Petitioner: DEPARTMENT OF HEALTH, BOARD OF MEDICINE
Respondent: ELIZABETH LOPEZ, M.D.
Judges: JOHN G. VAN LANINGHAM
Agency: Department of Health
Locations: Miami, Florida
Filed: May 07, 2010
Status: Closed
Settled and/or Dismissed prior to entry of RO/FO on Tuesday, November 23, 2010.
Latest Update: Dec. 22, 2024
STATE OF FLORIDA
DEPARTMENT OF HEALTH
DEPARTMENT OF HEALTH,
PETITIONER,
CASE NO.: 2008-18673
10 4. TPL
ELIZABETH LOPEZ, M.D.,
RESPONDENT.
a |
ADMINISTRATIVE COMPLAINT
COMES NOW, Petitioner, Department of Health, by and through its
undersigned counsel, and files this Administrative Complaint before the Board of
Medicine against Respondent, Elizabeth Lopez, M.D., and in support this alleges:
1. Petitioner is the state department charged with regulating the
practice of medicine pursuant to Section 20.43, Florida Statutes; Chapter 456,
Florida Statutes; and Chapter 458, Florida Statutes.
2. At all times material to this Complaint, Respondent was a licensed
physician within the State of Florida, having been issued license number ME
62775.
3. Respondent's address of record is 1855 NE 8™ Street, Homestead,
Florida, 33033.
In Re: Emergency Suspension of License of 1
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
4. At all times material to this Complaint Respondent was not Board
Certified in Pain Management.
5. At all times material to this cause between June 2008 and
September 2009, Respondent treated twenty two (22) patients for chronic pain
management.
6. These twenty-two (22) patients are referred to by their initials as
DC, RC, DB, MB, KD, JF, MK, DL, TM, PM, GR, LR, BC, JC, JC2, WF, JH,TL, EM,
WM, SR, and JT.
7. The Department commenced an investigation of Respondent from
May 2009, through September 2009; partly as a result of a complaint in July
2008 from a Walgreen’s pharmacist in Jupiter, Florida, alleging that Respondent
was prescribing suspicious amounts of controlled substances to patients with
Florida addresses but with Kentucky telephone numbers and partly because of a
June 2009 inspection of Respondent's medical office where it appeared that
excessive and inappropriate amounts of controlled substances were being
prescribed to patients in Ohio and Kentucky.
8. The types of controlled substances in question that were prescribed
by Respondent are listed as follows:
a) Xanax (brand name for alprazolam, benzodiazepine,
Schedule IV) is prescribed to treat anxiety. According to Section
893.03(4), Florida Statutes, (2009), alprazolam is a Schedule IV controlled
substance that has a low potential for abuse relative to the substances in
NS Elzabeth Lopes MD. ;
License No. ME 62775
Case No, 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
In Re:
Schedule III and has a currently accepted medical use in treatment in the
United States and abuse of the substance may lead to limited physical or
psychological dependence relative to the substances in Schedule III.
b) Hydromorphone (brand name Dilaudid, opioid, Schedule II,
a metabolite of hydrocodone) is commonly prescribed to treat pain.
According to Section 893.03(2), Florida Statutes, (2009), hydromorphone
is a Schedule II controlled substance that has a high potential for abuse
and has a currently accepted but severely restricted medical use in
treatment in the United States, and abuse of hydromorphone may lead to
severe psychological or physical dependence.
c) Oxycodone (opioid, Schedule II) is commonly prescribed to
treat pain. According to Section 893.03(2), Florida Statutes, (2009),
oxycodone is a Schedule II controlled substance that has a high potential
for abuse and has a currently accepted but severely restricted medical use
in treatment in the United States, and abuse of oxycodone may lead to
severe psychological or physical dependence.
d) OxyContin is the brand name of a time-release formula of
oxycodone referred to above.
e) Oxydose is the brand name for the liquid preparation of
oxycodone referred to above.
f) . Roxicodone is the brand name of an instant or rapid release
formula of oxycodone referred to above.
Emergency Suspension of License of 3
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
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g) Percocet is the brand name for the formulation of oxycodone
and acetaminophen (Tylenol).
h) Soma (see carisoprodol, muscle relaxant, Schedule IV) is the
brand name for carisoprodol, a muscle relaxant commonly prescribed to
treat muscular pain. According to Section 893.03(4), Florida Statutes,
(2009), carisoprodol is a Schedule IV controlled substance that has a low
potential for abuse relative to the substances in Schedule III and has a
currently accepted medical use in treatment in the United States, and
abuse of carisoprodol may lead to limited physical or psychological
dependence relative to the substances in Schedule III.
i) Valium (class benzodiazepine, Schedule IV) is the brand
name for diazepam and is prescribed to treat anxiety. According to
Section 893.03(4), Florida Statutes, (2009), diazepam is a Schedule IV
controlled substance that has a low potential for abuse relative to the
substances in Schedule III and has a currently accepted medical use in
treatment in the United States, and abuse of diazepam may lead to limited
physical or psychological dependence relative to the substances in
Schedule III.
FACTS SPECIFIC TO PATIENT DC
9. From on or about June 5, 2008 until on or about April 13, 2009,
Patient DC presented to Respondent with complaints of lower back and leg pain
with a diagnosis of lumbar radiculopathy. Respondent there and then prescribed
In Re: | Emergency Suspension of License of 4
Elizabeth Lopez, M.D.
License No. ME 62775
Case No, 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
90 tablets of Roxicodone 30 milligrams (‘mg”), 60 tablets of Xanax 2 mg, and 60
tablets of Soma 350 mg for DC based solely on the verbal patient history that DC
related to Respondent concerning the current pain management regimen.
Respondent did not have the benefit of any of DC’s prior medical records and
Respondent did not verify through diagnostic testing whether the alleged
prescription medications were present, nor did Respondent exclude the presence
of other drugs in DC’s system.
10. Respondent's medical records show that she prescribed multiple
simultaneous prescriptions for large amounts of Xanax 2 milligrams, Roxicodone
30 milligrams, Roxicodone 15 milligrams, and Soma 350 milligrams for DC on the
dates and in the quantities described in the following table:
Roxicodone Roxicodone
In Re:
Xanax (oxycodone) (oxycodone)
(alprazolam) 30 mg 15 mg Soma
6/5/2008 6/5/2008 6/5/08
2 mg 30 mg 350 mg
#60 #90 #60_—.
7/3/2008 7/3/2008 7/3/2008
2mg 30 mg 350 mg
#60 #120 #60
8/18/2008 8/28/2008 8/28/08
2mg 30 mg 350 mg
#90 #120 #60
9/25/2008 9/25/2008
2mg 30 mg
#90 #150
10/23/2008 | 10/23/2008
2 mg 30 mg
#90 #150
11/19/2008 11/19/2008
2 mg 30 mg
#90 #150
Emergency Suspension of License of
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC ~ LOPEZ 2008-18673 21710 FINAL 030910.doc
Roxicodone Roxicodone
Xanax (oxycodone) (oxycodone)
alprazolam 30 mg 15 mg Soma
12/16/2008 12/16/2008 12/16/2008
2mg 30 mg 15 mg
#90 #150 #90
1/19/2009 1/19/2009
2mg 30 mg
#90 #45 .
1/19/2009
30 mg
#150
2/16/2009 2/16/2009
2mg 30 mg
#90 #45
2/16/2009
30 mg
#150
3/16/2009 3/16/2009 3/16/09
2mg 30 mg 15 mg
#90 #150 #90
4/13/2009 4/13/09 4/13/09
2mg 30 mg 15 mg
#90 #60 #90
4/13/09 |
30 mg
L__ #90 |
11. In medicine, titration is the process of gradually adjusting the dose
of a medication until the desired effect is achieved.
12. Respondent's medical records fail to show in her evaluation of the
patient and in his treatment plan one or more of the following:
A complete medical history and physical examination that
a)
was conducted and documented in the medical record;
In Re: — Emergency Suspension of License of
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
b) = Documentation of the nature and intensity of the pain,
current and past treatments for pain, underlying or coexisting diseases or
conditions, the effect of the pain on physical and psychological function,
and/or history of substance abuse;
c) The presence of one or more recognized medical indications
for the use of a controlled substance;
d) A written treatment plan with stated objectives that would
be used to determine treatment success, such as pain relief and improved
physical and psychosocial function, and/or failed to indicate if any further
diagnostic evaluations or treatments were planned;
e) After treatment began, why Respondent adjusted drug
therapy to the medical needs of the patient;
f) Other treatment modalities or a rehabilitation program
depending on the etiology of the pain and the extent to which the pain is
associated with physical and/or psychosocial impairment;
g) Verification from DC’s previous physicians whether his
treatment was terminated for substance abuse/diversion.
FACTS SPECIFIC TO PATIENT RC
13. From on or about June 6, 2008 until on or about July 29, 2008,
Patient RC presented to Respondent with complaints of lower back pain from a
fall with a diagnosis of lumbar radiculopathy. Respondent there and then
In Re: Emergency Suspension of License of 7
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
prescribed 120 tablets of Roxicodone 30 milligrams (‘mg”), 120 tablets of Soma
350 mg and 60 tablets of Xanax 2 mg for RC based solely on the verbal patient
history that RC related to Respondent concerning the current pain management
regimen. Respondent did not have the benefit of any of RC’s prior medical
records and Respondent did not verify through diagnostic testing whether the
alleged prescription medications were present, nor did Respondent exclude the
presence of other drugs in RC’s system. |
14. Respondent's medical records show that she prescribed multiple
simultaneous prescriptions for large amounts of Xanax 2 milligrams, Roxicodone
30 milligrams, and Soma 350 milligrams for RC on the dates and in the quantities
described in the following table:
Roxicodone
Xanax (oxycodone)
(alprazolam) 30 mg Soma
6/6/08 6/6/2008 6/6/2008
2 mg 30 mg 350 mg
_ #60 #120 #60
7/3/2008 7/3/2008 7/3/2008
2 mg 30 mg 350 mg
#60 #150 #60
7/29/2008 7/29/2008 | 7/29/2008
2mg 30 mg 350 mg
#60 #150 #60
15. | Respondent's medical records fail to show in her evaluation of the
patient and in his treatment plan one or more of the following:
a) A complete medical history and physical examination that
was conducted and documented in the medical record;
In Re: Emergency Suspension of License of 8
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
b) Documentation of the nature and intensity of the pain,
current and past treatments for pain, underlying or coexisting diseases or
conditions, the effect of the pain on physical and psychological function,
and/or history of substance abuse;
c) ~ The presence of one or more recognized medical indications
for the use of a controlled substance;
d) A written treatment plan with stated objectives that would
be used to determine treatment success, such as pain relief and improved
physical and psychosocial function, and/or failed to indicate if any further
diagnostic evaluations or treatments were planned;
e) After treatment began, why Respondent adjusted drug
therapy to the medical needs of the patient;
f) Other treatment modalities or a rehabilitation program
depending on the etiology of the pain and the extent to which the pain is
associated with physical and/or psychosocial impairment;
g) Verification from RC’s previous physicians whether his
treatment was terminated for substance abuse/diversion.
FACTS SPECIFIC TO PATIENT DB
16. From on or about February 12, 2008 until on or about April 24,
2009, Patient DB presented to Respondent with complaints of back problems
from a fall and neck pain from a motor vehicle accident with a diagnosis of
lumbar radiculopathy. Respondent there and then prescribed 240 tablets of
In Re: Emergency Suspension of License of 9
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
Roxicodone 30 milligrams (‘mg”) and 60 tablets of Xanax 2 mg for DB based
solely on the verbal patient history that DC related to Respondent concerning the
Current pain management regimen. Respondent did not have the benefit of any
of DB’s prior medical records and Respondent did not verify through diagnostic
testing whether the alleged prescription medications were present, nor did
Respondent exclude the presence of other drugs in DB’s system.
17. Respondent's medical records show that she prescribed multiple
simultaneous prescriptions for large amounts of Xanax 2 milligrams, Roxicodone
30 milligrams, Roxicodone 15 milligrams, Percocet 10 milligrams, Soma 350
milligrams and/or Valium 10 milligrams for DB on the dates and in the quantities
described in the following table:
Roxicodone Roxicodone Percocet
Xanax (oxycodone) (oxycodone) (oxycodone)
(alprazolam) 30 mg _ 15 mg 10 mg Soma Valium
2/12/2008 2/12/2008
2mg 30 mg
#60 #240 i
| 6/23/2008 6/23/2008 6/23/2008
30 mg 15 mg 10 mg
#240 #60 #60
11/7/2008 11/7/2008 11/7/2008
2 mg 30 mg 15 mg
#60 #240 #60
12/5/2008 12/5/2008 12/5/2008 i-
2mg 30 mg 10 mg
#60 #240 #60
1/2/2009 1/2/2009
10 mg 350 mg
#325 #20
1/30/2009 1/30/2009 | 1/30/2009 | 1/30/2009
2 mg _ 30mg 10 mg 350 mg
#60 #? #60 #20
In Re: — Emergency Suspension of License of 10
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
Roxicodone Roxicodone Percocet
Xanax (oxycodone) (oxycodone) (oxycodone)
_(alprazofam) 30 mg 15 mg 10m Soma Valium
2/26/2009 2/26/2009 2/26/2009 2/26/2009
2mg 30 mg 15 mg 10 mg
#60 #180 #120 #325
3/27/2009 3/27/2009 3/27/2009
2mqg 30 mg 10 mg
#60 #40 #60
3/27/2009
30 mg |
#200
4/24/2009 4/24/2009 4/24/2009
2mqg 30 mg 10 mg
#60 #240 #325
4/24/2009
2mg
#325
18. Respondent's medical records fail to show in her evaluation of the
patient and in his treatment plan one or more of the following:
a) A complete medical history and physical examination that
was conducted and documented in the medical record;
b) Documentation of the nature and intensity of the pain,
current and-past treatments for pain, underlying or coexisting diseases or
conditions, the effect of the pain on physical and psychological function,
and/or history of substance abuse;
c) The presence of one or more recognized medical indications
for the use of a controlled substance;
In Re: — Emergency Suspension of License of
Elizabeth Lopez, M.D.
License No. ME 62775
Case No, 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
il
d) — A written treatment plan with stated objectives that would
be used to determine treatment success, such as pain relief and improved
physical and psychosocial function, and/or failed to indicate if any further
diagnostic evaluations or treatments were planned;
e) After treatment began, why Respondent adjusted drug
therapy to the medical needs of the patient;
f) Other treatment modalities or a rehabilitation program
depending on the etiology of the pain and the extent to which the pain is
associated with physical and/or psychosocial impairment;
9) Verification from DB’s previous physicians whether his
treatment was terminated for substance abuse/diversion; .
h) A failure to justify the high frequency simultaneous
prescription of such large quantities of Roxicodone 30 milligrams together
with Xanax 2 milligrams and Roxicodone 15 milligrams and or Percocet 10
milligrams from on or about February 12, 2008 to on or about April 24,
2009.
FACTS SPECIFIC TO PATIENT MB
19. From on or about February 28, 2008 until on or about March 30,
2009, Patient MB presented to Respondent with complaints of repeated work
injuries causing neck and upper back pain with a diagnosis of cervical
radiculopathy. Respondent there and then prescribed 210 tablets of Roxicodone
30 milligrams (‘mg’), 120 tablets of Roxicodone 15 mg, and 60 tablets of Xanax
In Re:
Emergency Suspension of License of 12
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
2 mg for MB based solely on the verbal patient history that MB related to
Respondent concerning the current pain management regimen. Respondent did
not have the benefit of any of MB’s prior medical records and Respondent did not
verify through diagnostic testing whether the alleged prescription medications
were present, nor did Respondent exclude the presence of other drugs in MB's
system.
