xxxxxxx
Co. Health Dept
Baltimore
City Health Dept
Baltimore
City Hlth Dept Cshs
Baltimore
City Hlth Dept DFHC
Baltimore
Medical System, Inc.
Xxxxxxx
County Health Dept
Xxxxxxx
County Health Dept.
Xxxxxx
Xxxxxx Hospital
Barnwell
Co Health Department
Xxxxxxxx
County Health Dept
Xxxxxxxx
County Health Dept.
Barren
River District
Xxxxxxxxx
Pharmacy
Xxxxxxxxx
Pharmacy
Xxxxx
County Health Dept
Xxxxxx
County Health Dept
Bashas’
United Drug, #55 (contracted pharmacy)
Xxxxx
County Health Department
Bay
Medical Center
Beaufort
County Health Dept
Beaufort
County Health Dept.
Beaufort-Jasper
Comp Health
Behaviorial
Health Center
Bellevue
Hospital Center - Hhc
Xxxxxxxx,
Xxxxxx Xxxxx MD
Bentaubgeneralhospital
Xxxxxx
County Health Dept
Xxxxxx-Xxxxxxxx
Dist Hth Dept
Berkeley
Vd Health Clinic
Bernalillo
County Sw Hlth Fld
Xxxxxx
County Health Dept
Bexar
County Hospital District
Xxxx
County TB Program
Birmingham
Dept of Health
-0-
Xxxxxxxxx
Xxxxxxxxx Xxxx Xxx
Xxxxxx
Xxxxxx Health Departmen
Xxxxxxxxx,
Xxxxxxxx S XX
Xxxxxx
Co
Health Department
Blue
Ridge Medical Center, Inc.
Xxxxxx-Xxxxxxx
Health Center
Xxxxxxxxx
County Health Ctr
Bond
Community Health Center
Boston
Health Care For The Homeless
Boston
Medical Center
Boston
Medical Center - Xxxxxx Stre
Boston
Medical Center Intptn
Bowling
Xxxxx Xxxxxx Co Hlth C
Boydton
Medical Center
Boydton
Medical Center
Brackenridge
Hospital
Brackenridge
Hospital
Brackenridge
Hospital Phcy
Xxxxxxx
Xxxxx MD Office
Broadlawns
Medical Center
Broadlawns
Medical Center
Xxxxxx
Pharmacy 335
Xxxxxx
County Health Dept
Broward
Chd
Broward
Co Health Department
Broward
County Health Department
Brunswick
Co Health Dept Ncstd
Brunswick
Co Health Dept-FP
Bullet
County Health Department
Xxxxxxx
County Health Dept.
Xxxxxxx
Health Center
Xxxxxx
Co
Health Department
Buttonwillow
Health Center
Cabarrus
Health Alliance
Cabarrus
Health Alliance
Xxxxxxxx
Co Health Department
Xxxxxxxx
County Health Department
Xxxxxxx
County Health Dept.
Cambridge
Heatlh Alliance Abo
Camden
On
Gauley Med Ctr, Pharm
Camuy
Health Services, Inc
Camuy
Health Services, Inc
Xxxxxxx’x
Drug Store
Canyonlands
Health Care
Capitol
Diaylsis
Carolina
Medical Center Northpark Pharmacy
-3-
Carolinas
Medical Center
Carolinas
Medical Center
Carolinas
Medical Center
Xxxxxxx
Xxxxx Clinic Pharmacy
Xxxxxxxxx,
S Xxxxx Do
Xxxxxxx,
Xxxx X MD
Xxxx
County Health Dept
Xxxxxxxxx
Xxxxxx, M.D.
Castaner
General Hospital, Inc
Xxxxxxx
County Health Dept.
Catahoula
Parish Medical Ctr
Catawba
County Health Dept
Cdt
Playa
Xxxx.xx
Servicios Xxxx.xx Salud
Center
For Mental Health Pharmacy
Centerville
Clinics Inc
Central
Florida Health Care
Central
Florida Healthcare
Central
Georgia Medical Ctr
Central
North Alabama Health Servic
Centro
De
Xxxxx Xx Xxxxx
Centro
De
Salud Familiar
Centro
De
Salud Familiar
Centro
Salud Familiar
Xxxxxx
Health Services
Chamber
County Health Dept
Xxxxxxxx
County Health Dept
Xxxxx,
Xxxxxx Xxxxxx MD
Channel
Medical Center Phmcy
Channel
Pharmacy
Xxxxxxx
County Health Dept.
Xxxxxxx
Xxxxx
Xxxxxxx
Xxxx Health Center
Xxxxxxx
Xxxx Health Center
Xxxxxxx,
Xxxxxx A MD
Charleston
Co Health Departmen
Charleston
Xx.Xxxxxx Dept.
Charleston
Memorial Hospital
Charleston
Memorial Hospital
Chatham
County Health Dept
Chautauqua
Co Health Dept
Chemist
Shop (contracted pharmacy)
Chesterfield
County Health Dept
Chesterfield
County Health Dept.
Childrens
Hospital Pharmacy
Xxxxxxx
Co Health Department
-4-
Chiricahua
Community Health Ce
Choctaw
Co Health Department
Choptank
Community Health
Choptank
Community Health Xxxxxxxx
Chowan
County Health Dept
Xxxxxxxxxxx,
Xxx L Np
Christus
- St. Xxxxxxx Health Syste
Christus
Xxxxx Memorial Hosp
Chu,
Xxxxxxx X X MD
Church
Health Center
Ciales
Primary Health Care
Citizen
Health Corp Phcy
City
of
Baltimore
City
of
Chicago, Department of Proc
City
of
Detroit Health Department
City
of
Long Beach Health Dept
City
of
Saint Louis
City
of
Toledo, Dept of Hlth
City-County
Health Dept.
Clackamas
County Public Health
Clarian
Health Partners, Inc.
Xxxxx
County Health Dept
Xxxxx
County Health District
Xxxxxx
County Health Dept - XX
Xxxx
Co.
Health Department
Clay
County Health Department
Clay
County Health Department
Cleburne
Co Health Department
Cleveland
Clinic Pharmacy
Clinch
River Pharmacy
Clinica
Adelante-buckeye
Clinica
Campesina
Clinica
Compesina Family Health
Clinica
Msr Xxxxx X Xxxxxx
Clinicas
De Salud Del Pueblo
Cloud
County Health Department
Cloverfork
Clinic
Cmc
Xxxxxx Point Pharmacy
Cmc
Xxxxx
Park Pharmacy
CMC
Xxxxx
Park Pharmacy
Cmc-xxxxxx
Point
Cmc-north
Park
Coastal
Family Health Center
Coastal
Family Hlth Center
Xxxxx,
Xxxxxxx A MD
Coconino
County Public Health
-5-
Coffee
County Health Dept.
Coh-Health
& Human Services
Colbert
County Health Dept.
