Nov. 14, 2013 DHHS letter to registered caregivers

greenlikemoney

Well-Known Member
Then I would highly suggest compliance, because you know if they have been getting complaints the random compliance checks are sure to follow ( which personally, I don't disagree with, since many people fought long and hard to make this a reality and then you have people who are trying to feck it up by not following the rules ).
 

NoSwagBag

Well-Known Member
Better the money from these "illegal" endeavours go to the local caregivers than to drug cartels. Not saying its right, just that it could be MUCH worse.
Sometimes you need to take a few steps back to look @ the big picture.
 

junker1

Well-Known Member
compliance checks for caregivers aren't in the current laws/rules.....
unless you have three or more patients. a 24 hour notice must be given. I spoke with someone at the "office of pot" and she told me it was up to the police to police everything. I would be compliant its easy.
 

sitsueme

New Member
as caregivers we should all want inspections. we fought for this a long time, I have over $20,000 invested in my business and plan on investing another $50,000 to expand my facility. I want to grow the best meds i possibly can and cater to my patients. Lets do this right and we will have far less trouble.
 

NoSwagBag

Well-Known Member
as caregivers we should all want inspections. we fought for this a long time, I have over $20,000 invested in my business and plan on investing another $50,000 to expand my facility. I want to grow the best meds i possibly can and cater to my patients. Lets do this right and we will have far less trouble.
With that theory you must think the "inspectors" will all be honest. Thats bull puckey. Opening your grow to others, inspectors or not, will open it to problems.
 

kinddiesel

Well-Known Member
im sure that letter was sent out to every body. I would not worry about it as long as you follow the laws. your good. this is just a slap on the hand for some people doing stupid things. ty for posting .
 
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