20. Respondent's medical records show that she prescribed multiple
simultaneous prescriptions for large amounts of Xanax 2 milligrams, Roxicodone
30 milligrams, and Roxicodone 15 milligrams for MB on the dates and in the
quantities described in the following table:
Roxicodone Roxicodone
Xanax (oxycodone) (oxycodone)
(alprazolam) 30 mg 15 mg
2/28/2008 2/28/2008 2/28/2008
2 mg 30 mg 15 mg
#60 #210 ___ #120
3/27/2008 3/27/2008
2mg 30 mg
#60_ #270
4/24/2008 4/24/2008
2mg 30 mg
#60 #270
5/28/2008 5/28/2008
2mg 30 mg
|__—~#60 #270
7/22/2008 7/22/2008
2mg 30 mg
#60 #270
11/10/2008 11/10/2008 |
2mg 30 mg
#60 #270
In Re: — Emergency Suspension of License of 13
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
4J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
Roxicodone Roxicodone
Xanax (oxycodone) (oxycodone)
(alprazolam) 30mg 15 mg
12/8/2008 12/8/2008
2mg 30 mg
#60 #270 |
1/5/2009 1/5/2009 |
2 mg 30 mg
#60 #270
2/2/2009 2/2/2009 2/2/2009
2mqg 30 mg 15 mg
#60 #210 =| ~—s #120
3/2/2009 3/2/2009 3/2/2009
2mg 30 mg 15 mg
#60 #270 #120
3/30/2009 3/30/2009 3/30/2009
2 mg 30 mg 15 mg
#60 #270 #120
21. Respondent's medical records fail to show in her evaluation of the
patient and in his treatment plan one or more of the following:
In Re:
a) A complete medical history and physical examination that
was conducted and documented in the medical record;
b) Documentation of the nature and intensity of the pain,
current and past treatments for pain, underlying or coexisting diseases or
conditions, the effect of the pain on physical and psychological function,
and/or history of substance abuse;
Cc) The presence of one or more recognized medical indications
for the use of a controlled substance;
Emergency Suspension of License of 14
Elizabeth Lopez, M.D.
License No. ME 62775
"Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
d) A written treatment plan with stated objectives that would
be used to determine treatment success, such as pain relief and improved
physical and psychosocial function, and/or failed to indicate if any further
diagnostic evaluations or treatments were planned;
e) After treatment began, why Respondent adjusted drug
therapy to the medical needs of the patient;
f) Other treatment modalities or a rehabilitation program
depending on the etiology of the pain and the extent to which the pain is
associated with physical and/or psychosocial impairment;
Q) Verification from MB’s previous physicians whether his
treatment was terminated for substance abuse/diversion;
h) Respondent's medical records do not contain medical
justification for the high frequency simultaneous prescription of such large
quantities of Roxicodone 30 milligrams together with Roxicodone 15 .
milligrams and Xanax 2 milligrams from on or about February 28, 2008, to
on or about March 30, 2009.
FACTS SPECIFIC TO PATIENT KD
22, From on or about March 27, 2008 until on or about August 24,
2009, Patient KD presented to Respondent with complaints of a previous hip
replacement and subsequent thoracic pain with a diagnosis of compression
fracture and thoracic radiculopathy. Respondent there and then prescribed 180
In Re:
Emergency Suspension of License of 15
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673 .
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
tablets of Roxicodone 30 milligrams (‘mg”), 90 tablets of Soma 350 mg, and 60
tablets of Xanax 2 mg for KD based solely on the verbal patient history that KD
related to Respondent concerning the current pain management regimen.
Respondent did not have the benefit of any of KD’s prior medical records and
Respondent did not verify through diagnostic testing whether the alleged
prescription medications were present, nor did Respondent exclude the presence
of other drugs in KD’s system.
23. Respondent's medical records show that she prescribed multiple
simultaneous prescriptions for large amounts of Xanax 2 milligrams, Roxicodone
30 milligrams, Oxydose 20 milligrams per cc, and Soma 350 milligrams for KD on
the dates and in the quantities described in the following table:
Dilaudid Roxicodone
Xanax (hydro- (oxycodone) oxycodone
(alprazolam) morphone) Oxydose 30 mg 10 mg Soma
3/27/2008 3/27/2008 3/27/2008
2 mg ; 30 mg 350 mg
#60 #180 #90
4/24/2008 4/24/2008 4/24/2008 4/24/2008
2 mg 20 mg/cc 30 mg 350 mg
#60 1 bottle #180 i a #90
6/19/2008 6/19/2008 6/19/2008 6/19/2008
2mg | 20 mg/cc 30 mg 350 mg
#60 2 bottles #180 #90 |
11/10/200
11/10/2008 8 11/10/2008 11/10/2008
2mg icc 30 mg 350 mg
#60 3 bottles #200 #90
12/8/2008 12/8/2008 12/8/2008 12/8/2008 |
2mg 20 mg/cc 30 mg 350 mg
#60 |__3 bottles #200 #90
In Re: — Emergency Suspension of License of 16
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Mitne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
Dilaudid
Roxicodone
Xanax (hydro- (oxycodone) oxycodone
_(alprazolam) morphone) Oxydose 30 mg 10 mg Soma
1/5/2009 1/5/2009 1/5/2009 1/5/2009
2mg 20 mg/cc 30 mg 350 mg
#60 3 bottles #? #90
2/2/2009 2/2/2009 2/2/2009 2/2/2009
2 mg 20 mg/cc 30 mg 350 mg
#60 3 bottles #200 #90
3/2/2009 3/2/2009 3/2/2009 3/2/2009
2mg 4mg 20 mg/cc 350 mg
#60 #150 3 bottles #90
6/2/2009
2mg
#60
6/29/2009 6/29/2009
2 mg 30 mg
#60 #240
8/24/2009 8/24/2009 8/24/2009
2 mg 30. mg 10 mg
#60 #240 #120
24. Respondent's medical records fail to show in her evaluation of the
patient and in his treatment plan one or more of the following:
a)
was conducted and documented in the medical record;
b)
A complete medical history and physical examination that
Documentation of the nature and intensity of the pain,
In Re:
current and past treatments for pain, underlying or coexisting diseases or
conditions, the effect of the pain on physical and psychological function,
and/or history of substance abuse;
Cc) The presence of one or more recognized medical indications
for the use of a controlled substance;
Emergency Suspension of License of 17
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
d) A written treatment plan with stated objectives that would
be used to determine treatment success, such as pain relief and improved
physical and psychosocial function, and/or failed to indicate if any further
diagnostic evaluations or treatments were planned;
e) After treatment began, why Respondent adjusted drug
therapy to the medical needs of the patient;
f) Other treatment modalities or a rehabilitation program
depending on the etiology of the pain and the extent to which the pain is
associated with physical and/or psychosocial impairment;
g) Verification from KD’s previous physicians whether his
treatment was terminated for substance abuse/diversion;
h) Respondent's medical records do not contain medical
justification for the high frequency simultaneous prescription of such large
quantities of Roxicodone 30 milligrams together with Oxydose 20
milligrams per cc, Soma 350 milligrams and Xanax 2 milligrams from on or
about March 27, 2008 to on or about August 24, 2009.
FACTS SPECIFIC TO PATIENT JF
25. From on or about October 1, 2007, until on or about August 20,
2009, Patient JF presented to Respondent with complaints of back pain foliowing
a fall in 2005 with a diagnosis of lumbar radiculopathy. Respondent there and
‘then prescribed 60 tablets of Xanax 2 milligrams (‘mg”) for JF based solely on
In Re: Emergency Suspension of License of 18
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
the verbal patient history that JF related to Respondent concerning the current
pain management regimen. Respondent did not have the benefit of any of JF’s
prior medical records and Respondent did not verify through diagnostic testing
whether the alleged prescription medications were present, nor did Respondent
exclude the presence of other drugs in JF’s system.
26. | Respondent’s medical records show that she prescribed multiple
simultaneous prescriptions for large amounts of Xanax 2 milligrams, Roxicodone
30 milligrams, and Roxicodone 15 milligrams for JF on the dates and in the
quantities described in the following table:
Roxicodone Roxicodone
Xanax (oxycodone) (oxycodone) oxycodone
(alprazolam) 30 MG 15 MG 10 MG
10/1/2007
2mg
#60
T 10/16/2007
15 mg
#90
10/16/2007
15 mg
#30 [
~ | 10/16/2007 |
15mg
I #120
11/13/2007 11/13/2007
2 mg 10 mg
#60 #90
12/11/2007 12/11/2007
2mg 15 mg
#60 | __ #90 |
1/5/2008 1/5/2008
2mqg 15 mg
#60 #60
In Re: — Emergency Suspension of License of 19
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
In Re:
Roxicodone Roxicodone
Xanax (oxycodone) (oxycodone) oxycodone
(alprazolam) 30 MG 15 MG 10 MG
2/8/2008 2/8/2008 2/8/2008
2mg 30 mg 15 mg
#60 #150 #90
3/4/2008 3/4/2008 3/4/2008
2mg 30 mg 15 mg
#60 #150 #90
4/11/2008 4/11/2008
2mg 30 mg
#60 #195
4/29/2008 4/29/2008
2mg 15 mg
#60 #90
, 4/29/2008
30 mg
#180
5/27/2008 5/27/2008
2mg 30 mg
#60 #225 L
6/24/2008 6/24/2008
2mg 30 mg
#60 #225
7/22/2008 7/22/2008
2mg 30 mg
#60 #225
8/19/2008 8/19/2008
2mg 30 mg
#60 #240
12/8/2008 12/8/2008
2mg 30 mg
#60 #240 |
T 1/5/2009
30 mg
#240
2/2/2009 2/2/2009
2mg 15 mg
#60 [ #60
3/3/2009 3/3/2009 3/3/2009
2mg 30 mg 15 mg
#60 #240 #60
Emergency Suspension of License of
Elizabeth Lopez, M.D.
License No. ME 62775
Case No, 2008-18673
J:\PSU\Medical\Robert Miine\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
20
Roxicodone Roxicodone
Xanax (oxycodone) (oxycodone) oxycodone
(alprazolam) 30 MG 15 MG 10 MG
3/31/2009 3/31/2009 3/31/2009
2mg 30 mg 15 mg
#60 #50 #60
3/31/2009
30 mg
— #190
4/28/2009 4/28/2009 4/28/2009
2mg 30 mg 15 mg
#60 #240 #60
5/26/2009 5/26/2009 5/26/2009
2mg 30 mg 15 mg
#60 #240 #60
6/23/2009 6/23/2009 6/23/2009
2mg 30 mg 15 mg
#60 #240 #60
7/21/2009 7/21/2009 7/21/2009
2mg 30 mg 15 mg
#60 #240 #60.
8/20/2009 8/20/2009 8/20/2009
2mg 30 mg 15 mg
#60 #240 #120
27. Respondent's medical records fail to show in her evaluation of the
patient and in his treatment plan one or more of the following:
In Re:
a) A complete medical history and physical examination that
was conducted and documented in the medical record;
b) Documentation of the nature and intensity of the pain,
current and past treatments for pain, underlying or coexisting diseases or
conditions, the effect of the pain on physical and psychological function,
and/or history of substance abuse;
Emergency Suspension of License of 21
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
Cc) The presence of one or more recognized medical indications
for the use of a controlled substance;
d) A written treatment plan with stated objectives that would
be used to determine treatment success, such as pain relief and improved
physical and psychosocial function, and/or failed to indicate if any further
diagnostic evaluations or treatments were planned;
e) After treatment began, why Respondent adjusted drug
therapy to the medical needs of the patient;
f) Other treatment modalities or a rehabilitation program
depending on the etiology of the pain and the extent to which the pain is
associated with physical and/or psychosocial impairment;
g) Verification from JF’s previous physicians whether his
treatment was terminated for substance abuse/diversion;
h) Respondent's medical records do not contain medical
justification for the high frequency simultaneous prescription of such large
quantities of Roxicodone 30 milligrams together with Roxicodone 15
milligrams and Xanax 2 milligrams from on or about October 1, 2007, to
on or about August 20, 2009.
FACTS SPECIFIC TO PATIENT MK
28. From on or about November 10, 2008, until on or about June 22,
2009, Patient MK presented to Respondent with complaints of construction work-
related lower back and thoracic disc pain with a diagnosis of jumbar and cervical
In Re:
Emergency Suspension of License of 22
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
radiculopathy. Respondent there and then prescribed 240 tablets of Roxicodone
30 milligrams (“mg”), 60 tablets of Percocet 10 mg, 90 tablets of Soma 350 mg,
and 60 tablets of Xanax 2 mg for MK based solely on the verbal patient history
that MK related to Respondent concerning the current pain management
regimen. Respondent did not have the benefit of any of MK’s prior medical
records and Respondent did not verify through diagnostic testing whether the
alleged prescription medications were present, nor did Respondent exclude the
presence of other drugs in MK’s system.
29. Respondent's medical records show that she prescribed multiple
simultaneous prescriptions for large amounts of Xanax 2 milligrams, Dilaudid 4
milligrams, Roxicodone 30 milligrams, Roxicodone 15 milligrams, and Soma 350
milligrams for MK on the dates and in the quantities described in the following
table:
Roxicodone Roxicodone Percocet
Xanax Dilaudid (oxycodone) (oxycodone) (oxycodone)
(alprazolam) (hydrocodone) 30mg __ i5m 10m Soma
11/10/2008 “11/10/2008 | 11/10/2008 | 11/10/2008
2 mg 30 mg 10 mg 350 mg
#60 #240 #60 #90
12/8/2008 12/8/2008 12/8/2008 12/8/2008
2mg 30 mg 15 mg 350 mg
#60 #240 #60 #120
1/5/2009 1/5/2009 1/5/2009
2mg 30 mg 350 mg
#60 #240 #120
1/5/2009
30 mg
#30
In Re:
Emergency Suspension of License of
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
23
Roxicodone Roxicodone Percocet
Xanax Dilaudid (oxycodone) (oxycodone) (oxycodone)
(alprazolam) (hydrocodone) 30 mg 15 mg 10 mg Soma
2/2/2009 2/2/2009 2/2/2009 2/2/2009
2mg 30 mg 15 mg 350 mg
#60 #240 #60 #120
3/2/2009 3/2/2009 3/2/2009 3/2/2009
2mg 4mg 15 mg 350 mg
#60 #200 #60 #120
3/30/2009 3/30/2009 3/30/2009 3/30/2009
2mg 4mg 15 mg 350 mg
#60 #60 #60 #120
4/27/2009 4/27/2009 4/27/2009 4/27/2009
2mg 4mg 15 mg 350 mg
#60 #240 #60 #120
6/22/2009 6/22/2009
15 mg 350 mg
#90 #120
30. Respondent's medical records fail to show in her evaluation of the
patient and in his treatment plan one or more of the following:
In Re:
a) A complete medical history and physical examination that
was conducted and documented in the medical record;
b) Documentation of the nature and intensity of the pain,
current and past treatments for pain, underlying or coexisting diseases or
conditions, the effect of the pain on physical and psychological function,
and/or history of substance abuse;
c) The presence of one or more recognized medical indications
for the use of a controlled substance;
Emergency Suspension of License of 24
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
d) A written treatment plan with stated objectives that would
be used to determine treatment success, such as pain relief and improved
physical and psychosocial function, and/or failed to indicate if any further
diagnostic evaluations or treatments were planned;
e) After treatment began, why Respondent adjusted drug
therapy to the medical needs of the patient;
f) Other treatment modalities or a rehabilitation program
depending on the etiology of the pain and the extent to which the pain is
associated with physical and/or psychosocial impairment;
g) Verification from MK’s previous physicians whether his
treatment was terminated for substance abuse/diversion; |
h) Respondent's medical records do not contain medical
justification for the high frequency simultaneous prescription of such large
quantities of Roxicodone 30 milligrams together with Roxicodone 15
milligrams, Xanax 2 milligrams, Soma 350 milligrams and/or Dilaudid 4
milligrams from on or about November 10, 2008, to on or about June 22,
2009. |
FACTS SPECIFIC TO PATIENT DL
31. From on or about November 14, 2007, until on or about February
27, 2009, Patient DL presented to Respondent with complaints of lower back
pain with a diagnosis of lumbar radiculopathy. Respondent there and then
prescribed 60 tablets of Xanax 2 milligrams (*mg”) for DL based solely on the
In Re:
Emergency Suspension of License of 25
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
verbal patient history that DL related to Respondent concerning the current pain
management regimen. Respondent did not have the benefit of any of DL’s prior
medical records and Respondent did not verify through diagnostic testing
whether the alleged prescription medications were present, nor did Respondent
exclude the presence of other drugs in DL’s system.
32.
Respondent’s medical records show that she prescribed multiple
simultaneous prescriptions for large amounts of Xanax 2 milligrams, Oxydose 20
milligrams per cc, Roxicodone 30 milligrams, Roxicodone 15 milligrams, and
Soma 350 milligrams for DL on the dates and in the quantities described in the
Valium
following table:
Roxicodone Roxicodone
Xanax (oxycodone) (oxycodone)
(alprazolam) _Oxydose 30 mg 15 mg Soma
11/14/2007
2 mg
| _—«#60
6/4/2008 6/4/2008
2 mg 30 mg
#60 | #180 |
7/1/2008 7/1/2008
2 mg 30 mg -
#60 #240
9/19/2008 | 9/19/2008 9/19/2008
2mg 30 mg 15 mg
[ #60 #240 #60
10/17/2008 | 10/17/2008
30 mg 350 mg
#240 #60
11/14/2008 11/14/2008 | 11/14/2008
30 mg 15 mg 350 mg
#240 #60 #60
In Re:
Elizabeth Lopez, M.D.