Xxxx
County Health Dept
Colleton
County Home Health - Sc Xx
Xxxxxxx
Health Services Inc
Xxxxxxx
Health Services, Inc
Columbia
Basin Health Assoc
Columbia
Basin Health Association
Columbia
Health Center
Columbia
Valley Community Hlth
Columbine
Family Health Ctr
Columbine
Family Health Ctr
Columbus
Ambulatory Healthcare Serv
Columbus
County Health Dept
Columbus
Neighborhood Health
Columbus
Northeast Health Cntr
Colusa
County Health Dept
Comm
Hlth
And Soc Svcs (chass)
Commonwealth
of Puerto Rico
Communicable/HIV
Drugs
Communicable/Immunizations
Communicable/STD
Drugs
Community
Care Pharmacy
Community
Health Care
Community
Health Care, Pharmac
Community
Health Center
Community
Health Center
Community
Health Centers
Community
Health Centers
Community
Health Centers, Inc
Community
Health Foundation
Community
Health Improvement C
Community
Health of S. Dade, Inc
Community
Health of South Dade
Community
Health of South Dade
Community
Health Partners
Community
Health Pharmacy
Community
Health Services Inc
Community
Hlth Svcs Pharmacy
Community
Medical Center
Comprecare
Health Center Pharm
Comprehensive
Health Ctr, Inc
Comprehensive
Health Pharmacy
Xxxxxxxx
De Salud Integral De
Concilio
De Salud Integral De
-6-
Conecuh
County Health Department Cl
Constant
Care Clinic Pharmacy
Contra
Costa Regional Medical
Xxxx
County HIV Primary Care
Xxxx
County Hospital
Xxxx
County Hospital Pharmacy
Xxxxxx
County Nursing Service
Coosa
Health Department
Cornerstone
Medical Center
Corp
Serv
Integrales De Salud
Corp
Serv
Integrales De Salud
Corp
Serv
Integrales De Salud
Corp
Serv
Integrales De Salud
Corp
Serv
Integrales De Salud
Corp
Serv
Integrales Salud, In
Corp
Serv
Interales De Salud
Corp
Servicios Integrales De
Corp
Servicios Integrales De
Corporacion
De Servicios
Correctional
Health Services Pharma
Xxxxxx-xxxx.xx
Salud A Migrantes
Cottage
Corner Community
Cottage
Corner Health
Xxxxxxxx,
Xxxxxx Xxxxx W MD
Country
Doctor Community Clini
Country
Doctor Community Clini
County
of
Humbolt
County
of
Santa Xxxx
County
of
Santa Xxxx Hlth Svc
Xxxxxxxxx
Co Health Dept.
Xxxxxx
County Health Dept.
Xxxxx,
Xxxxx Xxxxx MD
Xxxxx’x
Drug Store Inc
Crater
Health District Pharmacy
Xxxxxx
County Health Department
Xxxxxxxx
County Memorial Hospital
Xxxxxxxx
County Public Health
Xxxxxxxx
Co Public Health Dept
Xxxxx
County Health Dept
Cross
Timbers Health Clinics,inc
Crozer-chester
Medical Center
Crusaders
Central Clinic Assoc
Crusaders
West End Pharmacy
Crusaders
West End Pharmacy
Crusaders
West End Pharmacy
Crusaders
West End Pharmacy
-7-
Cullman
Co. Health Dept.
Cumberland
County Health Dept.
Cumberland
Hospital - Hhc
Xxxxx
County Health Dept
CVS
Procare Pharmacy #2921 (contracted pharmacy)
D
A W
Inc
Xxxx
Co
Health Department
Dallas
Co
Health Dept
Dallas
Co
Health Dept
Dallas
County Health Dept
Dallas
County Health Dept
Dare
County Health Dept
Xxxxxx
Xxxxxxxx, M.D.
Daughters
of Charity Community
Dave’s
Eagle Super Market, Inc
Xxxxx
Xxxxxx Clinic Pharmacy
Davidson
County Health Dept
Daviess
County Health Dept.
De
La
Torre, Xxxxx Xxxxx MD
Decatur
County Health Dept
Xxxxxx-Xxxxxxxx
Health Ctr
Dekalb
Co
Health Department
Dekalb
County Board of Health
Delta
Community Hlth Ctr, Inc
Delta
County Health Dept
Dent
County Health Department
Denver
Health Medical Center
Department
of Health
Department
of Health Services
Department
of Public Health
Dept
of
Health Services,human Res C
Dept
of
Public Health - CT
Deschutes
County Health Dept
Detroit
Receiving & University Heal
Dhr
District 7 - West Central Hlth
Dhr
District 7- Columbus Health Dept
Xxx
Xxxxxxxx 0, Xxxx 0
Xxx
Xxxxxxxx 9, Unit 3
Xx
Xxxxx,
Xxxxx MD
Xxxxxxx
County Health Dept
Diego,
Xxxxxx Xxxxxxxxx MD
District
Health Dept # 4
Doctor’s
Choice Pharmacy, Inc
Xxxxxxx
County Health Assoc
Xxxxxx,
Xxxxxx C MD
Dover
Health Center
-8-
Downtown
Health Xxxxx
Xxxxxxxx
Xxxxxx Xxxxx
Xx
Xxxxxxxx Xxxxxxxx/xxxx Xxxxxx
Duke
University Medical Center
Duplin
County Health Departmen
Durham
County Health Dept Pharmacy
Dutchess
County Health Dept.
Xxxxx
County Dept of Hlth-
Xxxxx
County Health Department
Xxxxx
County Public Health
E
&
W
Xxxxxxx Ambulatory Care
E
Valley
Community Health Cent
Xxxx
X
Xxxx Medical Center
East
Arkansas Family Hlth Cntr
East
Boston Neighborhood Health
East
Dallas Health Center
East
Metro Health District
East
New
York Diagnostic & Treatmen
Eastside
Health Center Phcy
Eau
Claire Cooperative Health Cente
Ebeye
Hospital
Econo
Drug (contracted pharmacy)
Edgecombe
County Health Department
Edisto
Health District
Xxxxxx
Xxxxxx Chc
El
Rio
Santa Xxxx Neighborhood
Xxxxx
Xxxxxxx Outpatient Pharmacy
Xxxxxxxxx
County Health Dept.
Elmhurst
Hospital Center - Hhc
Xxxxxx
Co
Health Department
Elson
Student Health Center
Elson
Student Health Center
Xxxxx
Xxxxx, M.D.
Erie
Co.
Home And Infirmary
Erie
County Dept. of Health
Erie
County Health Department
Erie
County Health Dept.
