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2012 Op. W. Va. Att'y Gen. 1 (2012)

handle is hein.sag/sagwv0055 and id is 1 raw text is: 


                                          STATE OF WEST VIRGINIA        2N

                                   OFFICE OF THE ATTORNEY GENERAL                       102
DARRELL V McGRAW, JR.                       CHARLESTON 25305                                   30 4UZ, )34. 558-2021
ATTORNEY GENERAL                                                                          Ff 304) 5580140

                                              June 7, 2012




       David E. Potters, Esq.
       Executive Director & General Counsel
       West Virginia Board of Pharmacy
       106 Capitol Street, Suite 100
       Charleston, WV 2530 1

       Dear Mr. Potters:

             This is in response to your letter of May 9, 2012, requesting an Attorney General's Opinion
      with respect to a petition for a declaratory ruling that has been filed with the Board of Pharmacy
      (hereinafter the Board). In said Petition, a copy of which you have provided to our office,
      Petitioners Wailgreen Co. and the Kroger Co. seek a declaration from the Board pursuant to W. Va.
      Code § 29A-4-1, as to the interpretation, validity, and constitutionality of certain aspects of the West
      Virginia Pharmacy Act, W. Va. Code § 30-5-12b.

                                           THE QUESTION

             The issue presented in your request is whether the Board has the authority to entertain and
      issue the declaratory ruling sought by the Petitioners as to the proper interpretation, validity, and
      constitutionality of certain aspects of the Pharmacy Act.

                                             ANALYSIS

             Fundamental principles of constitutional and administrative law dictate the conclusion that
      the Board does not have the authority to issue the ruling sought by the Petitioners. As is the case
      with all administrative agencies and boards in West Virginia, which are within the Executive Branch,
      the power of the Board is limited by the agency's enabling statute and the West Virginia
      Administrative Procedures Act. Simply stated, the Board cannot act outside the scope of the
      authority delegated to it by the Legislative Branch, and cannot usurp the constitutional duties of the
      Judicial Branch. Accordingly, the Board lacks the legal power to issue the declaratory ruling sought
      by the Petition.

             In the case under consideration, the Petitioners request that the Board issue a ruling holding
      that, inter alia, W. Va. Code § 30-5-12b is void for vagueness, preempted by federal law, void under
      the doctrine of desuetude, and/or prospective only in effect. Any of these rulings would lie outside

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