License No. ME 62775
Case No, 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
Emergency Suspension of License of
{ft
|
10/17/2008
10 mg
#60
26
Roxicodone Roxicodone
Xanax (oxycodone) (oxycodone)
(alprazolam) _Oxydose 30 mg 15 mg Soma Valium
12/12/2008 | 12/12/2008 | 12/12/2008 12/12/2008
2 mg 20m 30 mg 15 mg
#60 1 bottle #240 #60
T 12/28/2008
350 mg
#60
1/6/2009 1/6/2009 1/6/2009 1/6/2009
2mg 20m 15 mg 350 mg
#60 2 bottles #60 #60
2/2/2009 2/2/2009 2/2/2009 2/2/2009
2mg 20m 15 mg 350 mg
#60 2 bottles #60 #60
2/27/2009 2/27/2009 2/27/2009 2/27/2009 2/27/2009
2mqg 30 mg 15 mg 350 mg
#60 2 bottles #240 #60 #60
33. Respondent's medical records fail to show in her evaluation of the
patient and in his treatment plan one or more of the following:
a) A complete medical history and physical examination that
was conducted and documented in the medical record;
b) Documentation of the nature and intensity of the pain,
In Re:
current and past treatments for pain, underlying or coexisting diseases or
conditions, the effect of the pain on physical and psychological function,
and/or history of substance abuse;
Cc) The presence of one or more recognized medical indications
for the use of a controlled substance;
Emergency Suspension of License of 27
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
d) A written treatment plan with stated objectives that would
be used to determine treatment success, such as pain relief and improved
physical and psychosocial function, and/or failed to indicate if any further
diagnostic evaluations or treatments were planned;
e) After treatment began, why Respondent adjusted drug
therapy to the medical needs of the patient;
f) Other treatment modalities or a rehabilitation program
depending on the etiology of the pain and the extent to which the pain is
associated with physical and/or psychosocial impairment;
g) Verification from DL’s previous physicians whether his
treatment was terminated for substance abuse/diversion;
h) Respondent’s’ medical records do not contain medical
justification for the high frequency simultaneous prescription of such large
quantities of Roxicodone 30 milligrams together with Roxicodone 15
milligrams, Xanax 2 milligrams, Oxydose 20 milligrams per cc and/or
Soma 350 milligrams from on or about November 14, 2007 to on or about
February 27, 2009.
FACTS SPECIFIC TO PATIENT TM
34. From on or about January 31, 2008, until on or about June 24,
2009, Patient TM presented to Respondent with complaints of lower back pain
from two motorcycle accidents with a diagnosis of lumbar radiculopathy.
Respondent there and then prescribed 90 tablets of Roxicodone 30 milligrams
In Re:
Emergency Suspension of License of 28
Elizabeth Lopez, M.D.
License No, ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
(‘mg”) and 60 tablets of Xanax 2 mg for TM based solely on the verbal patient
history that TM related to Respondent concerning the current pain management
regimen. Respondent did not have the benefit of any of TM’s prior medical
records and Respondent did not verify through diagnostic testing whether the
alleged prescription medications were present, nor did Respondent exclude the
presence of other drugs in TM’s system
35. | Respondent’s medical records show that she prescribed multiple
prescriptions for large amounts of Xanax 2 milligrams, Roxicodone 30 milligrams,
Roxicodone 15 milligrams, and Percocet 10 milligrams for TM on the dates and in
the quantities described in the following table:
Dilaudid Roxicodone Roxicodone Percocet
Xanax (hydro- (oxycodone) (oxycodone) (oxycodone)
(alprazolam) morphone contin 30m 15 mg 10 mg
1/31/2008 1/31/2008
2mg 30 mg
#60 #90
3/5/2008 3/5/2008
2mg 30 mg
| #60 | #120
5/28/2008 5/28/2008
2mg 30 mg
#60 L #180
9/17/2008 9/17/2008
30 mg 10 mg
#210 ; #30
11/12/2008
11/12/2008 10 mg
30 mg #30
#210
12/10/2008 12/10/2008
30 mg 10 mg
#210 #30
In Re:
Emergency Suspension of License of
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
29
Dilaudid Roxicodone Roxicodone Percocet
Xanax (hydro- (oxycodone) (oxycodone) (oxycodone)
(alprazolam) morphone) Oxycontin 30mg i5m 10 mg
1/7/2009
30 mg
#240
2/4/2009
15 mg
#120
3/4/2009 3/4/2009
4mg 10 mg
#240 #120
4/1/2009 4/1/2009
40 mg 10 mg
#60 #120
4/29/2009
30 mg
ee #240
5/27/2009
30 mg
a #240
6/24/2009 6/24/2009
30 mg 15 mg
| #240 #120
36 Respondent's medical records fail to show in her evaluation of the
patient and in his treatment plan one or more of the following:
a) A complete medical history and physical examination that
was conducted and documented in the medical record;
b) Documentation of the nature and intensity of the pain,
current and past treatments for pain, underlying or coexisting diseases or
conditions, the effect of the pain on physical and psychological function,
and/or history of substance abuse;
In Re: — Emergency Suspension of License of 30
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673 ;
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
c) The presence of one or more recognized medical indications
for the use of a controlled substance;
d) A written treatment plan with stated objectives that would
be used to determine treatment success, such as pain relief and improved
physical and psychosocial function, and/or failed to indicate if any further
diagnostic evaluations or treatments were planned;
e) After treatment began, why Respondent adjusted drug
therapy to the medical needs of the patient;
f) Other treatment modalities or a rehabilitation program
depending on the etiology of the pain and the extent to which the pain is
associated with physical and/or psychosocial impairment;
g) Verification from TM’s previous physicians whether his
treatment was terminated for substance abuse/diversion;
h) Respondent’s medical records do not contain medical
justification for the high frequency simultaneous prescription of such large
quantities of Roxicodone 30 milligrams together with Roxicodone 15
milligrams and Xanax 2 milligrams and or Percocet 10 milligrams from on
or about January 31, 2008, to on or about June 24, 2009.
FACTS SPECIFIC TO PATIENT PM
37. From on or about October 27, 2008, on or about until April 16,
2009, Patient PM presented to Respondent with complaints of knee pain with a
diagnosis of lumbar radiculopathy. Respondent there and then prescribed 150
In Re:
Emergency Suspension of License of 31
Elizabeth Lopez, M.D.
License No, ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
tablets of Roxicodone 30 milligrams (*mg”), 60 tablets of Roxicodone 15 mg, and
30 tablets of Xanax 2 mg for PM based solely on the verbal patient history that
PM related to Respondent concerning the current pain management regimen.
Respondent did not have the benefit of any of PM’s prior medical records and
Respondent did not verify through diagnostic testing whether the alleged
prescription medications were present, nor did Respondent exclude the presence
of other drugs in PM’s system. |
38. Respondent's medical records show that she prescribed multiple
simultaneous prescriptions for large amounts of Xanax 2 milligrams, Roxicodone
30 milligrams, and Roxicodone 15 milligrams for PM on the dates and in the
quantities described in the following table:
Roxicodone Roxicodone
Xanax (oxycodone) (oxycodone)
_(alprazolam) 30 mg _ 15 mg
10/27/2008 10/27/2008 10/27/2008
2mqg 30 mg 15 mg
#30 #150 #60 :
11/13/2008 11/13/2008 11/13/2008
2mg 30 mg 15 mg
#45 #225 #90
1/2/2009 1/2/2009 1/2/2009
2mg 30 mg 15 mg
#30 #150 #60
1/28/2009 1/28/2009 1/28/2009
2mg 30 mg 15mg
#60 #300 #120
3/20/2009 3/20/2009 3/20/2009
2 mg 30 mg i5 mg
#60 #150 #120
In Re: Emergency Suspension of License of 32
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
Roxicodone Roxicodone
Xanax (oxycodone) (oxycodone)
alprazolam) 30 mg 15 mg
4/16/2009 4/16/2009 4/16/2009
2mg 30 mg 15 mg
#60 #90 #120
4/16/2009
30 mg
#60
39. Respondent's medical records fail to show in her evaluation of the
patient and in his treatment plan one or more of the following:
In Re:
a) A complete medical history and physical examination that
was conducted and documented in the medical record;
b) Documentation of the nature and intensity of the pain,
current and past treatments for pain, underlying or coexisting diseases or
conditions, the effect of the pain on physical and psychological function,
and/or history of substance abuse;
c) The presence of one or more recognized medical indications
for the use of a controlled substance;
d) -A written treatment plan with stated objectives that would
be used to determine treatment success, such as pain relief and improved
physical and psychosocial function, and/or failed to indicate if any further
diagnostic evaluations or treatments were planned;
Emergency Suspension of License of 33
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
e) After treatment began, why Respondent adjusted drug
therapy to the medical needs of the patient;
f) Other treatment modalities or a rehabilitation program
depending on the etiology of the pain and the extent to which the pain is
associated with physical and/or psychosocial impairment;
9g) Verification from PM’s previous physicians whether his
treatment was terminated for substance abuse/diversion;
h) Respondent's medical records do not contain medical
justification for the high frequency simultaneous prescription of such large
quantities of Roxicodone 30 milligrams together with Roxicodone 15
milligrams and Xanax 2 milligrams from on or about October 27, 2008, to
on or about April 16, 2009.
FACTS SPECIFIC TO PATIENT GR
40. From on or about February 19, 2007, until on or about August 12,
2009, Patient GR presented to Respondent with complaints of disc problems and
a diagnosis of lumbar radiculopathy. Respondent there and then prescribed 90
tablets of Xanax 2 milligrams (“mg”) for GR based solely on the verbal patient
history that GR related to Respondent concerning the current pain management
regimen. Respondent did not have the benefit of any of GR's prior medical
records and Respondent did not verify through diagnostic testing whether the
alleged prescription medications were present, nor did Respondent exclude the
presence of other drugs in GR’s system.
In Re:
Emergency Suspension of License of 34
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
41.
Respondent’s medical records show that she prescribed multiple
simultaneous prescriptions for large amounts of Xanax 2 milligrams, Roxicodone
30 milligrams, and Roxicodone 15 milligrams for GR on the dates and in the
quantities described in the following table:
Roxicodone
Roxicodone
Xanax (oxycodone) (oxycodone)
(alprazolam) 30 mg _ 15 mg
2/19/2007
2mg
#90
6/14/2007 6/14/2007
2mg 30 mg
#90 #240
LU i
7/19/2007 7/19/2007
2mg 30 mg
#90 #240
8/16/2007 8/16/2007
2mg 30 mg
#90 #240
9/13/2007 9/13/2007
2mg 30 mg
#90 #240
10/11/2007 10/11/2007
2mg 30 mg
#90 #240
11/26/2007 11/26/2007
2mg 30 mg
#90 #240
12/19/2007
30 mg
#240
1/16/2008 1/16/2008
2mg 30 mg
#90 #240
2/14/2008
2 mg
#90
In Re: | Emergency Suspension of License of
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
35
Roxicodone Roxicodone
Xanax (oxycodone) (oxycodone)
alprazolam 30m 15m
2/18/2008
30 mg
#240
3/13/2008 3/13/2008
2mg 30 mg
#90 #240
4/10/2008 4/10/2008
2mg 30 mg
#90 #240
5/8/2008 5/8/2008
2mg 30 mg
#90 #240 1
6/5/2008
30 mg
L #240
7/17/2008 7/17/2008
2mg 30 mg
#90 #240 |
8/14/2008 8/14/2008
2mg 30 mg
#90 #240
9/11/2008 9/11/2008
2mg 30 mg
#90 | #240
10/19/2008 10/19/2008
2mg 30.mg
#90 #240
11/6/2008 11/6/2008
2mg 30 mg
#90 #240
12/2/2008
2mg
#90
12/8/2008
30 mg
#240
In Re: — Emergency Suspension of License of
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
Roxicodone
Roxicodone
Xanax (oxycodone) (oxycodone)
(alprazolam) 30mg (és A'S mg
1/5/2009 1/5/2009 1/5/2009
2 mg 30 mg 15 mg
#90 #240 #60
[ 1/28/2009 1/28/2009 1/28/2009
2 mg 30 mg 15 mg
#90 #240 #60
2/25/2009 2/25/2009 2/25/2009
2mg 30 mg 15 mg
#90 #240 #60
3/25/2009 3/25/2009 3/25/2009
2mg 30 mg 15 mg
#90 #240 #60
4/22/2009 4/22/2009
2mg 30 mg
#90 #240 ;
5/20/2009 5/20/2009 5/20/2009
2mg 30 mg 15 mg
#90 #240 #60
5/22/2009
15 mg
#60
6/17/2009 6/17/2009 6/17/2009
2mg 30mg 15 mg
#90 #240 #60
7/14/2009 7/14/2009 7/14/2009
2mg 30 mg 15 mg
#90 #240 #30
8/12/2009 8/12/2009 8/12/2009
2mg 30 mg 15 mg
#90 #240 #60
42. Respondent's medical records fail to show in her evaluation of the
patient and in his treatment plan one or more of the following:
a) A complete medical history and physical examination that
was conducted and documented in the medical record;
In Re: Emergency Suspension of License of 37
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
In Re:
b) Documentation of the nature and intensity of the pain,
current and past treatments for pain, underlying or coexisting diseases or
conditions, the effect of the pain on physical and psychological function,
and/or history of substance abuse;
c) The presence of one or more recognized medical indications
for the use of a controlled substance;
d) A written treatment plan with stated objectives that would
be used to determine treatment success, such as pain relief and improved
physical and psychosocial function, and/or failed to indicate if any further
diagnostic evaluations or treatments were planned;
e) After treatment began, why Respondent adjusted drug
therapy to the medical needs of the patient;
f) Other. treatment modalities or a rehabilitation program
depending on the etiology of the pain and the extent to which the pain is
associated with physical and/or psychosocial impairment;
g) Verification from GR’s previous physicians whether his
treatment was terminated for substance abuse/diversion;
h) Respondent's medical records do not contain medical
justification for the high frequency simultaneous prescription of such large
quantities of Roxicodone 30 milligrams together with Roxicodone 15
milligrams and Xanax 2 milligrams from on or about February 19, 2007, to
on or about August 12, 2009.
Emergency Suspension of License of
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
38
FACTS SPECIFIC TO PATIENT LR
43. From on or about March 11, 2008, until on or about February 10,
2009, Patient LR presented to Respondent with complaints of low back pain from
a construction accident 10 years prior with a diagnosis of lumbar radiculopathy.
Respondent there and then prescribed 120 tablets of Roxicodone 30 milligrams
("mg"), 90 tablets of Xanax 2 mg, and 90 tablets of Roxicodone 15 mg for LR
based solely on the verbal patient history that LR related to Respondent
concerning the current pain management regimen. Respondent did not have the
benefit of any of LR’s prior medical records and Respondent did not verify
through diagnostic testing whether the alleged prescription medications were
present, nor did Respondent exclude the presence of other drugs in LR’s system.
44. Respondent's medical records show that she prescribed multiple
simultaneous prescriptions for large amounts of Xanax 2 milligrams and
Roxicodone 30 milligrams for LR on the dates and in the quantities described in
the following table:
Roxicodone Roxicodone
Xanax (oxycodone) (oxycodone)
alprazolam 30 mg 15m
3/11/2008 3/11/2008 3/11/2008
2mg 30 mg 15mg
#90 #120 #90
5/6/2008 5/6/2008
2mg 30 mg
_ #90 #165
6/3/2008 6/3/2008 | |
2mg 30 mg
#90 #165
In Re: — Emergency Suspension of License of 39
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
Roxicodone Roxicodone
Xanax (oxycodone) (oxycodone)
_(alprazolam) 30 mg 15 mg
7/1/2008 7/1/2008
2mg 30 mg
#90 #195
11/19/2008 11/19/2008
2 mg 30 mg
#105 #210
1/2/2009 1/2/2009
2mg 30 mg
#105 #240
2/10/2009 2/10/2009
2mg 30 mg
#105 #240
45. Respondent's medical records fail to show in her evaluation of the
patient and in his treatment plan one or more of the following:
In Re:
a) A complete medical history and physical examination that
was conducted and documented in the medical record;
b) Documentation of the nature and intensity of the pain,
current and past treatments for pain, underlying or coexisting diseases or
conditions, the effect of the pain on physical and psychological function,
and/or history of substance abuse;
c) The presence of one or more recognized medical indications
for the use of a controlled substance;
d) A written treatment plan with stated objectives that would
be used to determine treatment success, such as pain relief and improved
Emergency Suspension of License of 40
Elizabeth Lopez, M.D. :
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
physical and psychosocial function, and/or failed to indicate if any further
diagnostic evaluations or treatments were planned;
e) After treatment began, why Respondent adjusted drug
therapy to the medical needs of the patient;
f) Other treatment modalities or a rehabilitation program
depending on the etiology of the pain and the extent to which the pain is
associated with physical and/or psychosocial impairment,
g) Verification from LR’s previous physicians whether his
treatment was terminated for substance abuse/diversion;
h) Respondent's medical records do not contain medical
justification for the high frequency simultaneous prescription of such large
quantities of Roxicodone 30 milligrams together with Xanax 2 milligrams
from on or about March 11, 2008, to on or about February 10, 2009.
