No Such Thing as an Unregistered Veterinary Technician

A couple years ago, we published blog post entitled, “Veterinary Medical Board Taboo: ‘Veterinary Technician.’” (https://simasgovlaw.com/media/blog/veterinary_technician/) In that, we discussed Business and Professions Code section 4893.5 which states: No person shall use the title “registered veterinary technician” or “veterinary technician,” or any other words, letters, or symbols, including, but not Read more…

Grounds for License Denial, Discipline for Cannabis Licenses with Department of Food and Agriculture

The California Department of Food and Agriculture (CDFA) is one of three agencies that will be overseeing California's regulation of medical marijuana and cannabis. CDFA's responsibility is to create the "Medical Cannabis Cultivation Program" (Program) for implementing the commercial medical cultivation regulations and develop and manage a cannabis track-and-trace system. To Read more…

Bureau of Medical Cannabis Regulation’s (BMC) Grounds for License Denial or Discipline

This blog is to discuss the grounds for license denial or discipline under the new Bureau of Medical Cannabis (“BMC”) draft regulations enacted pursuant to the Medical Cannabis Regulation and Safety Act (MCRSA). Purpose of Regulations Under MCRSA, the BMC (https://bmcr.ca.gov/) was created to license and regulate dispensaries, distributors, transporters, Read more…

Assembly Bill 1510 Proposes Licensing of Athletic Trainers

The state Assembly for California is presently considering a measure to license athletic trainers. Assembly Bill 1510, introduced by Assemblyperson, Matthew Dababneh, would enact the Athletic Training Practice Act ("Act"). It would provide for the licensure and regulation of athletic trainers. Portions of the Act specifies the requirements for licensure, including education, Read more…