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(Received via email 9-26-06; note date below) Vet sues due to over vaccination of dogs and cats Critter Fixer Pet Hospital April 17, 2002 Office of the Attorney General Dear Sirs, I hereby file a complaint against all licensed Veterinarians engaged in companion animal practice in the State of Texas for violation of the Rules of Professional Conduct, rule 573.26 which states; Licensed veterinarians shall conduct their practice with honesty, integrity, and fair dealing to clients in time and services rendered, and in the amount charged for services, facilities, appliances and drugs. I assert that the present practice of marketing of vaccinations for companion animals constitutes fraud by misrepresentation, fraud by silence, theft by deception, and undue influence by all Veterinarians engaged in companion animal practice in this state. Recommending, administering, and charging for Canine Corona vaccinations for adult dogs is fraud by misrepresentation, fraud by silence, theft by deception, and undue influence given the literature that states:
On several occasions large numbers of dogs have died from adverse reactions to corona virus vaccine. A reasonable client would not elect corona virus vaccination for an adult dog if presented this information. Recommending, administering, and charging for re-administration of modified live vaccines like Canine Distemper, Canine Parvovirus, Feline Panleukopenia, injectable Feline Rhinotracheitis, and injectable Feline Calicivirus on an semi-annual, annual, bi-annual or tri-annual basis is theft by deception, fraud by misrepresentation, misrepresentation by silence, and undue influence given the literature that states:
A reasonable client would not elect re-administration of any of the above stated vaccinations for a previously immunized pet if provided with the above information. The recommendation for administration of Leptospirosis vaccination in Texas is theft by deception, fraud by misrepresentation, misrepresentation by silence and undue influence given the fact that:
The recommendation of Lyme disease vaccine for dogs residing in Texas is fraud by misrepresentation, misrepresentation by silence and undue influence given the literature that states:
A reasonable client would not elect Lyme disease vaccine for their pet if given this information on the risks vs. the benefit. The recommendation for vaccination of cats with an adjuvanted vaccine without offering a safer alternative vaccine is fraud by misrepresentation, misrepresentation by silence, and undue influence given the literature that states: A reasonable client would not elect adjuvanted vaccines for their cat if given this information. The recommendation for vaccination of cats with Feline Infectious Peritonitis vaccine is fraud by misrepresentation, misrepresentation by silence, and undue influence given the literature that states: A reasonable client would not elect this vaccine if given this information. The recommendation of annual Feline Leukemia Vaccine for adult cats, and cats that are not at risk is theft by deception, fraud by misrepresentation, misrepresentation by silence, and undue influence given the literature that states: A reasonable client would not elect this vaccine for their cat if given this information. The recommendation of annual rabies vaccination for dogs and cats with three-year duration of immunity vaccine is theft by deception, fraud by misrepresentation, misrepresentation by silence, and undue influence given that: The recommendation of blood tests for antibody titers on dogs and cats in order to determine if re-administration of vaccine is indicated is fraud by misrepresentation, misrepresentation by silence, and undue influence given the literature that states: A reasonable client would not elect this test if given this information. I have brought these deceptive trade practices to the attention of this Board by writing six letters to the board, and appearing before the Board at three Board meetings. The Board members have demonstrated, by the questions that they have asked me, that they are uniformed on these issues, that they have not read the literature that I have sent to support my assertions, and that they have not read the letters I have written. On every occasion the Board members have refused to take any action on these matters. The Board has also ignored my request to deny approval of Continuing Education credit for seminars on Vaccination of Companion Animals provided by Pfizer Animal Health drug company which are fraudulent by omission of material facts, a conflict of interest, and thereby influence Veterinarians to continue deceptive trade practice in the marketing of vaccines. The people of the State of Texas have paid over $360 million dollars per year for vaccinations that are unnecessary and potentially harmful to their pets. Over 600,000 pets suffer every year from adverse reactions to unnecessary vaccinations. Many of them die. A survey by the American Animal Hospital Association shows that less than 7% of Veterinarians have updated their vaccination recommendations, in spite of the fact that these new recommendations have been published twice in every major Veterinary Medical Journal since 1995. Given that it is the compact of this Board with the State of Texas to protect the people of Texas, and whereby it is provided in the Texas Administrative Code Title 22, Part 24, Chapter 577, Subchapter B, Rule 577.16: Responsibilities of the Board (a) The Texas Board of Veterinary Medical Examiners is responsible for establishing policies and promulgating rules to establish and maintain a high standard of integrity, skills, and practice in the profession of Veterinary medicine in accordance with the Veterinary Licensing Act, I hereby assert that the Texas State Board of Veterinary Medical Examiners must take demonstrated and thorough action to stop the deceptive trade practices and fraud in the marketing of vaccinations for companion animals. A reasonable solution would be for the Texas State Board of Veterinary Medical Examiners to request an opinion from the Attorney General on these issues, and for the Texas State Board to issue a policy statement in the Board Notes indicating a Board policy prohibiting each of the practices I have outlined above. An alternative solution would be to notify every Veterinarian engaged in companion animal practice in this state of the complaint that has been filed against them and prosecute each and every complaint. If demonstrated and thorough action to stop the deceptive trade practices has not been taken by this Board within ninety days of receipt of this letter I will file a class action suit against the Texas State Board of Veterinary Medical Examiners on behalf of the people of Texas, for negligence in the execution of their responsibilities, and I will request a Court order to instruct the Board to perform their duties. Sincerely, Dr Robert L Rogers The above statements are true and accurate to the best of my knowledge. |
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