FACTS SPECIFIC TO PATIENT BC
46. From on or about October 8, 2008, until on or about August 4,
2009, Patient BC presented to Respondent with compiaints of back and leg pain
with a diagnosis of lumbar radiculopathy. Respondent there and then prescribed
90 tablets of Roxicodone 30 milligrams (“mg”) and 60 tablets of Xanax 2 mg for
BC based solely on the verbal patient history that BC related to Respondent
concerning the current pain management regimen. Respondent did not have the
benefit of any of BC’s prior medical records and Respondent did not verify
In Re:
Emergency Suspension of License of 41
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
3:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
through diagnostic testing whether the alleged prescription medications were
present, nor did Respondent exclude the presence of other drugs in BC’s system.
47.
Respondent's medical records show that. she prescribed multiple
simultaneous prescriptions for large amounts Xanax 2 milligrams, Roxicodone 30
milligrams and Percocet 10 milligrams for BC on the dates and in the quantities
described in the following table:
In Re:
Roxicodone Roxicodone
Percocet
Xanax (oxycodone) (oxycodone) (oxycodone)
(alprazolam) —« 30. mg 15 mg 10 mg
10/8/2008 10/8/2008
2mg 30 mg
#60 #90
11/7/2008 11/7/2008
2mg 30 mg
#60 #120
12/9/2008 12/9/2008 12/9/2008
2mqg 30 mg 10 mg
#60 #120 #90
1/9/2009
10 mg
#90
2/6/2009 2/6/2009 2/6/2009
2mg 30 mg 10 mg
#60 #120 #90
3/10/2009 3/10/2009 3/10/2009
2mg 30 mg 10 mg
#60 #150 #120
4/9/2009 4/9/2009 4/9/2009
2mg 30 mg 10 mg
#60 #150 #120
5/7/2009 5/7/2009 5/7/2009
2mg 30 mg 10 mg
#60 #150 #120
6/16/2009 6/16/2009 6/16/2009
2mqg 30 mg 15 mg
#60 #180 #120
Emergency Suspension of License of
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
42
Roxicodone Roxicodone Percocet
Xanax (oxycodone) (oxycodone) (oxycodone)
alprazolam 30 mg 15 mg 10m
8/4/2009 8/4/2009 8/4/2009
2 mg 30 mg 15 mg
#60 #180 #120
48. Respondent's medical records fail to show in her evaluation of the
patient and in his treatment plan one or more of the following:
Tn Re:
a) A complete medical history and physical examination that
was conducted and documented in the medical record;
b) Documentation of the nature and intensity of the pain,
current and past treatments for pain, underlying or coexisting diseases or
conditions, the effect of the pain on physical and psychological function,
and/or history of substance abuse;
c) The presence of one or more recognized medical indications
for the use of a controlled substance;
d) A written treatment plan with stated objectives that would
be used to determine treatment success, such as pain relief and improved
physical and psychosocial function, and/or failed to indicate if any further
diagnostic evaluations or treatments were planned;
e) After treatment began, why Respondent adjusted drug
therapy to the medical: needs of the patient;
Emergency Suspension of License of 43
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
f) Other treatment modalities or a rehabilitation program
depending on the etiology of the pain and the extent to which the pain is
associated with physical and/or psychosocial impairment,
g) Verification from BC’s previous physicians whether his
treatment was terminated for substance abuse/diversion;
h) Respondent’s medical records do not contain medical
justification for the high frequency simultaneous prescription of such large
quantities of Roxicodone 30 milligrams together with Xanax 2 milligrams
and Roxicodone 15 milligrams and/or Percocet 10 milligrams from on or
about October 8, 2008, to on or about August 4, 2009.
FACTS SPECIFIC TO PATIENT JC
49. From on or about January 24, 2008, until on or about June 9, 2009,
Patient JC presented to Respondent with complaints of lower back pain with a
diagnosis of lumbar radiculopathy. Respondent there and then prescribed 180
tablets of Roxicodone 30 milligrams (*mg”), 60 tablets of Roxicodone 15 mg, and
60 tablets of Valium 10 mg for JC based solely on the verbal patient history that
JC related to Respondent concerning the current pain management regimen.
Respondent did not have the benefit of any of JC’s prior medical records and
Respondent did not verify through diagnostic testing whether the alleged
prescription medications were present, nor did Respondent exclude the presence
of other drugs in JC’s system.
Emergency Suspension of License of 44
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
50.
Respondent's medical records show that she prescribed multiple
simultaneous prescriptions for large amounts Roxicodone 30 milligrams,
Roxicodone 15 milligrams, and Valium 10 milligrams for JC on the dates and in
the quantities described in the following table:
Dilaudid Roxicodone Roxicodone
Xanax (hydro- (oxycodone) (oxycodone) oxycodone
alprazolam) morphone 30 mg 15mg 10mg __sValium
1/24/2008 1/24/2008 1/24/2008
30 mg 15 mg 10 mg
#180 #60 #60
2/26/2008 2/26/2008 2/26/2008
30 mg 15 mg 10 mg
#180 #60 #60
3/25/2008 3/25/2008 3/25/2008
30 mg 15 mg 10 mg
#240 #60 #60
4/22/2008 4/22/2008 4/22/2008
30 mg 15 mg 10 mg
#240 #60 #60
11/3/2008 11/3/2008 11/3/2008
30 mg 15 mg 10 mg
#240 #60 #60
12/1/2008 12/1/2008 12/1/2008
2 mg 30 mg 15 mg
#60 #240 |. #60
1/5/2009 1/5/2009 [ja
30 mg 15mg 10 mg
#240 #60 #60
2/2/2009 2/2/2009 2/2/2009
30 mg 15mg 10 mg
#240 #60 #60
3/2/2009 3/2/2009 | 3/2/2009
4mg 10 mg 10 mg
#190 #60 #60
3/31/2009 3/31/2009 3/31/2009
4mg 15 mg 10 mg
#90 #60 #60
In Re:
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
Emergency Suspension of License of
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
45
Dilaudid Roxicodone Roxicodone
Xanax (hydro- (oxycodone) (oxycodone) oxycodone
alprazolam) morphone 30 mg 15 mg 10 mg Valium
6/9/2009
2mg
#60
51. Respondent's medical records fail to show in her evaluation of the
patient and in his treatment plan one or more of the following:
a) A complete medical history and physical examination that
was conducted and documented in the medical record;
b) Documentation of the nature and intensity of the pain,
current and past treatments for pain, underlying or coexisting diseases or
conditions, the effect of the pain on physical and psychological function,
and/or history of substance abuse;
c) The presence of one or more recognized medical indications
for the use of a controlled substance;
d) A written treatment plan with stated objectives that would
be used to determine treatment success, such as pain relief and improved
physical and psychosocial function, and/or failed to indicate if any further
diagnostic evaluations or treatments were planned;
e) After treatment began, why Respondent adjusted drug
therapy to the medical needs of the patient;
mee elnabetnLoper MD. *
License No. ME 62775
Case No, 2008-18673
J:\PSU\Medica!\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
f) Other treatment modalities or a rehabilitation program
depending on the etiology of the pain and the extent to which the pain is
associated with physical and/or psychosocial impairment;
g) Verification from JC’s previous physicians whether his
treatment was terminated for substance abuse/diversion;
h) Respondent's medical records do not contain medical
justification for the high frequency simultaneous prescription of such large
quantities of Roxicodone 30 milligrams together with Roxicodone 15
milligrams and Valium 10 milligrams from on or about January 24, 2008 to
on or about June 9, 2009.
FACTS SPECIFIC TO PATIENT JC2
52. From on or about September 9, 2008 until on or about June 17,
2009, Patient JC2 presented to Respondent with complaints of herniated discs,
cervical, mid and low back pain with a diagnosis of cervical radiculopathy.
Respondent there and then prescribed 150 tablets of Roxicodone 30 milligrams
(‘mg’) and 60 tablets of Xanax 2 mg for JC2 based solely on the verbal patient
history that JC2 related to Respondent concerning the current pain management
regimen. Respondent did not have the benefit of any of JC2’s prior medical
records and Respondent did not verify through diagnostic testing whether the
alleged prescription medications were present; nor did Respondent exclude the
presence of other drugs in JC2's system.
In Re:
Emergency Suspension of License of 47
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
simultaneous prescriptions for large amounts of Xanax 2 milligrams, Roxicodone
53.
Respondent’s medical records show that she prescribed multiple
30 milligrams and Roxicodone 15 milligrams for JC2 on the dates and in the
quantities described in the following table:
In Re:
Roxicodone Roxicodone Percocet
Xanax (oxycodone) (oxycodone) (oxycodone)
(alprazolam) 30 mg 15 mg 10mg |
9/9/2008 9/9/2008
2mg 30 mg
#60 #150
10/7/2008 10/7/2008
2mg 15 mg
#60 #90 |
11/4/2008 11/4/2008 11/4/2008
2mg 30 mg 15mg
#60 #150 #90
12/2/2008 12/2/2008
2mg 30 mg
#60 #150
12/30/2008 12/28/2008
2mg 30 mg
#60 #120
2/25/2009 2/25/2009 T 2/25/2009
2mg 30 mg 15 mg
#60 #180 #90
3/25/2009 3/25/2009 3/25/2009
2mg 30 mg 10 mg
#60 #180 #120
4/20/2009
30 mg
#120
4/22/2009 : 4/22/2009
30 mg 15 mg
#180 #120
4/22/2009
30 mg
#60
fmergency Suspension of License of
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
48
Roxicodone Roxicodone Percocet
Xanax (oxycodone) (oxycodone) (oxycodone)
(alprazoiam) 30 mg 15 mg 10 mg
5/20/2009
2mg
#60 oe
6/15/2009
2mg
#60
6/17/2009
2mg
#60
54. Respondent's medical records fail to show in her evaluation of the
patient and in his treatment plan one or more of the following:
In Re:
a) A complete medical history and physical examination that
was conducted and documented in the medical record;
b) Documentation of the nature and intensity of the pain,
current and past treatments for pain, underlying or coexisting diseases or
conditions, the effect of the pain on physical and psychological function,
and/or history of substance abuse;
Cc) The presence of one or more recognized medical indications
for the use of a controlled substance;
d) A written treatment plan with stated objectives that would
be used to determine treatment success, such as pain relief and improved
physical and psychosocial function, and/or failed to indicate if any further
diagnostic evaluations or treatments were planned;
Emergency Suspension of License of
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
49
e) After treatment began, why Respondent adjusted drug
therapy to the medical needs of the patient;
f) Other treatment modalities or a rehabilitation program
depending on the etiology of the pain and the extent to which the pain is
associated with physical and/or psychosocial impairment;
g) Verification from JC2’s previous physicians whether his
treatment was terminated for substance abuse/diversion,;
h) Respondent's medical records do not contain medical
justification for the high frequency simultaneous prescription of such large
quantities of Roxicodone 30 milligrams together with Roxicodone 15
milligrams and Xanax 2 milligrams from on or about September 9, 2008 to
on or about June 17, 2009.
FACTS SPECIFIC TO PATIENT WF
55. From on or about February 7, 2008 until on or about June 10,
2009, Patient WF presented to Respondent with complaints of back and leg pain
with a diagnosis of lumbar radiculopathy. Respondent there and then prescribed
210 tablets of Roxicodone 30 milligrams (‘mg”), 90 tablets of Xanax 2 mg, and
90 tablets of Percocet 10 mg for WF based solely on the verbal patient history
that WF related to Respondent concerning the current pain management
regimen. Respondent did not have the benefit of any of WF's prior medical
records and Respondent did not verify through diagnostic testing whether the
In Re:
Emergency Suspension of License of 50
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
alleged prescription medications were present, nor did Respondent exclude the .
presence of other drugs in WF’s system.
56. Respondent's medical records show that she prescribed multiple
simultaneous prescriptions for large amounts of Xanax 2 milligrams, Roxicodone
30 milligrams and Roxicodone 15 milligrams for WF on the dates and in the
quantities described in the following table:
Dilaudid Roxicodone Roxicodone Percocet
Xanax (hydro- (oxycodone) (oxycodone) (oxycodone)
_(alprazolam) morphone) 30m 15 mg 10 mg
2/7/2008 2/7/2008 2/7/2008
2mg 30 mg 10 mg
#90 #210 #90
3/6/2008 3/6/2008 3/6/2008
2mg 30 mg 10 mg
#90 #210 #90
6/4/2008 6/4/2008 6/4/2008
2mg 30 mg 15 mg
#90 | #210 #90
10/2/2008 10/2/2008 10/2/2008
2mg 30 mg 15 mg
#120 #210 #90 |
11/5/2008 11/5/2008 11/5/2008
2 mg 30 mg 15 mg
#120 #240 #90
12/5/2008 12/5/2008
2 mg 30 mg
#120 #240
12/5/2008 i
30 mg
#45
1/5/2009 1/5/2009
2 mg 30 mg
#120 #45
) 1/5/2009 |
30 mg
#240 |
InRe: Emergency Suspension of License of 51
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
Dilaudid Roxicodone Roxicodone Percocet
Xanax (hydro- (oxycodone) (oxycodone) (oxycodone)
(alprazolam) morphone) 30mg 15 mg 10m
2/3/2009 2/3/2009 2/3/2009
2 mg 30 mg 15 mg
#120 #240 #90
3/2/2009 3/2/2009 3/2/2009
2 mg 4mg 10 mg
#120 #210 —_ #90
4/6/2009 4/6/2009 4/6/2009
2mqg 30 mg 15 mg
#120 #240 LL #90
6/10/2009 6/10/2009 6/10/2009
2mg 30 mg 15 mg
#120 #240 #90
57. Respondent's medical records fail to show in her evaluation of the
patient and in his treatment pian one or more of the following:
a)
A complete medical history and physical examination that
was conducted and documented in the medical record;
b)
Documentation of the nature and intensity of the pain,
current and past treatments for pain, underlying or coexisting diseases or
conditions, the effect of the pain on physical and psychological function,
and/or history of substance abuse;
c)
The presence of one or more recognized medical indications
for the use of a controlled substance;
d)
A written treatment plan with stated objectives that would.
In Re:
be used to determine treatment success, such as pain relief and improved
Emergency Suspension of License of 52
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
physical and psychosocial function, and/or failed to indicate if any further
diagnostic evaluations or treatments were planned;
e) After treatment began, why Respondent adjusted drug
therapy to the medical needs of the patient;
f) Other treatment modalities or a rehabilitation program
depending on the etiology of the pain and the extent to which the pain is
associated with physical and/or psychosocial impairment,
g) Verification from WF’s previous physicians whether his
treatment was terminated for substance abuse/diversion;
h) Respondent’s medical records do not contain medical
justification for the high frequency simultaneous prescription of such large
quantities of Roxicodone 30 milligrams together with Roxicodone 15
milligrams and Xanax 2 milligrams from on or about February 7, 2008 to
on or about June 10, 2009.
FACTS SPECIFIC TO PATIENT JH
58. From on or about April 29, 2008 until on or about June 3, 2009,
Patient JH presented to Respondent with complaints of back pain radiating into
the lower extremities with a diagnosis of lumbar radiculopathy. Respondent there
and then prescribed 200 tablets of Roxicodone 30 milligrams (“mg”), 90 tablets
of Roxicodone 15 mg, and 60 tablets of Xanax 2 mg for JH based solely on the
verbal patient history that JH related to Respondent concerning the current pain
Tn Re:
Emergency Suspension of License of 53
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
management regimen. Respondent did not have the benefit of any of JH’s prior
medical records and Respondent did not verify through diagnostic testing
whether the alleged prescription medications were present, nor did Respondent
exclude the presence of other drugs in H's system.