Erie
County Medical Center
Erie
County Medical Center
Erlanger
Medical Center
Escambia
Co. Public Hlth Dept
Escambia
County Health Dept
Escondido
Community Clinic
Xxxxxx
Co
Health Dept
Etowah
Co
Health Department
Etowah
Qualit of Life Council
-9-
Evening
Family Planning Clinic
Excelth
Network Central City
Excelth,
Inc. - Florida/desire
Xxxxx,
Xxxxxxx C MD
Fairfax
County Health Dept Ph
Fairmont
Hospital Pharmacy
Family
& Medical Counseling
Family
And Medical Counseling
Family
Health and Social
Family
Health Center
Family
Health Center Abo
Family
Health Center Pharmacy
Family
Health Centers of San Diego
Family
Health Network
Family
Health of North Ms
Family
Health Pharmacy
Family
Health Pharmacy
Family
Health Pharmacy
Family
Health Pharmacy
Family
Healthcare Network
Family
Hlth Ctr Phcy Inc
Family
Med
Family
Medical Clinic Phamacy
Family
Medical Practice
Family
Medicine Pharmacy
Family
Pharmacy Inc
Family
Planning Council of
Family
Practice Pharmacy Abo
Family
Practice Pharmacy, Und
Farmacias
Plaza #3 (contracted pharmacy)
Xxxxxxxx,
Xxxxxxx F MD
Fayette
County Health Dept
Fayette
County Health Dept.
Fenway
Community Health Center
Fenway
Community Health Center, Inc
Xxxxxx
County Health Dept.
First
Choice Community Health
First
Choice Family Health Car
First
choice s. Valley clinic
First
Choice/Xxxxx’x 429
First
Choice/Xxxxx’x 571 (contracted pharmacy)
Xxxxxxxx
Xxxx Ambulatory Healthcare
Florida
Community Health Ctrs
Florida
Department of Health
Florida
Hlth Sciences Ctr Inc
Xxxxx
Hlth Center Pharmacy
-10-
Xxxxx
Hospital Health Center Pharma
Forest
Manor Adolescent Clinic
Forest
Manor Comm Health Ctr
Xxxxxxx
General Hospital
Xxxxxxx
General Hospital Homecare/h
Forsyth
Co. Dept. of Public Health
Fort
Bend
Family Health Center
Xxxxxx
Drug Inc (contracted pharmacy)
Xxxxxxxx
X Xxxxxx Family
Franklin
Co. Health Dept
Franklin
County Health Department
Franklin
County Health Dept
Franklin
County Health Dept.
Franklin
Health Center
Franklin
Memorial Hlth Ctr, In
Franklin
Primary Health Center
Franklin
Primary(Use Acct#5021
Free
Medical Clinic of
Fresno
County Purchasing
Friend
Family Health Center
Froedtert
Clinic Pharmacy
Froedtert
Hosp Main Opd Phcy
Froedtert
Hosp/Outpat Phar #1
Xxx,
Xxxxxx Xxxxxxxx MD
Xxxxxx-dekalb
Hosp Auth: Xxxxx Infe
G
A
Xxxxxxxxxx Family Hlth Ctr
Ga
Charmichael Family Hlth Ctr
Ga
Mountains Community Service
Xxxxxxx,
Xxxxxx J MD
Xxxxxxx
Family Health Network
Garland
Health Center
Gasconade
County Health Dept.
Xxxxxx
County Health Department
Gateway
Community Health
Xxxxxx/Xxxxxx
Health Ctr
Xxxxxx/Xxxxxx
Health Ctr
Xxxxxxx,
Xxxxx Xxx MD
Genesee
Hospital
Geneva
Co
Health Dept.
Georgia
DW Public Health
Georgia
Tuberculosis Center
Gila
Bend
Primary Care
Xxxxxxx,
Xxxxx Xxx MD
Xxxx,
Xxxxxx R Do
Golden
Valley Health Center
Golden
Valley Health Center
-11-
Golden
Valley Health Center
Golden
Valley Health Center
Golden
Valley Health Center
Xxxxxxx,
Xxxxxxx MD
Xxxxx
Xxxx
Xxxxx
Health East Point
Xxxxx
IDP
Health System
Xxxxx
Memorial Hospital
Xxxxx
Memorial Hospital
Xxxxx
Memorial Hospital
Xxxxx
Memorial Outpatient Pharmacy
Grant
Co.
Health Dept.
Grant
County Health Department
Xxxxxxxxx-Xxxxx
Dist Hlth Dept
Grassy
Creek Hlth Center Phcy
Grassy
Creek Pharmacy
Great
Brook Valley Health Center
Greater
Meridan Health Clinic
Greater
Meridian Health Clinic
Greater
Meridian Health Clinic
Greater
New Bedford Community
Green
Co
Health Department
Xxxxxx
County Health Dept
Xxxxxx
County Health Dept
Xxxxxx
Rural Health Center
Greenup
County Health Departme
Greenville
Co Health Dept
Greenwood
Xxxxxxx Hospital
Grundy
County Health Dept
Guilford
Co Hlth Dept Pharm-wendove
Gulf
Coast Health Center
Gurabo
Community Health Center
Gwinnett
County Health Department
Xxxxxxx
Pharmacy
Xxxxxx,
Xxxxx X MD
Xxxxxx
Medical Center
Xxxx
County Health Dept.
Xxxxxxxx
County Health Dept.
Xxxxxxxx
County TB Control
Xxxxxx
Pharmacy Inc
Xxxxxxx
Developmental Center
Hampton
Health Department Pharmacy
Hannahville
Indian Community
Harbor
Health Services Inc
Harbor
Health Services Inc.
Harborview
Medical Center
-00-
Xxxxxx
Xxxxxxxx Xxxxxx - Xxx
Xxxxxx
Xxxxxx Health Dept.
Xxxxxx
County Hospital District
Xxxxxxxx,
Xxxxxx MD
Hartford
Hospital
Hartsville
Health Dept
Harvard
St Neighborhood Hlth Ctr
Harvest
Family Health
Hawaii
State Department of Health
Hcmc
4
North Pharmacy
Health
American
Health
Care Partners, Inc.
Healthnet,
Inc
Healthnet,
Inc
Heart
of
Texas Community Health Cen
Xxxxx
X
Xxxxxxx Family
Xxxxx
Xxxxxxx Family Hlth Ctr.
Hemophilia
Center
Xxxxxxxxx
County Dept of Public Hea
Hennepin
Co Med Ctr 4n Phcy
Hennepin
County Med Center
Hennepin
County Medical Center
Hennepin
County Medical Center
Hennepin
County Medical Center
Hennepin
County Medical Center
Hennepin
County Medical Center
Xxxxx
Co
Health Dept.
Xxxxx
County Health Department
Xxxxx
Health Department
Xxxxxx
Xxxxxx Health Complex
Hertford
County Health Dept
Hickory
County Health Department
Hill
Health Center
Xxxxxxx
Health Center
Hilltop
Health Center
Xxxxxxxx,
Xxxxx MD
Hoboken
Family Planning, Inc.
Xxxx
County Health Dept
Hollywood
Sunset Free Clinic
Xxxxxxx,
Xxxxxx L 11 MD
Xxxxxxx,
Xxxxxxx L MD
Home
Infusion Pharmacy
Homeless
Program
Xxxxx
X
Xxxxxxxx Amb Care Center
Hoopa
Health Association
Hope
Medical Center
-13-
Horry
Co
Hlth Dept Std Pr
Hospital
Pharmacy
Xxxxx
Xxxxxxx Family Hlth Ctr.
Houston
County Health Dept
Xxxxxx
County Health Dept.
Xxxxxx
County Public Hlth Dept
Hrs
Citrus County Health Dept
Xxxxxx
X.
