Drug Diversion Checklist

A helpful guide on how to prevent drug diversion.

This checklist has been developed as an operational tool to help healthcare organizations identify early warning signs of diversion, strengthen controls, and standardize investigative and reporting processes.

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Purpose of This Checklist

This checklist has been developed as an operational tool to help healthcare organizations identify early warning signs of diversion, strengthen controls, and standardize investigative and reporting processes.

 

This document guides hospital staff across departments to:

  • Detect behavioral, documentation, and systemic indicators of possible diversion
  • Maintain rigorous, compliant records supporting accurate accountability
  • Implement and assess effective safeguards across medication handling processes
  • Prepare and organize documentation for regulatory audits and inspections

 

Intended Audience and Usage

This checklist is designed for pharmacy personnel, nursing leadership, compliance teams, and hospital administration. It should be used routinely for audits, investigations, training, and audit readiness activities. Applying this resource helps foster a culture of vigilance and transparency critical to combating drug diversion.

Expand the Checklists Below:

Signs and Indicators of Potential Diversion

Staff Behavioral Indicators

  • Staff accessing controlled substances outside of assigned duties or shifts without valid clinical reason
  • Frequent failure to document medication waste or shift counts accurately
  • Signs of impairment such as slurred speech, drowsiness, pinpoint or dilated pupils, unsteady gait, frequent bathroom breaks
  • Rapid mood swings–irritability, agitation, or euphoria followed by withdrawal or fatigue
  • Excessive or unexplained medication wastage claims with or without proper witness documentation
  • Reluctance to cooperate with audits or inventory checks
  • Repeated discrepancies linked to individual staff members during reconciliation
  • Frequently volunteers for unit assignments with greater access to controlled substances (i.e., ED, ICU, PACU, oncology)
  • Increased absenteeism, tardiness, or leaving the work area abruptly without explanation

Documentation and Administrative Red Flags

  • Frequent or unexplained negative balances in controlled substance inventories
  • Altered or backdated entries in medication logs or electronic records
  • Missing or incomplete witness signatures
  • Frequent overrides of automated dispensing cabinet restrictions or bypassing secure storage
  • Discrepancies between supplier invoices and receiving logs
  • Failure to complete scheduled inventory reconciliations
  • Charting medication administration for patients who deny receiving it

Medication Handling and Process Issues

  • Storage of narcotics in unsecured or inconsistent locations
  • Single person handling of tasks requiring dual verification such as medication waste
  • Unexplained returns of unused controlled substances without appropriate documentation
  • Use of shared login credentials to access dispensing systems
  • Frequently administering PRN medications as soon as due for a patient that hasn’t required that dose/frequency for other healthcare providers

Patient-Related Indicators

  • Reports from patients or families regarding missing medications
  • Early refill requests for controlled substances
  • Symptoms of unrelieved pain or withdrawal inconsistent with prescribed dosages
  • Pattern of patients under their care often reporting inadequate pain relief despite medication being charted as given.
  • Reports from patient or families that medication safety processes were not followed (i.e., barcode scanning patient and medication, drawing up medication at bedside)

Systemic and Organizational Clues

  • Lack of segregation of duties in controlled substance management roles
  • Absence of regular diversion training and education for staff
  • No implementation of diversion detection technology or analytics
  • Infrequent or superficial controlled substance audits
  • A workplace culture that discourages reporting of suspicious activities
  • Delays or failures in reporting discrepancies to compliance or leadership
  • Absence of clear and concise controlled substance medication policies and procedures
Hospital-Wide Diversion Prevention and Detection Practices

Policies and Procedures

  • Identify an executive leader to sponsor drug diversion prevention efforts
  • Establish clear policies regarding controlled substance medication handling aligned with DEA regulations and accreditation standards
  • Require two-person verification for all controlled substance wasting, returning, and disposal activities
  • Mandate prompt reporting of diversion suspicions to designated compliance personnel
  • Conduct annual diversion prevention training with competency assessments for all relevant staff and be sure to include agency staff (as needed)
  • Conduct unannounced surveillance rounds regularly by diversion team to identify areas for improvement and educational opportunities
  • Enforce non-retaliation policies to protect individuals who report concerns