59. Respondent's medical records show that she prescribed multiple
simultaneous prescriptions for large amounts of Xanax 2 milligrams, Roxicodone
30 milligrams and Roxicodone 15 milligrams for JH on the dates and in the
quantities described in the following table:
Roxicodone Roxicodone
Xanax (oxycodone) (oxycodone)
(alprazolam) 30 mg 15 mg
4/29/2008 4/29/2008 4/29/2008
2mg 30 mg 15 mg
#60 #200 #90
10/29/2008 10/29/2008 10/29/2008
2mg 30 mg 15 mg
#60 #240 #120
11/25/2008 11/25/2008 ‘11/25/2008
2mg 30 mg 15 mg
#60 #240 #120.
12/29/2008 12/29/2008 12/29/2008
2mg 30 mg 15 mg
#60 #240 #120
1/27/2009 1/27/2009
2mg 30 mg
#60 #60
1/27/2009
~ 30 mg
#240
3/3/2009 3/3/2009 3/3/2009
2mg 30 mg 15 mg
#60 #240 #120
In Re: — Emergency Suspension of License of 54
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
Roxicodone Roxicodone
Xanax (oxycodone) (oxycodone)
15 mg
6/3/2009
30 mg
#240
60. Respondent's medical records fail to show in her evaluation of the
6/3/2009
2mg
#60
patient and in his treatment plan one or more of the following:
In Re:
a) A complete medical history and physical examination that
was conducted and documented in the medical record;
b) Documentation of the nature and intensity of the pain,
current and past treatments for pain, underlying or coexisting diseases or
conditions, the effect of the pain on physical and psychological function,
and/or history of substance abuse;
c) The presence of one or more recognized medical indications
for the use of a controlled substance;
d) A written treatment plan with stated objectives that would
be used to determine treatment success, such as pain relief and improved
physical and psychosocial function, and/or failed to indicate if any further
diagnostic evaluations or treatments were planned;
e) After. treatment began, why Respondent adjusted drug
therapy to the medical needs of the patient;
Emergency Suspension of License of 55
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
f) Other treatment modalities or a rehabilitation program
depending on the etiology of the pain and the extent to which the pain is
associated with physical and/or psychosocial impairment; |
g) Verification from JH’s previous physicians whether his
treatment was terminated for substance abuse/diversion;
h) Respondent's medical records do not contain medical
justification for the high frequency simultaneous prescription of such large
quantities of Roxicodone 30 milligrams together with Roxicodone 15
milligrams and Xanax 2 milligrams from on or about April 29, 2008 to on
or about June 3, 2009.
FACTS SPECIFIC TO PATIENT TL
61. From on or about November 10, 2008 until on or about August 6,
2009, Patient TL presented to Respondent with complaints of chronic arthritis
and deteriorated discs with a diagnosis of lumbar and cervical radiculopathy.
Respondent there and then prescribed 180 tablets of Roxicodone 30 milligrams
(*mg”), 90 tablets of Roxicodone 15 mg, and 60 tablets of Xanax 2 mg for TL
based solely on the verbal patient history that TL related to Respondent
concerning the current pain management regimen. Respondent did not have the
benefit of any of TL’s prior medical records and Respondent did not verify
through diagnostic testing whether the alleged prescription medications were
present, nor did Respondent exclude the presence of other drugs in TL’s system.
In Re:
Emergency Suspension of License of 56
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
62.
Respondent's medical records show that she prescribed multiple
simultaneous prescriptions for large amounts of Xanax 2 milligrams, Roxicodone
30 milligrams, Roxicodone 15 milligrams and Oxydose 20 milligrams. per cc for TL
on the dates and in the quantities described in the following table:
Roxicodone
Roxicodone
Percocet
Xanax (oxycodone) (oxycodone) (oxycodone)
(alprazolam) _Oxydose 30 mg 15mg _ 10 mg
11/10/2008 11/10/2008 11/10/2008
2mg 30 mg 15 mg
#60 #180 #90
12/16/2008 12/16/2008 12/16/2008
2 mg ; 30 mg 15 mg
#60 #180 #120
1/13/2009 1/13/2009 1/13/2009 1/13/2009
2mg 30 mg 15mg 10 mg
#60 #180 #120 #120
5/12/2009 5/12/2009 5/12/2009 5/12/2009
2mg 20 mg 30 mg 15 mg
#60 1 bottle #210 #210
6/10/2009 6/10/2009 6/10/2009 6/10/2009
2 mg 20 mg 30 mg 15 mg
#60 1 bottle #210. | #120
7/7/2009 7/7/2009 7/7/2009 7/7/2009
2 mg 20 mg 30 mg 15mg
#60 1 bottle #60 #120
7/7/2009
30 mg
#210
8/6/2009 8/6/2009 8/6/2009 8/6/2009 |
2mg 20 mg 30 mg 15 mg
#60 1 bottle #210 #120
63. Respondent's medical records fail to show in her evaluation of the
patient and in his treatment plan one or more of the following:
In Re: | Emergency Suspension of License of 57
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
In Re:
a) A complete medical history and physical examination that
was conducted and documented in the medical record;
b) Documentation of the nature and intensity of the pain,
current and past treatments for pain, underlying or coexisting diseases or
conditions, the effect of the pain on physical and psychological function,
and/or history of substance abuse;
c) The presence of one or more recognized medical indications
for the use of a controlled substance;
d) A written treatment plan with stated objectives that would
be used to determine treatment success, such as pain relief and improved
physical and psychosocial function, and/or failed to indicate if any further
diagnostic evaluations or treatments were planned;
e) After treatment began, why Respondent adjusted drug
therapy to the medical needs of the patient;
f) Other treatment modalities or a rehabilitation program
depending on the etiology of the pain and the extent to which the pain is
associated with physical and/or psychosocial impairment;
g) Verification from TL’s previous physicians whether his
treatment was terminated for substance abuse/diversion;
h) Respondent's medical records do not contain medical
justification for the high frequency simultaneous prescription of such large
Emergency Suspension of License of 58
Elizabeth Lopez, M.D. -
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
quantities of Roxicodone 30 milligrams together with Roxicodone 15
milligrams, Oxydose 20 milligrams per cc and Xanax 2 milligrams from on
or about November 10, 2008 to on or about August 6, 2009.
FACTS SPECIFIC TO PATIENT EM
64. From on or about November 11, 2008 until on or about December
5, 2009, Patient EM presented to Respondent with complaints of neck and arm
pain with a diagnosis of cervical and lumbar radiculopathy. Respondent there
and then prescribed 30 tablets of Roxicodone 30 milligrams (‘mg”) and 60
tablets of Xanax 2 mg for EM based solely on the verbal patient history that EM
related to Respondent concerning the current pain management regimen.
Respondent did not have the benefit of any of EM’s prior medical records and
Respondent did not verify through diagnostic testing whether the alleged
prescription medications were present, nor did Respondent exclude the presence
of other drugs in EM’s system.
65. Respondent's medical records show that she prescribed multiple
simultaneous prescriptions for large amounts of Xanax 2 milligrams, Roxicodone
30 milligrams and Roxicodone 15 milligrams for EM on the dates and in the
quantities described in the following table:
Roxicodone Roxicodone
Xanax (oxycodone) (oxycodone) oxycodone
alprazolam 30m i5mg 10mg _
11/11/2008 11/11/2008
2mg 30 mg
#60 #30
In Re: — Emergency Suspension of License of 59
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
Roxicodone Roxicodone
Xanax (oxycodone) (oxycodone) oxycodone
(alprazolam) 30 mg 15 mg 10 mg
11/11/2008
30 mg
#120 _—_|
12/8/2008 12/8/2008 12/8/2008
2 mg 30 mg 15 mg
#60 #120 #120 _
1/5/2009
30 mg
| #120 |
1/5/2009
30 mg
#60 Z
2/2/2009 2/2/2009 2/2/2009
2mg 30 mg 15 mg
#60 #150 #120
3/9/2009 3/9/2009 3/9/2009
2mqg 30 mg 10 mg
#60 #180 #120
4/6/2009 4/6/2009 |
30 mg 15mg
#180 #120 _
5/4/2009 5/4/2009
2mg 15 mg
L #60 #120
6/8/2009 6/8/2009 6/8/2009
2 mg 30 mg 15 mg ;
#90 #270 #180 |
7/20/2009 7/20/2009 7/20/2009
2 mg 30 mg 15 mg
#90 #270_ #180
12/5/2009 ,
2mqg
#60
66.
—_—_—_——_
Respondent's medical records fail to show in her evaluation of the
patient and in his treatment plan one or more of the following:
In Re:
Emergency Suspension of License of
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
In Re:
a) A complete medical history and physical examination that
was conducted and documented in the medical record;
b) Documentation of the nature and intensity of the pain,
current and past treatments for pain, underlying or coexisting diseases or
conditions, the effect of the pain on physical and psychological function,
and/or history of substance abuse;
Cc) The presence of one or more recognized medical indications
for the use of a controlled substance;
d) A written treatment plan with stated objectives that would
be used to determine treatment success, such as pain relief and improved
physical and psychosocial function, and/or failed to indicate if any further
diagnostic evaluations or treatments were planned;
e) After treatment began, why Respondent adjusted drug
therapy to the medical needs of the patient;
f) Other treatment modalities or a rehabilitation program
depending on the etiology of the pain and the extent to which the pain is
associated with physical and/or psychosocial impairment;
g) Verification from EM’s previous physicians whether _ his
treatment was terminated for substance abuse/diversion;
h) Respondent’s medical records do not contain medical
justification for the high frequency simultaneous prescription of such large
Emergency Suspension of License of 61
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
quantities of Roxicodone 30 milligrams together with Roxicodone 15
milligrams and Xanax 2 milligrams from on or about November 11, 2008
to on or about December 5, 2009.
FACTS SPECIFIC TO PATIENT WM
67. From on or about December 2, 2008 until on or about June 16,
2009, Patient WM presented to Respondent with complaints of pinched nerves
and lumbar pain with a diagnosis of lumbar radiculopathy. Respondent there and
then prescribed 240 tablets of Roxicodone 30 milligrams c’mg”), 60 tablets of
Roxicodone 15 mg, and 60 tablets of Xanax 2 mg for WM based solely on the
verbal patient history that WM related to Respondent concerning the current pain
management regimen. Respondent did not have the benefit of any of WM's prior
medical records and Respondent did not verify- through diagnostic testing
whether the alleged prescription medications were present, nor did Respondent
exclude the presence of other drugs in WM's system.
68. Respondent’s medical records show that she prescribed multiple
simultaneous prescriptions for large amounts of Xanax 2 milligrams, Roxicodone
30 milligrams and Roxicodone 15 milligrams for WM on the dates and in the
quantities described in the following table:
Dilaudid Roxicodone Roxicodone
Xanax (hydro- (oxycodone) (oxycodone)
alprazolam) morphone) 30m
12/2/2008 12/2/2008
2mg 30 mg
#60 #240
In Re: Emergency Suspension of License of 62
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
12/2/2008
15 mg
#60
Dilaudid Roxicodone Roxicodone
Xanax (hydro- (oxycodone) (oxycodone)
(alprazolam) morphone) (30 mg) _(15 mg)
12/30/2008 12/30/2008 12/30/2008
2mg 30 mg 15 mg
#60 #240 #60
1/27/2009 1/27/2009
2mg 30 mg
#60 #30
1/27/2009
30 mg
#240
2/24/2009 2/24/2009 2/24/2009 2/24/2009
2mg 4mg 30 mg 15mg
#60 #120 #90 #60
3/24/2009 3/24/2009 3/24/2009
2 mg 30 mg 15 mg
#60 #240 #60
3/24/2009 3/24/2009
30 mg 15 mg
#200 #140
4/21/2009 4/21/2009 4/21/2009
2mg 30 mg 15 mg
#60 #240 #60
5/19/2009 5/19/2009
2mg 30 mg
#60 #240 |
6/16/2009 6/16/2009 6/16/2009
2mqg 30 mg 15 mg
#60 #240 | _—«#120
69,
Respondent's medical records fail to show in her evaluation of the
patient and in his treatment plan one or more of the following:
In Re:
a)
A complete medical history and physical examination that
was conducted and documented in the medical record;
Emergency Suspension of License of
Elizabeth Lopez, M.D.
License No, ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
In Re:
b) Documentation of the nature and intensity of the pain,
current and past treatments for pain, underlying or coexisting diseases or
conditions, the effect of the pain on physical and psychological function,
and/or history of substance abuse;
c) The presence of one or more recognized medical indications
for the use of a controlled substance;
d) A written treatment plan with stated objectives that would
be used to determine treatment success, such as pain relief and improved
physical and psychosocial function, and/or failed to indicate if any further
diagnostic evaluations or treatments were planned;
e) After treatment began, why Respondent adjusted drug
therapy to the medical needs of the patient;
f) Other treatment modalities or a rehabilitation program
depending on the etiology of the pain and the extent to which the pain is
associated with physical and/or psychosocial impairment;
g) Verification from WM’s previous. physicians whether his
treatment was terminated for substance abuse/diversion;
h) Respondent's medical records do not contain medical
justification for the high frequency simultaneous prescription of such large
quantities of Roxicodone 30 milligrams together with Roxicodone 15
milligrams and Xanax 2 milligrams from on or about December 2, 2008 to
on or about June 16, 2009.
Emergency Suspension of License of 64
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
FACTS SPECIFIC TO PATIENT SR
70. From on or about September 10, 2008 until on or about June 10,
2009, Patient SR presented to Respondent with complaints of lower back pain
with a diagnosis of lumbar radiculopathy, Respondent there and then prescribed
120 tablets of Roxicodone 30 milligrams (‘mg”}, 60 tablets of Xanax 2 mg, and
90 tablets of Soma 350 mg for SR based solely on the verbal patient history that
SR related to Respondent concerning the current pain management regimen.
Respondent did not have the benefit of any of SR’s prior medical records and
Respondent did not verify through diagnostic testing whether the alleged
prescription medications were present, nor did Respondent exclude the presence
of other drugs in SR’s system.
71. Respondent's medical records show that she prescribed multiple
simultaneous prescriptions for large amounts of Xanax 2 milligrams, Roxicodone
30 milligrams, Roxicodone 15 milligrams and Soma 350 milligrams for SR on the
dates and in the quantities described in the following table:
Roxicodone Roxicodone
Xanax (oxycodone) (oxycodone) oxycodone
_(alprazolam 30 mg 15 mg 10m Soma
9/10/2008 9/10/2008 9/10/2008
2mg 30 mg 350 mg
#60 #120 #90
10/20/2008 10/20/2008 10/20/2008 10/20/2008
2mg 30 mg 15 mg 350 mg
#60 #150 #60 #90
11/17/2008 11/17/2008 11/17/2008 11/17/2008
2mg 30 mg 15mg 350 mg
#60 #150 #60 #90
In Re: Emergency Suspension of License of
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
Roxicodone Roxicodone
(oxycodone) (oxycodone) oxycodone
Xanax
(alprazolam) 30 mg 15 mg 10 mg ; Soma
12/15/2008 12/15/2008 | 12/15/2008 12/15/2008
2mg 30 mg 15 mg 350 mg
#60 #150 #90 #90
1/12/2009 1/12/2009 1/12/2009 1/12/2009
2mg 30 mg 15 mg 350 mg
#60 #150 #90 | #90
2/10/2009 2/10/2009 2/10/2009 2/10/2009
2mg 30 mg 15 mg
#60 #180 #120
2/11/2009
30 mg
350 mg
#90
3/10/2009
15 mg
#120
#60
3/10/2009 3/10/2009
2mg 30 mg
#60 #180
4/13/2009 4/13/2009
2 mg 30 mg
#90 #180
6/10/2009 6/10/2009
2mg 30 mg
#90 #240
6/10/2009
15 mg
#120
4/13/2009
10 mg
#120
3/10/2009
350 mg
#90
4/13/2009
350 mg
#90
6/10/2009
350 mg
#90
72. Respondent's medical records fail to show in her evaluation of the
patient and in his treatment plan one or more of the following:
a) A complete medical history and physical examination that
was conducted and documented in the medical record;
b) Documentation of the nature and intensity of the pain,
current and past treatments for pain, underlying or coexisting diseases or
conditions, the effect of the pain on physical and psychological function,
and/or history of substance abuse;
In Re: — Emergency Suspension of License of
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
66
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
Cc) The presence of one or more recognized medical indications
for the use of a controlled substance;
d) A written treatment plan with stated objectives that would
be used to determine treatment success, such as pain relief and improved
physical and psychosocial function, and/or failed to indicate if any further
diagnostic evaluations or treatments were planned;
e) After treatment began, why Respondent adjusted drug
therapy to the medical needs of the patient;
f) Other treatment modalities or a rehabilitation program
depending on the etiology of the pain and the extent to which the pain is
associated with physical and/or psychosocial impairment;
g) Verification from SR’s previous physicians whether his
treatment was terminated for substance abuse/diversion;
h) Respondent’s medical records do not contain medical
justification for the high frequency simultaneous prescription of such large
quantities of Roxicodone 30 milligrams together with Roxicodone 15
milligrams, Soma 350 milligrams and Xanax 2 milligrams from on or about
September 10, 2008 to on or about June 10, 2009.