Xxxxxxxx Chc
Huron
Family Health Center
Iberia
Medical Center
Illinois
Department of Public
Illinois
Dept.of Public Health
Indiana
Hemophilia And Thrombosis C
Indiana
University Med Ctr
Intercare
Community Hlth Net.
International
District
Iowa
State Health Department
Ips-West
Baltimore Pharmacy
Iredell
County Health Department
Iron
County Health Department
Xxxxx
Xxxxx Health Connection, Inc
Island
Pond Health Center
X.X.
Xxxxx Community Health Center
J.p.s.
Health Network (tchd)
Xxxxxxx
-
Xxxxxxx Co Health Departm
Xxxxxxx
County Health Dept
Xxxxxxx
County Health Dept.
Xxxxxxx
County Oregon Hhs
Xxxxxxx
Memorial Hospital
Xxxxxxx
Memorial Hospital
Xxxxxxx
Memorial Medical Center
Xxxxxxx
North Maternity Center
Xxxxxxx-Xxxxx,
Compr Ctr
Xxxxx
St
Academic Comm Hlth Ctr
Jefferson
County Health Department
Jefferson
County Public Health
Jefferson
Regional Medical Center
Jefferson
Regional Medical Center
Xxxxxxx
Xxxxx, M.D.
Xxxx
Xxxxxxx Bayview Med Ctr
Xxxxx
Xxxxxxx Bayview
Xxxxx
Xxxxxxx Bayview Medical Cnt
Xxxxx
Xxxxxxx Hospital
Xxxxxxx
County Public Health
Xxxxxxx,
Xxxxx D MD
Xxxxxxxx
County Public Health Depar
-14-
Xxxxx
County Health Dept
Xxxxxx
X
Xxxxx Health Ctr
Kaibeto
Health Clinic
Kansas
Department of Health
Kansas
Dept of Health & Enviro
Kansas
State Bureau of Disease
Kansas
State Department Health
Xxxxx
Xxxxxx
KDHE-Pharmacy
Kentucky
Cabinet For Human Res
Kentucky
Cabinet For Human Res
Xxxx
County Health Dept
Xxxx
Medical Center Pharmacy
Xxxx,
Xxxxxxx X MD
Kingman
County Health Department
Kings
County Health Dept
Kings
County Hospital Center - Hhc
Kings
County Med Cntr
Kino
Community Hospital
Klamath
County Health Dept
Knight
Drugs CDP #1
Xxxx
County Finance-
Xxxx
County Health Department
Xxxx
County Health Dept
Xxxx
County Health Dept.
Kodiak
Public Health Center
La
Casa
De Buena Salud
La
Casa
De Buena Salud, Inc
La
Casa
De Xxxxx Xxxxx
La
Clinica De La Raza
La
Clinica De La Raza
La
Clinica Del Xxxxx
La
Clinica Del Xxxxx Family Health
La
Clinica Pediatric Pharmacy
La
Clinical Del Valley Family
La
Xxxxxxxxx Clinic
La
Maestra Family Clinic
Lac
Harbor UCLA Medl Center
Lac
Harbor Ucla N-22 Pharmacy
Lac
Vieux
Desert Band
Lac/usc
Medical Center
LAC/USC
Medical Center
Laclede
County Health Dept
Lafayette
County Health Dept
Xxxxxxxx,
Xxxxxx Payot Do
Lake
Xxxxxx Medical Center
-15-
Lakeview
Lynay Pharmacy
Xxx,
Xxxxxxx MD
Xxxxx
County Health Department
Lancaster
County Health Dept
Lancaster
County Health Dept
Lane
County Health & Human Services
Lauderdale
Co. Public Hlth Dpt
Laurel
Fork Health Commission, Inc.
Laurel
Heights Clinic
Lawndale
Christian Hlth Ctr
Xxxxxxxx
Co. Health Dept.
Xxxxxxxx
Xxxxxxx County Health Dep
Lbj
Hospital
Xxx
County Health Department
Lehigh
Valley Hospital Center
Xxxxxx
Xxxxxxxx Hospital
Lenoir
Co
Health Dept
Lenoir
County Health Dept.
Xxxxxxx
X
Xxxxxxx Med Center
Xxxxxx,
Xxxxx X MD
Xxxxx
County Primary Care Ctr
Lexington-xxx
Xxxx County
Lexington-Fayette
County Health Dept.
Xxxxxxx
Xxxxxxxx Health Center
Limestone
Co. Hlth Dept.
Lincoln
County H&Hs Department
Lincoln
County Health Departme
Lincoln
County Health Dept
Lincoln
County Health Dept.
Lincoln
Hospital/Sr Xxxxxx
Xxxxxxx
Medical & Mental - HHC
Xxxxx
Vista Hlth Care Ctr
Xxxxxx,
Xxxx Xxxxx Dds
Linn
County Dept of Health
Linn
County Health Dept
Xxxxxxx,
Xxxxxxx M MD
Xxxxxx
Xxxx Health Care Center
Little
River Medical Center
Xxxxxx
Xxxxx District Health
Xxxxxxxxxx
Xxxxxx Xxxxxx Xxx
Xxxxxxxxxx
Xxxxxx Xxxxxx Xxxx
Xxxxxxxxxx
Xxxxxx Health Dept.
Local
Hlth Council of East
Xxxxx,
Xxxxx X Do
Los
Angeles Co Dept of Health Svcs
Los
Angeles Co Dept of Hlth S
-16-
Los
Angeles Cty Midvalley
Los
Angeles Free Clinic
Low
Country Health Care
Lowndes
Co Public Health Department
Lsu
Hospital
Xxxxxx
Xxxxxxx Childrens Hosp
Lummi
Indian Health Center
Lummi
Phs
Indian Hlth Ctr
Xxxx
Community Health Center
Xxxx
Community Hlth Ctr, Inc. Xxxxxxxxxxx, Xxxx Xxxxx MD
Macon
County Health Departmnet
Xxxxx-Xxxx
County Health Dept
Macphersons
Pharmacy
Madison
County Health Dept
Madison
County Health Dept.
Main
Street Health Xxxx Xxxx
Malheur
County Health Dept
Manatee
County Corr Facility
Manatee
County Rural Health Service
Manatee
County, Rural Health
Manatee
County, Rural Health
Marengo
Co. Health Department
Maricopa
County Correctional Health
Maricopa
County Public Health - Cli
Maricopa
Medical Center
Maricopa
Medical Center
Maricopa
Medical Center
Maricopa
Medical Center
Marin
County Health Department
Xxxxxx
County Health Dept
Xxxxxx
County Health Dept.
Mariposa
Community Health Cntr
Mariposa
Community Health Ctr
Mariposa
Community Health Ctr.
Mariposa
Pharmacy
Xxxxxxxx
Co Public Health Dept
Marshfield
Medical Foundation
Xxxxxx
Xxxxxx Xxxx Clinic
Xxxxxx
Xxxxxx Xxxx, Xx.
