Postdating a check in florida

It is up to the practitioner to determine how many separate prescriptions to be filled sequentially are needed to provide adequate medical care.For example, a practitioner may issue three 30-day schedule II prescriptions to cover a 90-day supply or he/she may issue nine prescriptions for the same schedule II controlled substance, each for a ten-day supply, having the combined effect of a 90-day supply. The issuance of refills for a schedule II controlled substance is prohibited by law.Furthermore, *** states that its accounting practices merely provide a means for keeping track of these pension checks. A money order does not need to be presented to its original place of purchase in order to be honored. Because they are not payable on demand, postdated cashier's checks are not actually checks until the due date.*** backs these positions by arguing that the pension checks pose no deposit insurance risk. As applied to *** protest, the first step in this analysis is to determine whether or not preissued, postdated cashier's checks meet the definition of "deposit". As a consequence, *** postdated cashier's checks legally are not cashier's checks or other officer's checks. § 1817(b)(4)(A) (assessment base of a bank is "equal to the bank's liability for deposits'').*** has no significance for assessment purposes because a cash management relationship exists between this account and the current outstanding checks, account no. First, do preissued, postdated cashier's checks meet the definition of "deposit"? SUMMARY CONCLUSIONS *** preissued, postdated cashier's checks do not meet the definition of "deposit" until their due date. Preissued, postdated cashier's checks do not meet the definition of "deposit" until their due date. In addition, a preissued, postdated cashier's check is not an "outstanding draft" for purposes of what is a "deposit". Finally, since preissued, postdated cashier's checks are not deposits until their due date, *** pension pay service fund, account no ***, is not a deposit account.Second, is *** pension pay service fund, account no. Furthermore, *** pension pay service fund, account no. Therefore, the exception to *** deposit assessment is incorrect. DISCUSSION The assessment base of a bank is "equal to the bank's liability for deposits . Section 3(A preissued, postdated cashier's check is not any one of these four instruments. A "draft" is a negotiable instrument if it is a "direction to pay" a person who is identified with "reasonable certainty". The existence of this account and *** premature posting of these pension checks confuses the assessment process, but substance should rule over form. ADDENDUM *** practice of honoring these postdated cashier's checks has no legal significance for assessment purposes because it does not accelerate the negotiability of these drafts.*** protest does not involve the unscheduled check runs; rather, the protest involves the Benefit Payment Services' scheduled check runs.The scheduled check runs are the monthly pension payments made by the Benefit Payment Services section.

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*** has a section in its trust department called the "Benefit Payment Services" which sends out official checks to pay pension trust account beneficiaries.

*** also argues that these pension checks do not meet the definition of "deposit" until their due date arrives. And if these drafts are deposits, the next step in this analysis will be to determine whether or not preissued, postdated cashier's checks are bank liabilities. 1980) ("a postdated check is not, prior to date, a "check' as defined in [U. C.] § 3-104(2)(b), since it is not payable on demand"'). Furthermore, *** postdated cashier's checks are not outstanding drafts or money orders primarily because, unlike these latter two forms of negotiable instruments, postdated cashier's checks do not represent effective obligations until their due date arrives. Regardless, and even if *** postdated cashier's checks are construed to meet the definition of "deposit", *** postdated cashier's checks are not *** liabilities until the due date arrives.

When the due date does arrive, *** argues that its deposit base is then properly reflected in the current outstanding checks, account no. Finally, *** argues that the pension pay service fund, account no. ISSUES *** assessment audit exception raises two questions. Therefore, in order to be included in the assessment base, each of these preissued, postdated cashier's checks must be: 1) a "deposit", (2) for which *** is liable. Therefore, until the due date, a preissued, postdated cashier's check is not a cashier's check or issued officer's check for purposes of what is a "deposit". Therefore, *** preissued, postdated cashier's checks do not meet the only relevant definition of "deposit" in the FDI Act, and *** pension pay service fund account no. Since *** postdated cashier's checks do not meet the definition of "'deposit", it is not necessary to determine whether or not they are *** liabilities for purposes of what is assessable by the FDIC. As argued above, preissued, postdated cashier's checks are not effective obligations until the due date.

What are the requirements for the issuance of multiple prescriptions for schedule II controlled substances?

Does this rule require or mandate a practitioner to issue multiple prescriptions for schedule II controlled substances? Is there a limit on the number of schedule II dosage units a practitioner can prescribe to a patient? A practitioner may provide individual patients with multiple prescriptions for the same schedule II controlled substance to be filled sequentially.

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