FACTS SPECIFIC TO PATIENT JT
73. From on or about August 29, 2008 on or about until August 3,
2009, Patient JT presented to Respondent with complaints of herniated discs and
a diagnosis of lumbar radiculopathy. Respondent there and then prescribed 180
In Re:
Emergency Suspension of License of 67
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
tablets of Roxicodone 30 milligrams (‘mg”), 90 tablets of Roxicodone 15 mg, and
60 tablets of Xanax 2 mg for JT based solely on the verbal patient history that JT
related to Respondent concerning the current pain management regimen.
Respondent did not have the benefit of any of JT’s prior medical records and
Respondent did not verify through diagnostic testing whether the alleged
prescription medications were present, nor did Respondent exclude the presence
of other drugs in JT’s system.
74. Respondent's medical records show that she prescribed multiple
simultaneous prescriptions for large amounts of Xanax 2 milligrams, Roxicodone
30 milligrams, Roxicodone 15 milligrams and Valium 10 milligrams for JT on the
dates and in the quantities described in the following table:
Dilaudid Roxicodone Roxicodone
Xanax (hydro- (oxycodone) (oxycodone)
alprazolam) morphone 30 m 15mg Valium
8/29/2008 8/29/2008 8/29/2008
2.mg 30 mg 15mg
#60 #180 #90
9/29/2008 9/29/2008 9/29/208
2 mg 30 mg 15 mg
#60 #210 #180
i. 10/23/2008 10/23/2008 10/23/2008
2 mg 30 mg 15 mg
#60 #240 #180
11/24/2008 11/24/2008 11/24/2008
2mg 30 mg 15 mg
#60 #240 #180
12/22/2008 12/22/2008 12/22/2008
2mg 30 mg 15 mg
#60 #240 #180
1/21/2009 1/21/2009
30 mg 10 mg
#240 #60
In Re: — Emergency Suspension of License of 68
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
Dilaudid Roxicodone Roxicodone
Xanax (hydro- (oxycodone) (oxycodone)
alprazolam) morphone 30 mg 15m Valium
1/21/2009
30 mg
#90
2/23/2009 2/23/2009 2/23/2009
4mqg 30 mg 10 mg
#60 #180 #60
2/23/2009
30 mg
L #240
| 2/23/2009
30 mg
#60
3/3/2009 3/3/2009
30 mg 15 mg
#120 #120
4/3/2009
10 mg
#60
5/3/2009 5/3/2009
30 mg 15 mg
#120 #60
6/17/2009 6/17/2009 | 6/17/2009
30 mg 15 mg 10 mg
#240 #180 #60
7/17/2009 7/17/2009 | 7/17/2009
30 mg 15 mg 10 mg
#240 #180 #60
8/3/2009 mi 8/3/2009
30 mg 10 mg
#240 #60
75. Respondent's medical records fail to show in her evaluation of the
patient and in his treatment plan one or more of the following:
In Re: — Emergency Suspension of License of 69
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
In Re:
a) A complete medical history and physical examination that
was conducted and documented in the medical record;
b) Documentation of the nature and intensity of the pain,
current and past treatments for pain, underlying or coexisting diseases or
conditions, the effect of the pain on physical and psychological function,
and/or history of substance abuse;
C) The presence of one or more recognized medical indications
for the use of a controlled substance;
d) A written treatment plan with stated objectives that would
be used to determine treatment success, such as pain relief and improved
physical and psychosocial function, and/or failed to indicate if any further
diagnostic evaluations or treatments were planned;
e) After treatment began, why Respondent adjusted drug
therapy to the medical needs of the patient;
f) Other treatment modalities or a rehabilitation program
depending on the etiology of the pain and the extent to which the pain is
associated with physical and/or psychosocial impairment;
g) Verification from JT’s previous physicians whether his
treatment was terminated for substance abuse/diversion;
h) Respondent's medical records do not contain medical
justification for the high frequency simultaneous prescription of such large
Emergency Suspension of License of 70
Elizabeth Lopez, M.D.
License No. ME 62775
Case No, 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
quantities of Roxicodone 30 milligrams together with Roxicodone 15
milligrams and Xanax 2 milligrams from on or about August 29, 2008 to
on or about August 3, 2009.
COUNT ONE
76. Petitioner reincorporates and realleges paragraphs 1 through 75 as
if fully set forth herein.
provides that violating any provision of chapters 456 or 458, Florida Statutes, or
any rules adopted pursuant thereto, is grounds for discipline by the Board of
77. Section 458.331(1)(nn), Florida Statutes (2007, 2008 and 2009),
Medicine.
78. Rule 64B8-9.013(3), Florida Administrative Code, provides as
follows:
In Re:
The Board has adopted the following standards for the use of
controlled substances for pain control:
(a) Evaluation of the Patient. A complete medical history and
physical examination must be conducted and documented in the
medical record. The medical record should document the nature
and intensity of the pain, current and past treatments for pain,
underlying or coexisting diseases or conditions, the effect of the
pain on physical and psychological function, and history of
substance abuse. The medical record also should document the
presence of one or more recognized medical indications for the use
of a controlled substance.
(b) Treatment Plan. The written treatment plan should state
objectives that will be used to determine treatment success, such
as pain relief and improved physical and psychosocial function, and
should indicate if any further diagnostic evaluations or other
treatments are planned. After treatment begins, the physician
should adjust drug therapy to the Patient medical needs of each
patient. Other treatment modalities or a rehabilitation program may
Emergency Suspension of License of
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
71
be necessary depending on the etiology of the pain and the extent
to which the pain is associated with physical and psychosocial
impairment.
79. Between June 2007 and September 2009, Respondent violated
Rule 64B8-9.013(3), Florida Administrative Code, by prescribing one or more of
the following controlled substances; Hydrocodone, Oxycodone, Oxydose,
Percocet, Roxicodone and or Soma to patients DC, RC, DB, MB, KD, JF, MK, DL,
T™, PM, GR, LR, BC, JC, 3C2, WF, JH,TL, EM, WM, SR, and JT in the quantities
and combinations described above, without conducting or documenting complete
medical histories or physical examinations of DC, RC, DB, MB, KD, JF, MK, DL,
TM, PM, GR, LR, BC, JC, JC2, WF, JH,TL, EM, WM, SR, and JT and without
documenting one or more of the following: the nature and intensity of the
patients’ pain, current and past treatments for pain, underlying or coexisting
diseases or conditions, the effect of the pain on physical and psychological
function or history of substance abuse, the presence of one or more recognized
medical indications for the use of a controlled substance and without
documenting written treatment plans that state objectives that will be used to
determine treatment success or indicate if any further diagnostic evaluations or
other treatments are planned.
80. Based on the foregoing, Respondent has violated Section
458.331(1)(nn), Florida Statutes (2007, 2008, and 2009), by violating Rule 64B8-
9.013(3), Florida Administrative Code.
In Re: — Emergency Suspension of License of 72
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC ~ LOPEZ 2008-18673 21710 FINAL 030910.doc
COUNT TWO
81. Petitioner reincorporates and realleges paragraphs 1 through 75 as
if fully set forth herein.
82. Chapter 64B8-9.013(3), Florida Administrative Code, as more
particularly set forth in paragraph 78 herein is adopted and realleged as if fully
set forth.
83. Section 458.331(1)(t), Florida Statutes (2007, 2008 and 2009),
provides that committing medical malpractice constitutes grounds for disciplinary
action by the Board of Medicine. Medical Malpractice is defined in Section
456.50, Florida Statutes (2007, 2008 and 2009), as the failure to practice
medicine in accordance with the level of care, skill, and treatment recognized in
general law related to health care licensure. For purposes of Section
458.331(1)(t), Florida Statutes the Board shall give great weight to the
provisions of Section 766.102, Florida Statutes (2007, 2008 and 2009), which
provide that the prevailing professional standard of care for a given health care
provider shall be that level of care, skill, and treatment which, in light of all
relevant surrounding circumstances, is recognized as acceptable and appropriate
by reasonably prudent similar health care providers
84. Respondent failed to practice medicine with that level of care, skill
and treatment which is recognized by a reasonably prudent similar physician as
being acceptable under similar conditions and circumstances in treating Patient
DC in one or more of the following ways:
In Re: Emergency Suspension of License of 73
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
a) By failing to show in the medical record the justification for
prescribing benzodiazepines in such high doses;
b) By prescribing excessive and or inappropriate amounts of
benzodiazepines;
c) By failing to note in the medical records in prescribing
benzodiazepines that the patient was suffering from an anxiety disorder;
d) By failing to order urine drug screening in view of the high
dosages of opioids and benzodiazepines being prescribed;
e) By failing to show in the medical record the justification for
prescribing opioids in the dosages prescribed;
f) By failing to show in the medical record the justification for
prescribing a combination of two or more immediate release opioids;
9g) By prescribing concurrent prescriptions of immediate release
opioids in combination and at the dosages prescribed;
h) By violating the standards for the use of controlled
substances for pain control provided by the Board of Medicine in Rule
.64B8-9.013(3), Florida Administrative Code;
i) By failing to record in the medical record any evidence of
physical examinations or the documentation of function.
85. Respondent failed to practice medicine with that level of care, skill
and treatment which is recognized by a reasonably prudent similar physician as
In Re:
Emergency Suspension of License of 74
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
being acceptable under similar conditions and circumstances in the treatment of
patient RC in one or more of the following ways:
a) By failing to show in the medical record the justification for
prescribing benzodiazepines in such high doses;
b) By prescribing excessive and or inappropriate amounts of
benzodiazepines;
Cc) By failing to note in the medical records in prescribing
benzodiazepines that the patient was suffering from an anxiety disorder;
d) By failing to order urine drug screening in view of the high
dosages of opioids and benzodiazepines being prescribed;
e) By failing to show in the medical record the justification for
prescribing opioids in the dosages prescribed;
f) By failing to require a specialized consultation from a board
certified pain specialist in view of the extent of medications prescribed;
g) By failing to consider the prescription of anything other than
controlled substances for the management of pain;
h) By failing to consider or use any other treatment modalities
for chronic pain included but not limited to nonscheduled medications,
adjuvant medications, medical procedures, spinal cord stimulators,
physical therapy, a morphine pump and or interventional management.
86. Respondent failed to practice medicine with that level of care, skill
and treatment which is recognized by a reasonably prudent similar physician as
In Re:
Emergency Suspension of License of 75
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Mitne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
being acceptable under similar conditions and circumstances in the treatment of
patient DB in one or more of the following ways:
In Re:
a) By failing to show in the medical record the justification for
prescribing benzodiazepines in such high doses;
b) By prescribing excessive and or inappropriate amounts of
benzodiazepines;
c) By failing to note in the medical records in prescribing
benzodiazepines that the patient was suffering from an anxiety disorder;
d) By failing to order urine drug screening in view of the high
dosages of opioids and benzodiazepines being prescribed;
e) By failing to show in the medical record the justification for
prescribing opioids in the dosages prescribed;
f) By failing to show in the medical record the justification for
prescribing a combination of two or more immediate release opioids;
g) By prescribing concurrent prescriptions of immediate release
opioids in combination and at the dosages prescribed;
h) By violating the standards for the use of controlled
substances for pain control provided by the Board of Medicine in Rule
64B8-9.013(3), Florida Administrative Code;
i) By failing to record in the medical record any evidence of
physical examinations or the documentation of function;
j By failing to have an appropriate treatment plan;
Emergency Suspension of License of : 76
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
k) By failing to justify the prescription of Soma in the medical
records;
1) By prescribing an excessive or inappropriate amount of
Soma;
m) By inappropriately prescribing an excessive and or
dangerous combination of opioids and benzodiazepines.
87. Respondent failed to practice medicine with that level of care, skill
and treatment which is recognized by a reasonably prudent similar physician as
being acceptable under similar conditions and circumstances in the treatment of
patient MB in one or more of the following ways:
a) By failing to show in the medical record the justification for
prescribing benzodiazepines in such high doses;
b) By failing to refer the patient to a board certified psychiatrist
in view of the high dosages of benzodiazepines being prescribed;
Cc) By prescribing excessive and or inappropriate amounts of
benzodiazepines;
d) By failing to note in the medical records in prescribing
benzodiazepines that the patient was suffering from an anxiety disorder;
e) By failing to order urine drug screening in view of the high
dosages of opioids and benzodiazepines being prescribed;
f) By failing to show in the medical record the justification for
prescribing opioids in the dosages prescribed;
In Re: | Emergency Suspension of License of
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
77
In Re:
g) By failing to show in the medical record the justification for
prescribing a combination of two or more immediate release opioids;
h) By prescribing concurrent prescriptions of immediate release
opioids in combination and at the dosages prescribed;
i) By violating the standards for the use of controlled
substances for pain control provided by the Board of Medicine in Rule
64B8-9.013(3), Florida Administrative Code;
j) By failing to consider the prescription of anything other than
controlled substances for the management of pain;
k) By prescribing excessive and inappropriate dosages and
combinations of opioids;
») By failing to record in the medical record any evidence of
physical examinations or the documentation of function;
m) By failing to requirea specialized consultation from a
board certified pain specialist in view of the extent of medications
prescribed;
n) By failing to have an appropriate treatment plan;
0) By failing to consider or use any other treatment modalities
for chronic pain included but not limited to nonscheduled medications,
adjuvant medications, medical procedures, spinal cord stimulators,
physical therapy, a morphine pump and or interventional management;
Emergency Suspension of License of 78
Elizabeth Lopez, M.D.
License No. ME 62775
Case No, 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
p) By inappropriately prescribing an excessive and dangerous
combination of opioids and benzodiazepines;
q) By immediately prescribing high doses of opioids instead of
titrating the dosage until an effective level of pain management was
reached.
88. Respondent failed to practice medicine with that level of care, skill
and treatment which is recognized by a reasonably prudent similar physician as
being acceptable under similar conditions and circumstances in the treatment of
patient KD in one or more of the following ways:
a) By failing to show in the medical record the justification for
prescribing benzodiazepines in such high doses;
b) By prescribing excessive and or inappropriate amounts of
benzodiazepines;
c) By failing to note in the medical records in prescribing
benzodiazepines that the patient was suffering from an anxiety disorder;
d) By failing to order urine drug screening in view of the high
dosages of opioids and benzodiazepines being prescribed;
e) By failing to show in the medical record the justification for
prescribing opioids in the dosages prescribed;
f) By failing to show in the medical record the justification for
prescribing a combination of two or more immediate release opioids;
In Re: Emergency Suspension of License of 79
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
In Re:
g) By prescribing concurrent prescriptions of immediate release
opioids in combination and at the dosages prescribed;
h) By violating the standards for the use of controlled
substances for pain control provided by the Board of Medicine in Rule
64B8-9.013(3), Florida Administrative Code;
. i) By failing to consider the prescription of anything other than
controlled substances for the management of pain;
jp By prescribing excessive and inappropriate dosages and
combinations of opioids;
k) By failing to have an appropriate treatment plan;
!) By failing to consider or use any other treatment modalities
for chronic pain included but not limited to nonscheduled medications,
adjuvant medications, medical procedures, spinal cord stimulators,
physical therapy, a morphine pump and or interventional management;
m) By failing to justify the prescription of Soma in the medical
records;
n) By prescribing an excessive or inappropriate amount of
Soma;
0) By inappropriately prescribing an excessive and dangerous
combination of opioids and benzodiazepines and Soma;
p) By failing to fully assess the patient.