Xxxxxx
Xxxxxx Washington Dist
Xxxxxx,
Xxxxx A MD
Mattapan
Community Hlth Ctr
Xxx
X
Xxxxxxxxx Amb Fac Health Ctr
Mayaguez
Migrant Hlth Ctr
Xxxxxxx,
Xxxxx X MD
Xxxxxxxxx
Banks Amb Care Pharm
-17-
Xxxxxxxxx
Co Health Dept
Xxxxx,
Xxxxxxx J NP
Mcg
Health, Inc.
Mcghi
Outpatient Pharmacy
Xxxxxxxx
County Health Dept.
MD
Dept
of Health & Mental Hyg
MDPM
Xxxxxxx Heights Clinic
Xxxxx
County Health Department
Mecklenburg
Co Health Departme
Mecklenburg
Co Health Dept
Med
Share
Pharmacy
Medical
Center
Medical
Center Clinics
Medical
Center Hospital Employee Ph
Medical
Center Hospital Pharm
Medical
Center Hospital Pharmacy
Medical
Center of Central GA
Medical
Center of Central GA
Medical
Center of La Hiv Clnc
Medical
College of Georgia
Medical
Ctr of La Nw Orlns/chr
Medical
Univeristy of S Caroli
Medical
University of SC
Memorial
Hermann Hospital
Memorial
Hospital At Gulfport
Memphis
Health Center, Inc
Memphis/shelby
Co. Hlth. Dept.
Mendocino
Coast Health Clinic, Inc.
Mendocino
Comm Health Clinics
Mendocino
Comm Hlth Clinic, In
Merced
Commun Med Ctr
Xxxxxx
County Health Dept.
Mercy
Diagnostic & Treatment
Mercy
Hospital & Medical Cente
Xxxxxxxxx
Memorial Outpatient
Methodist
Specialty/transplant
Metro
Family Practice Inc
Metro
Health Dept. of Nashville
Metropolitan
Hospital Center - Hhc
Metropolitan
Nashville General
Miami
County Health Department
MIC-Womens
Hlth Services/MHRA
Mid
Cumberland Regional Office
Migrant
Health Program
Xxxx
Xxxxxx Xxxxxx Xxxxxx
Xxxx
Xxxxxx Health Center
-18-
Mile
Square Neighborhood Clinic
Milwaukee
Health Dept Ctrl Ctr
Milwaukee
Hlth Services, Inc
Mission
Mesa Pediatrics
Mission
Neighborhood Health Ct
Mississippi
County Health
Mississippi
State Department of Hea
Missouri
Department of Health
Missouri
Department of Health
Missouri
Dept of Health
Xxxxxxxx
County Health Dept.
Mobile
County Health Departmen
Mobile
County Health Dept
Mohave
County Health Departmen
Xxxxxxxx,
Xxxxxxx Xxxxxx Dds
Mon
Valley Asn Hlth Ctrs, Inc.
Monroe
County Health Dept
Montefiore
Medical Group
Montezuma
Creek Community
Xxxxxxxxxx
Co Health Dept
Xxxxxxxxxx
Co Health Dept.
Xxxxxxxxxx
County Health & Human
Xxxxxxxxxx
County Health Dept
Xxxxxxxxxx
County Health Dept
Xxxxxxxxxx
Primary Care, XXX
Xxxxx
& Xxxx Pharmacy - Whitehall B
Xxxxx
Co
Health Dept
Xxxxx,
Xxxxxxx X MD
Xxxxxx
co. Health department
Morovis
Community Health
Morovis
Community Health
Morovis
Community Hlth.ctr.,inc.
Morovis
Community Xxxx.Xxx.Xxx
Xxxxxx
Heights Health Center
Morrisania
Diagnostic & Treatment C
Xxxxxx
County Health Dept
Xxxxxxxx,
Xxxx E MD
Mountain
Maternal Hlth League
Mountain
Park Health Center
Mountain
Park Health Center
Mountain
People’s Health
Mountain
Peoples’ Hlth Councils,
Xxxxxx,
Xxxxxxxx Bashshar MD
Mt
Auburn
Health Center Inc
Mt
Shasta
Medical Clinic
Mt.
Xxxxxx Regional Medical Center
-19-
Muhlenberg
Community Hospital
Multnomah
Co. Health Dept.
Musc
Hollings Cancer Cente Pharmacy
Musc
Xxxxxxxxx Banks Pharmacy
Musc
Rt
Pharmacy
Xxxxxx
Xxxxxxxx Xxxxx Comp
N
C
Baptist Hospital Pharmacy
N
Vallley
Clinic
Xxxxx
Xxxxx
Xxxxx,
Xxxxx MD
NAPCH
Care Pharmacy (contracted pharmacy)
Naphcare
Pharmacy
Naphcare,
Inc.
Naranjito
Health Center
Naranjito
Health Center
Xxxx
County Health Dept
National
City Family Clinic
National
Jewish Medical & Research
Xxxxxxxxx
Medical Center
Xxxxxxxxx
Medical Ctr/monterey Co
Navajo
County Health Dept
NC
Dept
of Hlth & Hmn Services
NCBH
Piedmont PY
Ncs
Healthcare Salisbury
Ne
Health
Plan
Nebr
Hlth
Sys Summit Plz Phar
Nebraska
Health & Human Services
Neighborhood
Health Ctr Phcy
Nevada
Rural Health Centers-xxxxxx
Xxxxxxx,
Xxxxxx G MD
New
Gouverneur Hospital Snf
New
Hanover County Health Departmen
New
Hanover County Health Dept
New
Haven
Clinic
New
Horizons Mental Health Clinic,
New
York
Childrens Health Proj
New
York
City Dept of Health
New
York
City Dept. of Health
Newark
Xxxx Xxxxxx Medical Ctr
NJ
Dept
of Health & Senior Svs
NJ
Dept
of Health Warehouse
Njl
Inc
Pharmacy Services
NORCOR
Norfolk
Health Department Pharmacy
Xxxxx
Xxxxxxxxx Xxxxxx
Xxxxx
Xxxxxxxxx Health Center
-00-
Xxxxx
Xxxxxxx Xxxxxxxx Xxxxxxxx
Xxxxx
Xxxxxxx Hospital District
North
Campus Pharmacy
North
Carolina Baptist Hospital
North
Carolina Baptist Hospital
North
Carolina Baptist Hospital
North
Carolina Baptist Hospitl
North
Central Bronx Hospital
North
Country Community Health Cent
North
County Health Services
North
County Health Svcs.
North
Dade Health Center
North
East Medical Services
North
Oakland Medical Center
Northampton
County Health Dept
Northeast
Health Ctr Pharmacy
Northeast
Heatlh Center Pharm
Northeast
Medical Group
Northeast
Mississippi
Northeast
Ohio Neighborhood Health
Northeast
Ohio Neighborhood Health
Northeast
Valley Health Corp
Northwest
Arizona Regional Health C
Xxxxxxxxx
Xxxx Xxxxxx
Xxxxxxxxx
Xxxxxxx Xxx Xxxxxxxx
Xxxxxxxxx
Xxxxxxxx(Xxx # 4981)
Nw
Michigan Comm Health Agcy
NYC
Health & Hospital
Nyc
Health & Hospital Corp
Oahu
Community Mental Health
Oc
Public
Health Department
Ocean
Side Community Hlth Clin
Xxxxxx,
Xxxxx Xxxxx MD
Oklahoma
Department of Health
Oklahoma
State Dept of Hlth
Oklahoma
State Health Dept
Oldham
County Health Dept.