Access Controls and Inventory Management

  • Use biometric or badge access controls for narcotic storage and automated dispensing cabinets
  • Ensure each user has a unique login with no shared or generic accounts allowed
  • Perform inventory counts and reconciliations per policies with documented signatures
  • Maintain signed chain-of-custody documentation for medication deliveries and returns
  • Program usage limits and inventory thresholds in dispensing systems to detect anomalies

Technology and Monitoring

  • Implement automated diversion detection software that integrates data feeds from EMRs, Automated Dispensing Cabinets (ADCs), and timekeeping systems
  • Use real-time dashboards to monitor controlled substance usage by department and individuals
  • Configure scoring or alerts for unusual activities such as activity by a user or witness that is off-shift, whole dose wastes and returns, unreconciled doses and activity on a discharged patient
  • Maintain video surveillance focused on narcotic storage and waste disposal areas
  • Ensure electronic records are tamper-evident and securely archived

Investigation and Incident Response

  • Define procedures for responding to suspected diversion including inventory freezes and evidence preservation
  • Involve multidisciplinary teams including pharmacy, nursing, medical staff, compliance, safety, security, human resources, employee health, and legal counsel
  • Document all investigative steps and maintain audit trails
  • Coordinate with regulatory authorities such as DEA, the local law enforcement, pharmacy board, nursing board when required
  • Use findings to inform corrective actions and improve diversion prevention controls

Leadership and Culture

  • Demonstrate leadership commitment to diversion prevention with visible support and resource allocation
  • Promote an open reporting culture with anonymous hotlines and protection from retaliation
  • Review diversion control program effectiveness regularly with executive oversight
  • Encourage collaboration across teams including pharmacy, nursing, medical staff, compliance, safety, security, human resources, employee health, and legal counsel
Audit Preparation and Required Documentation

Essential Documentation for Regulatory and DEA Inspections

  • Become familiar with policies and requirements of the DEA, Joint Commission, FDA, EPA and your state’s regulatory agencies (pharmacy and nursing boards, local law enforcement)
  • Complete controlled substance inventory logs with signatures for each count and reconciliation with frequency required by state and federal agencies
  • Complete record of DEA required biennial physical inventory count of all controlled substances on hand
  • Detailed medication administration records showing all whole doses are accounted for with timestamps correlating dispensing, wasting, administration and/or returns
  • Dual-witnessed medication waste and disposal logs with quantities and signatures
  • Access logs documenting all entries to narcotic storage or automated dispensing cabinets
  • Current policies and procedures related to controlled substance management and diversion prevention
  • Training records demonstrating diversion prevention education for all relevant personnel
  • Investigation reports and documentation related to any diversion suspicions or confirmed incidents
  • Incident and discrepancy reports including follow-up and resolution documentation
  • Records of supplier invoices, packing slips, receiving logs, and reverse distributor receipts
  • Records of documentation if inventory loss or theft is identified
  • Security and surveillance records relevant to controlled substance areas

Audit Readiness Recommendations

  • Become educated with the DEA audit process, what constitutes non-compliance, and the fines associated with non-compliance
  • Maintain accurate, current, and organized documentation for auditors which is readily accessible by multiple responsible staff (records must be available at time of unannounced audit)
  • Centralize diversion-related records securely to streamline audit response including list of staff or diversion team members that have access to the records that auditors will expect to review
  • Prepare summary reports outlining diversion prevention programs, training completion, and audit outcomes
  • Conduct mock inspections to identify vulnerabilities and train staff on audit procedures
  • Keep updated contact information for regulatory agencies and legal advisors

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