Emergency Suspension of License of 80
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
89. Respondent failed to practice medicine with that level of care, skill
and treatment which is recognized by a reasonably prudent similar physician as
being acceptable under similar conditions and. circumstances in the treatment of
patient JF in one or more of the following ways:
a) By failing to show in the medical record the justification for
prescribing benzodiazepines in such high doses;
b) By prescribing excessive and or inappropriate amounts of
benzodiazepines;
c) By failing to note in the medical records in prescribing
"benzodiazepines that the patient was suffering from an anxiety disorder;
d) By failing to order urine drug screening in view of the high
dosages of opioids and benzodiazepines being prescribed;
e) By failing to show in the medical record the justification for
prescribing opioids in the dosages prescribed;
f) By failing to show in the medical record the justification for
prescribing a combination of two or more immediate release opioids;
i) By prescribing concurrent prescriptions of immediate release
opioids in combination and at the dosages prescribed;
jp By violating the standards for the use of controlled
substances for pain control provided by the Board of Medicine in Rule
64B8-9.013(3), Florida Administrative Code;
In Re: | Emergency Suspension of License of 81
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Miine\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
k) By failing to consider the prescription of anything other than
controlled substances for the management of pain;
1) By prescribing excessive and inappropriate dosages and
combinations of opioids.
m) _ By failing to have an appropriate treatment plan;
n) By failing to fully assess the patient;
0) By immediately prescribing high doses of opioids instead of
titrating the dosage until an effective level of pain management was
reached.
90. Respondent failed to practice medicine with that level of
care, skill and treatment which is recognized by a reasonably prudent similar
physician as being acceptable under similar conditions and circumstances in the
treatment of patient MK in one or more of the following ways;
In Re:
a) By failing to show in the medical record the justification for
prescribing benzodiazepines in such high doses;
b) By failing to note in the medical records in prescribing
benzodiazepines that the patient was suffering from an anxiety disorder;
c) By failing to order urine drug screening in view of the high
dosages of opioids and benzodiazepines being prescribed;
d) By failing to show in the medical record the justification for
prescribing opioids in the dosages prescribed;
Emergency Suspension of License of 82
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Miine\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
e) By failing to show in the medical record the justification for
prescribing a combination of two or more immediate release opioids;
f) By prescribing concurrent prescriptions of immediate release
opioids in combination and at the dosages prescribed;
g) By violating the standards for the use of controlled
substances for pain control provided by the Board of Medicine in Rule
64B8-9.013(3), Florida Administrative Code;
h) By prescribing excessive and inappropriate dosages and
combinations of opioids;
i) By failing to have an appropriate treatment plan.
91. Respondent failed to practice medicine with that level of care, skill
and treatment which is recognized by a reasonably prudent similar physician as
being acceptable under similar conditions and circumstances in the treatment of
patient DL in one or more of the following ways:
a) By failing to show in the medical record the justification for
prescribing benzodiazepines in such high doses;
b) By failing to refer the patient to a board certified psychiatrist
in view of the high dosages of benzodiazepines being prescribed;
c) By failing to note in the medical records in prescribing
benzodiazepines that the patient was suffering from an anxiety disorder;
d) By failing to order urine drug screening in view of the high
dosages of opioids and benzodiazepines being prescribed;
ke Bleabeth Lopes MDs °
License No. ME 62775.
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
e) By failing to show in the medical record the justification for
prescribing opioids in the dosages prescribed;
f) By failing to show in the medical record the justification for
prescribing a combination of two or more immediate release opioids;
g) By prescribing concurrent prescriptions of immediate release
opioids in combination and at the dosages prescribed;
h) By violating the standards for the use of controlled
substances for pain control provided by the Board of Medicine in Rule
64B8-9.013(3), Florida Administrative Code;
i) By prescribing excessive and inappropriate dosages and
combinations of opioids;
jp By failing to record in the medical record any evidence of
physical examinations or the documentation of function;
k) By failing to have an appropriate treatment plan.
92. Respondent failed to practice medicine with that level of care, skill
and treatment which is recognized by a reasonably prudent similar physician as
being acceptable under similar conditions and circumstances in the treatment of
patient TM in one or more of the following ways:
In Re:
a) By failing to show in the medical record the justification for
prescribing benzodiazepines in such high doses;
b) By prescribing excessive and or inappropriate amounts of
benzodiazepines;
Emergency Suspension of License of 84
Elizabeth Lopez, M.D.
License No. ME 62775
Case No, 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
c) By failing to note in the medical records in prescribing
benzodiazepines that the patient was suffering from an anxiety disorder;
d) By failing to order urine drug screening in view of the high
dosages of opioids and benzodiazepines being prescribed;
e) By failing to show in the medical record the justification for
prescribing opioids in the dosages prescribed;
f) By failing to show in the medical record the justification for
prescribing a combination of two or more immediate release opioids;
g) By prescribing concurrent prescriptions of immediate release
opioids in combination and at the dosages prescribed;
h) ~° By violating the standards for the use of controlled
substances for pain control provided by the Board of Medicine in Rule
64B8-9.013(3), Florida Administrative Code;
i) By prescribing excessive and inappropriate dosages and
combinations of opioids;
p By failing to have an appropriate treatment plan.
93. Respondent failed to practice medicine with that level of care, skill
and treatment which is recognized by a reasonably prudent similar physician as
being acceptable under similar conditions and circumstances in the treatment of
patient PM in one or more of the following ways:
In Re:
a) By failing to show in the medical record the justification for
prescribing benzodiazepines in such high doses;
Emergency Suspension of License of 85
Elizabeth Lopez, M.D,
License No, ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
In Re:
b) By prescribing excessive and or inappropriate amounts of
benzodiazepines;
c) By failing to note in the medical records in prescribing
benzodiazepines that the patient was suffering from an anxiety disorder;
d) By failing to order urine drug screening in view of the high
dosages of opioids and benzodiazepines being prescribed;
e) By failing to show in the medical record the justification for
prescribing opioids in the dosages prescribed;
f) By failing to show in the medical record the justification for
prescribing a combination of two or more immediate release opioids;
g) By prescribing concurrent prescriptions of immediate release
opioids in combination and at the dosages prescribed;
h) By violating the standards for the use of controlled
substances for pain control provided by the Board of Medicine in Rule
64B8-9.013(3), Florida Administrative Code;
i) By prescribing excessive and inappropriate dosages and
combinations of opioids;
jp By inappropriately prescribing an excessive and or
dangerous combination of opioids, and benzodiazepines;
k) By failing to fully assess the patient;
Emergency Suspension of License of 86
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
I) By immediately prescribing high doses of opioids instead of
titrating the dosage until an effective level of pain management was
reached.
94. Respondent failed to practice medicine with that level of care, skill
and treatment which is recognized by a reasonably prudent similar physician as
being acceptable under similar conditions and circumstances in the treatment of
patient GR in one or more of the following ways:
a) By failing to show in the medical record the justification for
prescribing benzodiazepines in such high doses;
b) By prescribing excessive and or inappropriate amounts of
benzodiazepines;
c) By failing to note in the medical records in prescribing
benzodiazepines that the patient was suffering from an anxiety disorder;
d) By failing to order urine drug screening in view of the high
dosages of opioids and benzodiazepines being prescribed;
e) By failing to show in the medical record the justification for
prescribing opioids in the dosages prescribed;
f) By failing to show in the medical record the justification for
prescribing a combination of two or more immediate release opioids;
g) By prescribing concurrent prescriptions of immediate release
opioids in combination and at the dosages prescribed;
In Re: Emergency Suspension of License of 87
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
h) By violating the standards for the use of controlled
substances for pain control provided by the Board of Medicine in Rule
64B8-9.013(3), Florida Administrative Code;
i) By failing to consider the prescription of anything other than
controlled substances for the management of pain;
jp By prescribing excessive and inappropriate dosages and
combinations of opioids;
k) By failing to have an appropriate treatment plan;
)) By failing to fully assess the patient.
95. Respondent failed to practice medicine with that level of care, skill
and treatment which is recognized by a reasonably prudent similar physician as
being acceptable under similar conditions and circumstances in the treatment of
patient LR in one or more of the following ways:
a) By failing to show in the medical record the justification for
prescribing benzodiazepines in such high doses;
b) By prescribing excessive and or inappropriate amounts of
benzodiazepines;
c) By failing to note in the medical records in prescribing
benzodiazepines that the patient was suffering from an anxiety disorder;
d) By failing to order urine drug screening in view of the high
dosages of opioids and benzodiazepines being prescribed;
In Re: Emergency Suspension of License of 88
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
In Re:
e) By failing to show in the medical record the justification for
prescribing opioids in the dosages prescribed;
f) By failing to show in the medical record the justification for
prescribing a combination of two or more immediate release opioids;
g) By failing to require a specialized consultation from . a
board certified pain specialist in view of the extent of medications
prescribed;
h) By violating the standards for the use of controlled
substances for pain contro! provided by the Board of Medicine in Rule
64B8-9.013(3), Florida Administrative Code;
i) By failing to consider the prescription of anything other than
controlled substances for the management of pain;
p By prescribing concurrent prescriptions of immediate release
opioids in combination and at the dosages prescribed;
k) By failing to have an appropriate treatment plan;
I) By failing to consider or use any other treatment modalities
for chronic pain included but not limited to nonscheduled medications,
adjuvant medications, medical procedures, spinal cord stimulators,
physical therapy, a morphine pump and or interventional management;
m) By inappropriately prescribing an excessive and dangerous
combination of opioids, and benzodiazepines;
Emergency Suspension of License of 89
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
n) By failing to fully assess the patient,
0) By immediately prescribing high doses of opioids instead of
titrating the dosage until an effective level of pain management was
reached;
p) By prescribing excessive and inappropriate dosages and
combinations of opioids.
96. Respondent failed to practice medicine with that level of care, skill
and treatment which is recognized by a reasonably prudent similar physician as
being acceptable under similar conditions and circumstances in the treatment of
patient BC in one or more of the following ways:
In Re:
a) By failing to show in the medical record the justification for
prescribing benzodiazepines in such high doses;
b) By prescribing excessive and or inappropriate amounts of
benzodiazepines;
Cc) By failing to note in the medical records in prescribing
benzodiazepines that the patient was suffering from an anxiety disorder;
d) By failing to order urine drug screening in view of the high
dosages of opioids and benzodiazepines being prescribed;
e) By failing to show in the medical record the justification for
prescribing opioids in the dosages prescribed;
f) By failing to show in the medical record the justification for
prescribing a combination of two or more immediate release opioids;
Emergency Suspension of License of 90
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
g) By prescribing concurrent prescriptions of immediate release
opioids in combination and at the dosages prescribed;
h) By violating the standards for the use of controlled
substances for pain control provided by the Board of Medicine in Rule
64B8-9.013(3), Florida Administrative Code;
i) By prescribing excessive and inappropriate dosages and
combinations of opioids;
j) By failing to require a specialized consultation from a
board certified pain specialist in view of the extent of medications
prescribed;
k) By failing to have an appropriate treatment plan;
I) By failing to consider or use any other treatment modalities
for chronic pain included but not limited to nonscheduled medications,
adjuvant medications, medical procedures, spinal cord stimulators,
physical therapy, a morphine pump and or interventional management;
m) By inappropriately prescribing an excessive and dangerous
combination of opioids and benzodiazepines;
n) By failing to fully assess the patient.
97. Respondent failed to practice medicine with that level of care, skill
and treatment which is recognized by a reasonably prudent similar physician as
being acceptable under similar conditions and circumstances in the treatment of
patient JC in one or more of the following ways:
In Re:
Emergency Suspension of License of 91
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
In Re:
a) By failing to show in the medical record the justification for
prescribing benzodiazepines in such high doses;
b) By prescribing excessive and or inappropriate amounts of
benzodiazepines;
Cc) By failing to note in the medical records in prescribing
benzodiazepines that the patient was suffering from an anxiety disorder;
d) By failing to order urine drug screening in view of the high
dosages of opioids and benzodiazepines being prescribed;
e) By failing to show in the medical record the justification for
prescribing opioids f) the dosages prescribed;
g) By failing to show in the medical record the justification for
prescribing a combination of two or more immediate release opioids;
h) By prescribing concurrent prescriptions of immediate release
opioids in combination and at the dosages prescribed;
i) By violating the standards for the use of controlled
substances for pain control provided by the Board of Medicine in Rule
64B8-9.013(3), Florida Administrative Code;
j) By prescribing excessive and inappropriate dosages and
combinations of opioids;
k) By failing to have an appropriate treatment plan;
I) By failing to consider or use any other treatment. modalities
for chronic pain included but not limited to nonscheduled medications,
Emergency Suspension of License of 92
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
adjuvant medications, medical procedures, spinal cord stimulators,
physical therapy, a morphine pump and or interventional management;
m) By inappropriately prescribing an excessive and dangerous
combination of opioids and benzodiazepines;
n) By failing to fully assess the patient;
0) By immediately prescribing high doses of opioids instead of
titrating the dosage until an effective level of pain management was
reached.
98. Respondent failed to practice medicine with that level of care, skill
and treatment which is recognized by a reasonably prudent similar physician as
being acceptable under similar conditions and circumstances in the treatment of
patient JC2 in one or more of the following ways:
In Re:
a) By failing to show in the medical record the justification for
prescribing benzodiazepines in such high doses;
b) By prescribing excessive and or inappropriate amounts of
benzodiazepines;
c) By failing to show in the medical record the justification for
prescribing opioids in the dosages prescribed; .
d) By failing to show in the medical record the justification for
prescribing a combination of two or more immediate release opioids;
e) By prescribing concurrent prescriptions of immediate release
opioids in combination and at the dosages prescribed;
Emergency Suspension of License of 93
Elizabeth Lopez, M.D.
License No, ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
f) By violating the standards for the use of controlled
substances for pain control provided by the Board of Medicine in Rule
64B8-9.013(3), Florida Administrative Code;
g) By prescribing excessive and inappropriate dosages and
combinations of opioids;
h) By failing to have an appropriate treatment plan;
i) By failing to justify in the medical record the increase why
the Roxicodone was increased;
5») By inappropriately prescribing an excessive and dangerous
combination of opioids and benzodiazepines;
k) By failing to fully assess the patient.
99. Respondent failed to practice medicine with that level of care, skill
and treatment which is recognized by a reasonably prudent similar physician as
being acceptable under similar conditions and circumstances in the treatment of
patient WF in one or more of the following ways:
a) By failing to show in the medical record the justification for
prescribing benzodiazepines in such high doses;
b) By prescribing excessive and or inappropriate amounts of
benzodiazepines; |
c) By failing to note in the medical records in prescribing
benzodiazepines that the patient was suffering from an anxiety disorder;
In Re: — Emergency Suspension of License of 94
Elizabeth Lopez, M.D.
License No, ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Miine\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
In Re:
d) By failing to order urine drug screening in view of the high
dosages of opioids and benzodiazepines being prescribed;
e) By failing to show in the medical record the justification for
prescribing opioids in the dosages prescribed;
f) By failing to show in the medical record the justification for
prescribing a combination of two or more immediate release opioids;
g) By prescribing concurrent prescriptions of immediate release
opioids in combination and at the dosages prescribed;
h) By violating the standards for the use of controlled
substances for pain control provided by the Board of Medicine in Rule
64B8-9.013(3), Florida Administrative Code;
i) By prescribing excessive and inappropriate dosages and
combinations of opioids;
jp By failing to record in the medical record any evidence of
physical examinations or the documentation of function;
k) By failing to require a specialized consultation from a
board certified pain specialist in view of the extent of medications
prescribed;
l) By failing to have an appropriate treatment plan;
m) By failing to consider or use any other treatment modalities
for chronic pain included but not limited to nonscheduled medications,
Emergency Suspension of License of 95
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
adjuvant medications, medical procedures, spinal cord stimulators,
physical therapy, a morphine pump and or interventional management;
n) By inappropriately prescribing an excessive and dangerous
combination of opioids and benzodiazepines;
0) By failing to fully assess the patient;
p) By immediately prescribing high doses of opioids instead of
titrating the dosage until an effective level of pain management was
reached.
100. Respondent failed to practice medicine with that level of care, skill
and treatment which is recognized by a reasonably prudent similar physician as
being acceptable under similar conditions and circumstances in the treatment of
patient JH in one or more of the following ways:
In Re:
a) By failing to show in the medical record the justification for
prescribing benzodiazepines in such high doses;
b) By prescribing excessive and or inappropriate amounts of
benzodiazepines;
c) By failing to show in the medical record the justification for
prescribing opioids in the dosages prescribed;
d) By failing to show in the medical record the justification for
prescribing a combination of two or more immediate release opioids;
e) By prescribing concurrent prescriptions of immediate release
opioids in combination and at the dosages prescribed;
Emergency Suspension of License of 96
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
f) By violating the standards for the use of controlled
substances for pain contro! provided by the Board of Medicine in Rule
64B8-9.013(3), Florida Administrative Code;
g) By prescribing excessive and inappropriate dosages and
combinations of opioids;
h) By failing to have an appropriate treatment plan;
i) By inappropriately prescribing an excessive and dangerous
combination of opioids and benzodiazepines;
jp By failing to fully assess the patient;
k) By failing to note in the medical records in prescribing
benzodiazepines that the patient was suffering from an anxiety disorder. .