Olive
View Med Ctr
Olive
View Medical Center
Xxxxx,
Xxxxx X MD
Onslow
County Health Dept
Open
Door
Family Med Center
Oph-dept
of Hlth & Human Srvs
Orange
County Dept of Health
Orange
County Health Department
Oregon
County Health Dept
-21-
Oregon
County Health Dept
Oregon
Health Division - Dental Program
Oregon
State Health Division
Orocovis
Health Center
Osonma,
Xxxxxxx Xxxxxxxxx MD
Out
Patient Pharmacy
Outpatient
Pharmacy
Ozark
County Health Center
PA
Department of Health
PA
Dept
of Health
Xxxxxxx
Pharmacy (contracted pharmacy)
Xxxxxxx
Pharmacy (contracted pharmacy)
Palmetto
Richland Memorial Pharmacy
Palmetto
Richland Pharmacy, Ps
Park
Duvalle Community Health
Park
Shore Pharmacy
Park
West
Medical Center, Inc
Parkland
Memorial Hospital
Parkland
Memorial Hospital
Parkland
Memorial Hospital
Parkland
Memorial Hospital
Parks,
Xxxxxx Xxxx MD
Xxxxx,
Xxxxx G MD
Pasquotank
Co Health Dept
Patillas
Health Center
Patillas
Health Center
Xxxxxxxxx,
Xxxxx L MD
Xxxx
Xxxxxxxxx, M.D.
Pediatric
Family Med
Pee
Dee
Health District
Penn
State Xxxxxx X. Xxxxxxx Medica
Penncare
Obgyn At Presbyterian
Penncare
Obgyn At Presbyterian
Pennsylvania
Dept of Health
Pennsylvania
Dept of Health
Penobscot
Nation Hlth Dept
People’s
Family Health Serv.
Peoples
Clinic Pharmacy
Peoples
Clinic Pharmacy
Peoples
Community Health Clinic
Peoples
Health Centers Phcy
Xxxxx,
Xxxxxx M Do
Perry
Co.
Health Department
Perry
County Health Dept
Person
Street Pharmacy of Raleigh Inc
Petaluma
Health Care District
-22-
Pgpa
Pharmacy, Inc
Pharmacy
Pharmerica/xxxxx
Welcome Clinic
Xxxxxx
County Health Dept
Philadelphia
Department of
Philadelphia
Department of
Philadelphia
Dept of Public
Piedmont
Plaza Pharmacy
Piedmont
Plaza Pharmacy
Pike
Co
Health Dept
Pike
Community Pharmacy (contracted pharmacy)
Pike
Market Med Clinic
Pike
Market Medical Clinic
Pikens
Co. Health Department
Pima
County Health Dept
Pinal
County Finance Dept
Pinal
County Public Health
Pine
Hills Family Health Center
Pioneer
Memorial Hospital
PIT
River
Health Servic, Inc
Pitt
County Health Department
Pittsburg
Health Center Phcy
Xxxxxxx
Xxxxxxxxxx
Xxxxxxx
Xxxxxxxxxx of
Xxxxxxx
Xxxxxxxxxx of Eastern Oklah
Xxxxxxx
Xxxxxxxxxx of N M
Platte
County Health Dept
PMS
Pharmacy Services
Polk
County Health Dept
Polk
County Public Health
Portsmouth
Health Department
Portsmouth
Health Dept
Potter
Valley Community Health Cent
Presbyterian
Hospital
Presbyterian
Hospital of Greenville
Presbyterian
Medical Center
Presbyterian
Medical Center
Presbyterian
Medical Center
Presbyterian
Medical Ctr
Presbyterian
Medical Services
Primary
Care Center Pharmacy
Primary
Care Center Pharmacy
Primary
Care Health Services
Primary
Health Care Pharmacy
Primary
Health Care Services
Primemed
Pharmacy Srvcs, Inc
-23-
Programa
Sida De San Xxxx
Prospect
Hill Health Center
Providence
Community Health
Provident
Hospital
Provident
Hospital of Xxxx County
Provident
Medical Center
Public
Health Div, Rx Serv Sect.
Pueblo
Community Health Center,
Xxxxxx
County Health Dept
Queen’s
Physicians Office Bldg. Ii
Queens
Hospital Center
Queens
Hospital Center - HHC
X.x.
Xxxxx Medical Ctr
Raleigh
General Hospital
Xxxxx
County Health Department
Xxxxxxxx
County Health Dept
Xxxxxxx,
Xxxxx Day Do
Rea
Clinic-xxxxxxxxxxx Grtr Area
Regional
Medical Center
Regional
Medical Center of Memphis
Regional
Medical Center-Memphi
Regional
Medical Xxx.Xx Lubec
Regions
Hospital
Regions
Hospital
Regions
Hospital Pharmacy
Renaissance
Health Care Ntwk
Renaissance
Health,diagnostic & Trt
Xxxxx,
Miarflor T MD
Rice
County Health Dept
Xxxxxxx
X. Xxxxxx, M. D.
Richmond
County Health Dept
Richmond
Health Center
Xxxxx
County Manhattan
Xxxxxx
Health Center
Rio
Grande Comm Health Center
Riverside
County Regional Medical
Riverside
Neighborhood Health
Riverside
San Bernadino Center
Roanoke,
City Health Dept Pha
Xxxxxx
Xxxxxxxxx
Xxxxxxx
County Dept of Public Healt
Rochester
Gen/Gen Apoth
Rochester
Mental Hlth Ctr.
Rochestergeneralhospital
Rockingham
County Dept of Public He
Rockingham
County NC
-24-
Xxxxx,
Xxxxxx Xxxxxx MD
Xxxxxxxx
Pharmacy Group Inc
Xxxxxxxxx-Xxxxx,
Xxxxxxx MD
Roosevelt
Pharmacy
Xxxxxxxxx,
Xxxxxx J MD
Rossville
Health Center
Rowan
County Health Dept
Rural
Health Care Inc
Rural
Health Services, Inc.
Rural
Health Svcs Consortium,inc
Xxxxxxx
Ambulatory Ctr Xxxx
Xxxxxxx
Co Health Dept.
Xxxxxxxx
Tower Operating Room Pharm
Ryder
Memorial Hospital
S
C Hou
Comm Action Coun
Sacramento
County Pharmacy & S
Xxxxxx’x
Pharmacy (contracted pharmacy)
Saline
County Health Departmen
Saline
County Health Office
Salt
Lake
Community Health
Salt
Lake
Community Health Centers
Salt
Xxxx
Xxxxxxxxx Xxxxxx Xxx
Xxxxxxx
Xxxxxx Health Dept
Xxxxxx
X.
Xxxxxxx Comm. Health Ctr.
Xxxxxx
X.
