Collaborative Practice Agreement · PharmD

Vermont Written Collaborative Practice Agreement for Pharmacists

Required. The Written Collaborative Practice Agreement is the written instrument Vermont law names for a Pharmacist working with a physician. Below: the board that governs it, what it must contain, and the terms it has to carry.

Practice authoritySupervision required
Written agreementAgreement required
What Vermont calls itWritten Collaborative Practice Agreement
Governing boardVermont Board of Pharmacy
Agreement familyCollaborative Practice
Research date2026-09-03 · clauses 2026-09-03

Represents Vermont's Collaborative Practice Agreement (CPA) tier under 26 V.S.A. § 2023, not ordinary pharmacist licensure — base dispensing and statutory protocol-based authority (e.g. vaccines, naloxone) need no agreement and are out of scope here. Pharmacists may not initiate antibiotic therapy or prescribe regulated drugs/biologics except under a CPA. No board-certification or numeric per-prescriber cap found.

What a Vermont Written Collaborative Practice Agreement must contain

Governed by the Vermont Board of Pharmacy. Each numbered item is a statutory requirement the agreement must satisfy.

  1. The Pharmacist shall practice collaborative pharmacy practice pursuant to a written collaborative practice agreement with the Physician, as authorized by 26 V.S.A. chapter 36 and the Vermont Board of Pharmacy's administrative rules for clinical pharmacy. The agreement shall be valid for no more than one (1) year at a time, after which the Parties must execute a new written agreement for collaborative pharmacy practice to continue, and the Pharmacist may hold separate collaborative practice agreements with more than one practitioner.

  2. The agreement shall require the Pharmacist and the Physician to contemporaneously notify each other of any change in the patient's pharmacotherapy or known medical status, and shall provide for no less than an annual quality assurance review of the services provided under the agreement by the Physician.

  3. The Written Collaborative Practice Agreement on file also carries 1 scope, 1 education, 1 registration clauses, generated in the document itself.

Terms it has to carry

Ratio, proximity, chart review, meeting and prescribing terms the agreement has to carry, from the state's supervision rules.

Proximity

Not codified — left to the agreement

Supervision ratio

Not codified — no cap on file

Chart review

Not codified — left to the agreement

Meeting cadence

Not codified — left to the agreement

Prescriptive authority

Covered by the practice agreement · no controlled-substance authority

Statute text located does not affirmatively authorize controlled-substance prescribing under a Vermont CPA — coded as not allowed pending confirmation; verify against current Board of Pharmacy rules before relying on this for a controlled-substance scenario.

Written agreement

Required

Practice ownership (corporate practice of medicine)

Non-licensee ownership permitted — No pharmacist-ownership requirement was found for Vermont pharmacy permits; not independently confirmed against a specific statute in this research pass — treat pharmacy-specific ownership rules as an open item distinct from H.583, which targets 'medical practices,' not pharmacies.

Pharmacy ownership was not separately researched in the depth given to the medical/APRN CPOM entries above — flagged as lower confidence.

Legal sources for these rules (2)
How the relationship works day to day
Who has to be where, how often you meet, and what the physician costs: Pharmacist in Vermont on collaborativeagreement.com.

About Vermont's rules

H.583 (signed June 15, 2026, eff. July 1, 2026) newly restricts private-equity/hedge-fund control and requires majority physician ownership/governance of medical practices — a major shift from Vermont's historically permissive, no-common-law-CPOM stance. All 4 APRN roles (NP, CRNA, CNM, CNS/PMHNP) share one 2,400-hour/2-year transition-to-practice threshold (26 V.S.A. § 1614) — treat as newly in effect and monitor implementing guidance.

Other clinicians in Vermont: see the state overview.