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Consortium/Third Party Administrator. The Company may employ the service of a Consortium/Third Party <br />Administrator (C/TPA) to assist the DER with overall program management and consultation on any program <br />ssue. While the C/TPA will not serve as the DER, the C/TPA may support the DER by explaining the regulations <br />and offering guidance on program -compliance issues. <br />Service Agent Limitations. Service <br />agents <br />are subject to <br />the following limitations concerning activities in the DOT <br />drug and alcohol <br />testing <br />program: <br />(a <br />(b <br />(d <br />(d <br />(e <br />(g, <br />5. <br />Critical Service Agent Positions <br />Compliance. The Company recognizes the significance of critical service agent positions within the DOT drug <br />and alcohol program. The Company understands the importance of each service agent meeting their initial <br />qualifications, as applicable, and then maintaining compliance throughout the conduct of their program functions, <br />all in accordance with Part 40 and Part 199 requirements. The Company will ensure that the follow critical positions <br />meet DOT rule requirements. <br />a) Medical Review Officer (MRO) (§40.121 and §199.109(b)); (See Plan Section V8) <br />b) Substance Abuse Professional (SAP) (§40.281); (See PlansSection VII:1) <br />c) Urine Specimen Collector (§40.33); (See Plan Section VA.) <br />d) Screening test Technician (§40.213); and, (See Plan Section VI. 2. & 3) <br />e) Breath Alcohol Technician (§40.213) (see Plan Section V1.2, & 3) <br />Premium Concrete Services, Inc.- PHMSA DRUG/ALCOHOL PLAN 14 <br />C9 NATIONAL COMPIJANOE MAAU\CLEMENT SERVICE, INC. (NCMS) 2011 (uptlele L0217. The IVOMS plan Is <br />the subjaG o(a rogisiefetl copyright antl Is pro�edod by copynghl IdV,s in ihd US. antl elsewharo. All ,gibs <br />eserved <br />