Xxxxxxx Comm. Health Ctr.
San
Xxxxxx - Xxx Xxxxx Health Dept.
San
Antonio Neighborhood Hlth
San
Xxxxxx Health Foundation
San
Bernardino County of
San
Xxxxxxxx Health Center
San
Francisco General Hospital
San
Francisco General Hospital
San
Xxxxxxx General Hospital
San
Xxxxxxx General Hospital O
San
Xxxx
Basin Health Department
San
Xxxxxx Health Care Center
San
Xxxxx
Peninsula Hospital
San
Xxxxxxx Pharmacy
San
Xxxxxxx Pharmacy
San
Ysidro Health Center
Xxxxxxx,
Xxxxx Xxxxxx MD
Santa
Xxxxxxx Cnty-comm Hlth Clinic
Santa
Xxxxx Valley Medical
Santa
Xxxxx Valley Medical Center
Sarasota
County Health Department
Sarasota
County Health Department
-25-
Xxxxxxxx,
Xxxxxxx X MD
Sc
Dhec
Xxxxxx County Health D
Sc
Xxxxxxxx Co Health Dept.
Scenic
Bluffs Health Center
Xxxxxxxx
County Health Dept
Xxxxxxxx
Xxxxxxx, Xxxxxx S MD
Scotland
Co Health Dept
Script
Shop Pharmacy
Script
Shop Pharmacy
Sea
Island Medical Center
Seminole
Tribe of Florida
SF
General Hospital Med Center
Shah,
Xxxx Xxxxxx M MD
Xxxxxx
At
Agh
Xxxxxx
Cancer Center
Xxxxxx
Hospital
Xxxxxx
Jacksonville Medical Ct
Shands
Medical Plaza
Shands
Teaching Hosp & Clinic
Shands
Teaching Hosp & Clinic
Shands
Teaching Hosp, & Clinic
Shands
Teaching Hospital
Shands
Teaching Hospital
Shands
Teaching Hospital & Clinic
Shands
Teaching Hospital And
Shands/Alachua
Shasta
Co
Health Dept
Shasta
Community Health Center
Shawnee
County Health
Shelby
County Health Dept
Shelby
County Health Dept
Siletz
Community Hlth Xx Xxxx
Xxxxxxxx,
Xxxxxx D MD
Sinai
Community Pharmacy
Sinai
Samaritan Medical Center, Inc
Smiths
Pharmacy (contracted pharmacy)
Snohomish
Health District
Somerton
Clinic
Sonoma
County Health Services
Sonoma
County Indian Health
Sonoma
County Indian Health
South
Baltimore Family Health
South
Baltimore Family Health
South
Baltimore Family Hlth, C
South
Baltimore Pharmacy
South
Bronx Health Center
-00-
Xxxxx
Xxxxx Health Center
South
Carolina Department of Health
South
Carolina Dhec Std Prog.
South
Central Public Health
South
County Health Center
South
Dakota Dept of Health
South
Lake Family Health Ctr
South
Lake, Fam Health Center
South
Texas Rural Health Servi
Southeast
Family Health Care
Southeast
Tn Regional Pub Hlth
Southern
Ohio Health Service
Southern
Ohio Health Services
Southside
Pharmacy
Southside
Pharmacy
Spartanburg
Co Health Dept
Spectrum
Pharmacy Services
Springfield/Xxxxxx
County
St
Xxxxxxx County Govt
St
Clair
Co Health Dept.
St
Helena
Center
St
Xxxxx-Xxxxxx Rural
St
Xxxxxx-Xxxxxxxx County
St
Louis
Comprehensive Health
St
Xxxx -
Xxxxxx Co Dept Public Health
St.
Claire County Health
St.
Xxxxx
Health Center Pharma
St.
Xxxx
Detroit Riverview Hospital
St.
Xxxxxx Mercy Care Services
Xx.
Xxxxx
Xxxxxxxxxxx
Xx.
Xxxxx
Xxxxxx D.o.c.h.a.m.c.
St.
Mary’s Regional Medical Center
St.
Vincent Charity Hospital
Xxxxx,
Xxxxx Xxxx MD
Stadlanders
Pharmacy (contracted pharmacy)
Xxxxxxxxxxx
Pharmacy (contracted pharmacy)
Stanislaus
Outpatient Pharmacy
Xxxxxxx
Co Health Department
Xxxxxxx,
Xxxxxxxx K MD
Xxxxxxxxx,
Xxxxxx Xxxxxx MD
State
Lab
Institute
State
of
AL. Clinic Labs
State
of
Colorado
State
of
Georgia
State
of
Hawaii Dept of Health
Statscript
#0000
-00-
XXX
Xxxxxxx
Xxx
Xxxxxxxxx Xxxxxx Hlt Dept
Xxxxxxxx
County Health Dept
Xxxxxx
County Health Department
Stone
Mountain Health Services
Stop
Six
Community Clinic
Xxxxx
Street Clinic
Student
Health Service
Suffolk
County Dept Hlth Svcs.
Suffolk
County Dept. of Health Serv
Xxxxxxxx
County Dept of Health
Xxxxxxxx
County Health Dept
Sumter
Co. Health Dept.
Sun
Life
Family Health Center
Sun
Life
Health Center
Suncoast
Community Health Center
Sunlife
Family Health Care Ctr
Suny
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Health Science Ctr At Brookl
Surry
County Health & Nutrition Cen
Surry
County Health Dept.
Xxxxxx
Xxxxxx Medical Center
Xxxxxx
Xxxxxx Medical Center
Xxxxx
County Health Dept
Xxxxx
Parkway Health Center
Sycuan
Medical Dental Center
Syracuse
Community Phcy, Inc
Talladega
Co Health Department
Talladega
Co Health Department
Tallapoosa
co. Health dept
Tallapoosa
County Health Dept.