101. Respondent failed to practice medicine with that level of care, skill
and treatment which is recognized by a reasonably prudent similar physician as
being acceptable under similar conditions and circumstances in the treatment of
patient TL in one or more of the following ways:
a) By failing to show in the medical record the justification for
prescribing benzodiazepines in such high doses;
b) By prescribing excessive and or inappropriate amounts of
benzodiazepines;
c) By failing to note in the medical records in prescribing
benzodiazepines that the patient was suffering from an anxiety disorder;
mee Bizebeth Lopen MD. ”
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
d) By failing to order urine drug screening in view of the high
dosages of opioids and benzodiazepines being prescribed;
e) By failing to show in the medical record the justification for
prescribing opioids in the dosages prescribed;
f) By failing to show in the medical record the justification for
prescribing a combination of two or more immediate release opioids;
g) By prescribing concurrent prescriptions of immediate release
opioids in combination and at the dosages prescribed;
h) By violating the standards for the use of controlled
substances for pain control provided by the Board of Medicine in Rule
64B8-9.013(3), Florida Administrative Code;
i) By prescribing excessive and inappropriate dosages and
combinations of opioids;
5?) By failing to have an appropriate treatment plan;
k) By immediately prescribing high doses of opioids instead of
titrating the dosage until an effective level of pain management was
reached;
1) By inappropriately prescribing an excessive and dangerous
combination of opioids and benzodiazepines;
m) _ By failing to fully assess the patient.
102. Respondent failed to practice medicine with that level of care, skill
and treatment which is recognized by a reasonably prudent similar physician as
In Re:
Emergency Suspension of License of 98
Elizabeth Lopez, M.D,
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
being acceptable under similar conditions and circumstances in the treatment of
patient EM in one or more of the following ways:
In Re:
a) By failing to show in the medical record the justification for
prescribing benzodiazepines in such high doses;
b) By prescribing excessive and or inappropriate amounts of
benzodiazepines; .
c) By failing to show in the medical record the justification for
prescribing opioids in the dosages prescribed;
d) By failing to show in the medical record the justification for
prescribing a combination of two or more immediate release opioids;
e) By prescribing concurrent prescriptions of immediate release
opioids in combination and at the dosages prescribed;
f) By violating the standards for the use of controlled
substances for pain control provided by the Board of Medicine in Rule
64B8-9.013(3), Florida Administrative Code;
g) By prescribing excessive and inappropriate dosages and
combinations of opioids;
h) By failing to have an appropriate treatment plan;
i) By failing to consider or use any other treatment modalities
for chronic pain included but not limited to nonscheduled medications,
adjuvant medications, medical procedures, spinal cord stimulators,
physical therapy, a morphine pump and or interventional management;
Emergency Suspension of License of 99
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
j) By inappropriately prescribing an excessive and dangerous
combination of opioids and benzodiazepines;
k) By failing to fully assess the patient;
I) By failing to require a specialized consultation from a board
certified pain specialist in view of the extent of medications prescribed;
m) By failing to have an appropriate treatment plan.
103. Respondent failed to practice medicine with that level of care, skill
and treatment which is recognized by a reasonably prudent similar physician as
being acceptable under similar conditions and circumstances in the treatment of
patient WM in one or more of the following ways:
a) By failing to show in the medical record the justification for
prescribing benzodiazepines in such high doses;
b) By prescribing excessive and or inappropriate amounts of
benzodiazepines;
C) By failing to note in the medical records in prescribing
benzodiazepines that the patient was suffering from an anxiety disorder;
d) By failing to order urine drug screening in view of the high
dosages of opioids and benzodiazepines being prescribed;
e) By failing to show in the medical record the justification for
prescribing opioids in the dosages prescribed;
f) By failing to show in the medical record the justification for
Prescribing a combination of two or more immediate release opioids;
In Re: — Emergency Suspension of License of 100
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Mitne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
g) By prescribing concurrent prescriptions of immediate release
opioids in combination and at the dosages prescribed;
h) By violating the standards for the use of controlled
substances for pain control provided by the Board of Medicine in Rule
64B8-9.013(3), Florida Administrative Code;
i) By prescribing excessive and inappropriate dosages and
combinations of opioids;
jp By failing to require a specialized consultation from a board
certified pain specialist in view of the extent of medications prescribed;
k) By failing to have an appropriate treatment plan;
l) By failing to consider or use any other treatment modalities
for chronic pain included but not limited to nonscheduled medications,
adjuvant medications, medical procedures, spinal cord stimulators,
physical therapy, a morphine pump and or interventional management;
m) By inappropriately prescribing an excessive and dangerous
combination of opioids, benzodiazepines and Soma;
n) By failing to fully assess the patient.
104. Respondent failed to practice medicine with that level of care, skill
and treatment which is recognized by a reasonably prudent similar physician as
being acceptable under similar conditions and circumstances in the treatment of
patient SR in one or more of the following ways:
In Re:
Emergency Suspension of License of 101
Elizabeth Lopez, M.D.
License No. ME 62775
Case No, 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
In Re:
a) By failing to show in the medical record the justification for
prescribing benzodiazepines in such high doses;
b) By prescribing excessive and or inappropriate amounts of
benzodiazepines;
c) By failing to note in the medical records in prescribing
benzodiazepines that the patient was suffering from an anxiety disorder;
d) By failing to order urine drug screening in view of the high
dosages of opioids and benzodiazepines being prescribed;
e) By failing to show in the medical record the justification for
prescribing opioids in the dosages prescribed;
f) By failing to show in the medical record the justification for
prescribing a combination of two or more immediate release opioids;
g) By prescribing concurrent prescriptions of immediate release
opioids in combination and at the dosages prescribed;
h) By violating the standards for the use of controlled
substances for pain control provided by the Board of Medicine in Rule
64B8-9.013(3), Florida Administrative Code;
i) By prescribing excessive and inappropriate dosages and
combinations of opioids;
j) By failing to have an appropriate treatment plan;
k) By inappropriately prescribing an excessive and dangerous
combination of opioids, benzodiazepines and Soma;
Emergency Suspension of License of 102
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
1) By failing to fully assess the patient;
m) — By immediately prescribing high doses of opioids instead of
titrating the dosage until an effective level of pain management was
reached;
105. Respondent failed to practice medicine with that level of care, skill
and treatment which is recognized by a reasonably prudent similar physician as
being acceptable under similar conditions and circumstances in the treatment of
patient JT in one or more of the following ways:
a) By failing to show in the medical record the justification for
prescribing benzodiazepines in such high doses;
b) By prescribing excessive and or inappropriate amounts of
benzodiazepines;
c) By failing to note in the medical records in prescribing
benzodiazepines that the patient was suffering from an anxiety disorder;
d) By failing to order urine drug screening in view of the high
dosages of opioids and benzodiazepines being prescribed;
e) By failing to show in the medical record the justification for
prescribing opioids in the dosages prescribed;
f) By failing to show in the medical record the justification for
prescribing a combination of two or more immediate release opioids;
g) By prescribing concurrent prescriptions of immediate release
opioids in combination and at the dosages prescribed;
In Re: — Emergency Suspension of License of 103
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
h) By violating the standards for the use of controlled
substances for pain contro! provided by the Board of Medicine in Rule
64B8-9.013(3), Florida Administrative Code;
i) By prescribing excessive and inappropriate dosages and
combinations of opioids;
j) By failing to have an appropriate treatment plan;
k) By inappropriately prescribing an excessive and dangerous
combination of opioids and benzodiazepines;
1) By failing to fully assess the patient.
106. Based on the foregoing, Respondent has violated Section
458.331(1)(t), Florida Statutes (2007-2009).
COUNT THREE
107. Petitioner reincorporates and realleges paragraphs 1 through 75 as
if fully set forth herein.
108. Chapter 64B8-9.013(3), Florida Administrative Code, as more
particularly set forth in paragraph 78 herein is adopted and realleged as of fully
set forth.
109. Section 458.331(1)(m), Florida Statutes (2007, 2008 and 2009),
subjects a licensee to discipline for failing to keep legible, as defined by
department rule in consultation with the board, medical records that identify the
licensed physician or the physician extender and supervising physician by name
In Re: — Emergency Suspension of License of 104
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
and professional title who is or are responsible for rendering, ordering,
supervising, or billing for each diagnostic or treatment procedure and that justify
the course of treatment of the patient, including, but not limited to, patient
histories; examination results; test results; records of drugs prescribed,
dispensed, or administered; and reports of consultations and hospitalizations.
110. Between June 2007 and September 2009, Respondent failed to
perform a legal obligation placed upon him as a physician contained within Rule
64B8-9.013(3), Florida Administrative Code, by prescribing, Hydrocodone,
Oxycodone, Oxydose, Percocet, Roxicodone and/or Soma to patients DC, RC, DB,
MB, KD, JF, MK, DL, TM, PM, GR, LR, BC, JC, JC2, WF, JH,TL, EM, WM, SR, and
JT in the quantities and combinations described therein, without conducting or
documenting complete medical histories or physical examinations on patients DC,
RC, DB, MB, KD, JF, MK, DL, TM, PM, GR, LR, BC, JC, JC2, WF, JH,TL, EM, WM,
SR, and JT and without documenting one or more of the following: the nature
and intensity of the patients’ pain; current and past treatments for pain;
underlying or coexisting diseases or conditions; the effect of the pain on physical
and psychological function or history of substance abuse; the presence of one or
more recognized medical indications for the use of a controlled substance; and
without documenting written treatment plans that state objectives that would be
used to determine treatment success or indicate if any further diagnostic
evaluations or other treatments are planned.
In Re: Emergency Suspension of License of 105
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
111. Based on the foregoing, Respondent has violated Section
458.331(1)(m), Florida Statutes (2007, 2008 and 2009), by violating Rule 64B8-
9.013(3), Florida Administrative Code.
COUNT FOUR
112. Petitioner reincorporates and realleges paragraphs 1 through 75 as
if fully set forth herein.
113. Section 458,.331(1)(q), Florida Statutes (2007, 2008 and 2009),
provides as follows: prescribing, dispensing, administering, mixing, or otherwise
preparing a legend drug, including any controlled substance, other than in the
course of the physician’s professional practice is grounds for discipline by the
Board of Medicine. For purposes of this paragraph, it shall be legally presumed
that prescribing, dispensing, administering, mixing, or otherwise preparing
legend drugs, including ali controlled substances, inappropriately or in excessive
or inappropriate quantities is not in the best interest of the patient and is not in
the course of the physician’s professional practice, without regard to his intent.
114. Between June 2007 and September 2009, on the dates and in the
quantities more particularly described in the paragraphs above Respondent
prescribed inappropriately and/or in excessive or inappropriate quantities,
controlled substances to patients DC, RC, DB, MB, KD, JF, MK, DL, TM, PM, GR,
LR, BC, JC, JC2, WF, JH,TL, EM, WM, SR, and JT.
115. Based on the foregoing, Respondent has violated Section
458.331(1)(q), Florida Statutes (2007, 2008 and 2009).
In Re: Emergency Suspension of License of 106
Elizabeth Lopez, M.D. .
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
WHEREFORE, the Petitioner respectfully requests that the Board of
Medicine enter an order imposing one or more of the following penalties:
permanent revocation or suspension of Respondent's license, restriction of
practice, imposition of an administrative fine, issuance of a reprimand, placement
of the Respondent on probation, corrective action, refund of fees billed or
collected, remedial education and/or any other relief that the Board deems
appropriate. :
SIGNED this f ie day of __/ bol \ , 2010.
NT OF HEALTH
DEP ARM ETY CLERK
oun Uiraela Bartin~
(Wtelzove Assistant General Counsel
pate_ Sl lors Florida Bar # 622338
DOH Prosecution Services Unit
4052 Bald Cypress Way-Bin C-65
Tallahassee, Florida 32399-3265
(850) 245-4640 Office
(850) 245-4681 Facsimile
PCP Members: GakKav JS! song, seen enh
Pcp: YI aol /a, ato
In Re: — Emergency Suspension of License of 107
Elizabeth Lopez, M.D.
License No. ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL.doc
NOTICE OF RIGHTS
Respondent has the right to request a hearing to be conducted in
accordance with Section 120.569 and 120.57, Florida Statutes, to be
represented by counsel or other qualified representative, to present
evidence and argument, to cail and cross-examine witnesses and to
have subpoena and subpoena duces tecum issued on his or his behalf if
a hearing is requested.
NOTICE REGARDING ASSESSMENT OF COSTS
Respondent is placed on notice that Petitioner has incurred costs
related to the investigation and prosecution of this matter. Pursuant to
Section 456.072(4), Florida Statutes, the Board shall assess costs
related to the investigation and prosecution of a disciplinary matter,
which may include attorney hours and costs, on the Respondent in
addition to any other discipline imposed.
In Re: Emergency Suspension of License of 108
Elizabeth Lopez, M.D.
License No, ME 62775
Case No. 2008-18673
J:\PSU\Medical\Robert Milne\Cases\LOPEZ 2008-18673\AC - LOPEZ 2008-18673 21710 FINAL 030910.doc
Docket for Case No: 10-002467PL
Issue Date |
Proceedings |
Nov. 23, 2010 |
Order Closing File. CASE CLOSED.
|
Nov. 22, 2010 |
Motion to Relinquish Jurisdiction filed.
|
Nov. 05, 2010 |
Notice of Taking Deposition Duces Tecum filed.
|
Oct. 27, 2010 |
Order Denying Motion to Deem Facts Admitted.
|
Oct. 20, 2010 |
Petitioner's Motion for Facts to Deemed Admitted filed.
|
Sep. 09, 2010 |
Notice of Appearance (filed by S. Topkin on behalf of N. Levy).
|
Sep. 09, 2010 |
Notice of Appearance (filed by S. Topkin on behalf of Dr. Michael Rechter).
|
Sep. 09, 2010 |
Notice of Appearance (filed by S. Topkin on behalf of Dr. David Romano).
|
Sep. 09, 2010 |
Notice of Appearance (filed by S. Topkin on behalf of Paula Vulkcan).
|
Aug. 25, 2010 |
Amended Notice of Hearing by Video Teleconference (hearing set for December 8 and 9, 2010; 9:00 a.m.; Miami and Tallahassee, FL; amended as to Hearing Dates).
|
Aug. 20, 2010 |
Order Re-scheduling Hearing by Video Teleconference (hearing set for December 9, 2010; 9:00 a.m.; Miami and Tallahassee, FL).
|
Aug. 18, 2010 |
Notice of Taking Deposition ad Testificandum (Dr. Edardo Mila-Prats) filed.
|
Aug. 18, 2010 |
Notice of Taking Deposition ad Testificandum (Nancy Levy) filed.
|
Aug. 18, 2010 |
Notice of Taking Deposition ad Testificandum (Dr. David Romano) filed.
|
Aug. 18, 2010 |
Notice of Taking Deposition ad Testificandum (Paula Vulcain) filed.
|
Aug. 18, 2010 |
Notice of Appearance (filed by G. Kim).
|
Aug. 17, 2010 |
Letter to Judge Van Laningham from R. Miline requesting status update on availabillty filed.
|
Aug. 12, 2010 |
Letter to Judge Sartin from E. Lopez regarding available dates filed.
|
Jul. 19, 2010 |
Order Placing Case in Abeyance (parties to advise status by August 16, 2010).
|
Jul. 16, 2010 |
Letter to Judge Van Laningham from Robert Milne regarding status update filed.
|
Jul. 06, 2010 |
Notice of Taking Deposition ad Testificandum (Elizabeth Lopez, M.D) filed.
|
Jul. 02, 2010 |
Order Granting Continuance (parties to advise status by July 16, 2010).
|
Jul. 02, 2010 |
Notice of Taking Deposition Duces Tecum (of M. Gerber) filed.
|
Jun. 28, 2010 |
Motion for Telephonic Status Conference filed.
|
Jun. 24, 2010 |
Petitioner's First Request for Admissions filed.
|
May 20, 2010 |
Order Directing Filing of Exhibits
|
May 20, 2010 |
Order of Pre-hearing Instructions.
|
May 20, 2010 |
Notice of Hearing by Video Teleconference (hearing set for July 28 and 29, 2010; 9:00 a.m.; Miami and Tallahassee, FL).
|
May 17, 2010 |
Unilateral Response to Initial Order filed.
|
May 10, 2010 |
Initial Order.
|
May 07, 2010 |
Notice of Appearance (filed by R. Milne).
|
May 07, 2010 |
Election of Rights filed.
|
May 07, 2010 |
Administrative Complaint filed.
|
May 07, 2010 |
Agency referral filed.
|