Tampa
General Hospital
Taney
County Health Dept
Tarrant
County Hospital District
Tb
Control Program
Xxxxxxxxxx,
Xxxxx MD
Tennessee
Dept of Health
Texas
Dept of Health
The
Apothercary At Umgp
The
Assistance Fund
The
Assistance Fund
The
Children’s Hospital
The
Door
Center For Alternativ
The
Durham Center
The
Genesee Hospital
The
Xxxxxxx Xxxxxxx Special
The
Ohio
Department of Health
-28-
The
Script Shop, Inc
The
Ucsf
Ambulatory Care Center
The
Winston County Hlth Dept
Xxxx,
Xxxxxxxxx W MD
Xxxxxx
X
Xxxxxxx Medical Ctr
Xxxxxx
X
Xxxxxxx Medical Ctr
Xxxxxx
X
Xxxxxxx Medical Ctr
Xxxxxx
X
Xxxxxxx Medical Ctr
Xxxxxx
Street Pharmacy
Xxxxxxxx,
Xxxxx X MD
Thunder
Bay Comm Hlth - Atlanta
Xxxxxxxx
Xxxxxxx Hlth Ctr
Tollesboro
Clinic Pharmacy
Tollesboro
Clinic Pharmacy
Xxxxx,
Xxxx B MD
Travelers
Aid Society
Tri-County
Health Dept
Trident
Co Health District
Trident
Health District
Tulalip
Health Clinic
Tulane
University Hospital
Tulare
Co
Health Department
Tuscaloosa
Health Department
Uc
Xxxxx
Cancer Center Pharmacy
Uc
Xxxxx
Medical Center
Uci
Pharmacy Technology
Ucla
Medical Center
Ucla
Medical Center - Opdcia
UCLA
Medical Center Medical
Ucla
Medical Plaza
Ucla
Medical Plaza - 1st Floor Phar
UCLA
Medical Plaza 1st Floor
Ucsd
Ambulatory Care Clinic
Ucsd
Medical Group Pharmacy
Ulster
Co
Health Department
Umatilla
County Public Health
Umc
Quick
Care At The Lk Pharm
Und
Family Practice Pharmacy
Union
Co
Health Department
Union
County Public Health
United
Coalition Pharmacy
United
Coalition Pharmacy
United
Neighborhood Health Services Xxxxx Family Health Center
United
Neighborhood Health Svcs
Univ
Health Network Xxxxx Pharmacy
Univ
Health Network Greenwood Pharm
-29-
Univ
Health Network Mount Xxxxx Pha
Univ
Hospital & Clinics
Univ
of
Ala Hosp. Clinic/pharmacy
Univ
of
Arizona
Univ
of
Calif San Francisco
Univ
of
California San Diego
Univ
of
Iowa Hospital & Clnc
Univ
of
Maryland Hospital
Univ
of
Maryland Medical Systs
Univ
of
MD Medical Systems
Univ
of
Med & Dent of NJ
Univ
of
Medicine and Dentistry
Univ
of
Utah Pharmacy At Rocky Mt.
Univ
of
Virginia Hospital Xxxxxxxxx
Univ
of
Virginia Med Center
Univeristy
of Texas Medical Branch
Univerity
Hlth Net-Pk City-Phs
University
Health Center Dwtn
University
Healthcare Center
University
Hospital
University
Hospital
University
Hospital & Clinics
University
Hospital & Clinics Pharm
University
Hospital of Arkansas
University
Hospital, Inc.
University
Med Center
University
Med Center Home Inf
University
Medical Center
University
Medical Center
University
Medical Center
University
Medical Center
University
Medical Center
University
Medical Center
University
Medical Center
University
Medical Center OF
University
Medical Center of So. NE
University
Medical Center, Inc
University
of Alabama Hospital
University
of Cincinnati Hospital
University
of Colorado Hospital
University
of Florida Plaza Ph
University
of Iowa Hospitals And Cl
University
of Kansas
University
of Maryland Med Sys
University
of Medcn & Dntstry of NJ
University
of New Mexico Hospital
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University
of Nm Outpatient Ph
University
of Pennsyvania Health
University
of Utah
University
of Utah
University
of Utah Med Center
University
of Utah Xxxxxxxxx Clinic
University
of Va Barring
University
of VA Medical Center
University
of VA Primary Care
University
of Virginia Med Ctr
University
of Washington
University
Physicians Building Phar
Utah
Department of Health
Utah
State Health Dept
Uvalde
County Clinic, Inc.
Vaccination
Services of America, In
Valley
Aids Council
Valley
Health
Valley
Health Center At Xxxxxx
Valley
Health Center At Chaboya
Valley
Health Center At Moorpark
Valley
Health Center At Silvercreek
Valley
Health Systems Inc
Valley
Regional Medical Center
Valley
Wide Pharmacy
Xxxxx
County Health Dept
Xxxxx-xxxxxx
Compre,health Plan
Vanderbilt
#2 Outpatient
Vanderbilt
#2 Outpatient
Vanderbilt
University Hosp
Vanderbilt
University Medical
Vanderbilt
University Medical
Vanderbilt
University Medical Cntr
Vanderburgh
County Health Dept
Xxxxxx,
Xxxxx MD
Xxxxxxx
County Med Center
Ventura
County Medical Center
Ventura
County Medical Center
Ventura
County Medical Center
Ventura
County Ob/Gyn Med Ctr
Xxxxxx
County Health Dept
Virginia
Beach Health Department
Volusia
Chd
Volusia
Chd
Vono
Pharmacy
Vono
Pharmacy
-31-
W
Al
Health Svcs Inc
W
VA
Department of Health & XX
Xxxxxxxxx
County Health Dept
Wabaunsee
Health Department
Wahluke
Family Health Center Pharma
Xxxxxxxxx,
Xxxxx L MD
Wake
County Human Services Pharmacy
Wake
Medical Center
Wakulla
Medical Center
Xxxxxx
County Health Dept.
Wallowa
County Health Dept
Xxxxxx
Chd
Xxxxxx
County Health Dept
Xxxxx-Xxxxxxx
Public Health
Washington
Co Health Dept
Washington
County Public Hlth
Washington
Free Clinic
Washington
Health Center
Washoe
Co
Health Dept
Washoe
Pharmacy At Xxxxxx
Wateree
Public Hlth Dist Phcy
Waverly
Belmont Family Health Ct
Xxxxx
County Health Department
Xxxxx
County Medical Clinic
Xxxxx
County Health Dept
West
End
Pharmacy
West
Georgia Health System, Inc.
West
Georgia Medical Center
West
Oakland Health Council, Inc
West
Side
Comm Health Services
West
Side
Community Health Center
West
VA
Dept-Hlth & Human Res.
Westchester
Co.dept.of Health
Westchester
County Health Departmen
Westside
Community Health
Westside
Community Health Cent
Westside
Community Hlth Ctr
Westside
Health Center
Wewahitchka
Medical & Dent Ctr
Whiteside
County Health Department
Xxxxxxx
Xxxxxx Clinic
Xxxxxxx
Xxxxxx Clinic
Xxxxxxx
Xxxxxx Clinic
Xxxxxxx
Xxxxxx Clinic
Xxxxxxx
Xxxxxx Clinic
Xxxxxxx
Xxxxxx Clinic, Phcy
-32-
Wicomico
County Health Dept
Xxxxxx
Co
Health Department
Xxxxxx
Memorial Hospital
Xxxxxxx
X
Xxxxxxx Memorial Hsp
Xxxxxx
County Health Dept
Xxxxxx,
Xxxxxxx A MD
Xxxxxxx
County Health Depart.
Winter
Garden Family Health
Winter
Garden Family Hlth Ctr
Wishard
Health Services
Xxxxxxx
Memorial Hospital
Xxxxxxx
Memorial Hospital
Wmh
Xxxxxxxxx Community Hlth C
Wmh
Forest Manor Community Hlt
Wnc
Community Health
Xxxxxxxx
Hospital - HHC
Xxxxxx
County Health Dept
Wyoming
TB Program
Yadkin
County Health Dept
Yakima
Memorial Hospital
Yakima
Neighborhood Health Services
Yakima
Scripts & Supplies
Yakima
Scripts & Supplies
Yamhill
County HHS Department
York
County Health Department
Yphantides,
Theophilos E MD
Yuma
County Health Department
Yuma
County P
-33-