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2 7 8 9 XAVIER BECERRA. Attorney General of California JANE ZACK SIMON Supervising Deputy Attorney General KEITH C. SHAW Deputy Attorney General State Bar No. 227029 Golden Gate Avenue, Suite 11000 San Francisco, CA 9102-700 Telephone: (1) 70-8 Facsimile: ( 1) 70-80 Attorneys for Complainant BEFORE THE MEDICAL BOARD OF CALIFORNIA DEPARTMENT OF CONSUMER AFFAIRS STATE OF CALIFORNIA FILED STATE OF CALIFORNIA MEDICAL BOARD OF C LIFOfiNIA SAC A. NTO. 2.. 201:1. BY ANALYST 10 11 12 1 1 1 1 17 In the Matter of the Accusation Against: Madeline Andrew, M.D. 71 Mangels Blvd Fairfield, CA 9 Physician's and. Surgeon's Certificate No. A11, Respondent. 11-~~~~~~~~~~~~~~~---' Case No. 800-201-01712 ACCUSATION 18 Complainant alleges: 19 PARTIES 20. 1. Kimberly ~irchmeyer (Complainant) brings this Accusation solely in her official 21. capacity as the Executive Director of the Medical Board of California, Department of Consumer 22 Affairs. 2 2. On or about September 1, 1992, the Medical Board issued Physician's and Surgeon's 2 Certificate Number A11 to Madeline Andrew, M.D. (Respondent). The Physician's and 2 Surgeon's Certificate was in full force and effect at all times relevant to the charges brought 2 herein and will expire on August 1, 2018, unless renewed.. 27 28 1 (MADELINE AND~W, M.D.) ACCUSATION NO. 800-201-01712

1 2 7 8 9 JURISDICTION. This Accusation is brought before the Medical Board of California (Board), under the authority of the following laws. All section references are to the Business and Professions Code unless otherwise indicated.. Section 2227 of the Code provides that a licensee who is found guilty under the Medical Practice Act may have his or her license revoked, suspended fur a period not to exceed one year, placed on probation and required to pay the costs of probation monitoring, or such other action taken in relation to discipline as the Board deems proper.. Section 22 of the Code requires the Board to take action against any licensee who 10 is charged with unprofessional conduct, defined to include "[v]iolating or attempting to violate, 11 directly or indirectly, assisting in or abetting the violation of, or conspiring to violate any 12 provision of this chapter." 1. Section 22 of the Code states: 1 "(a) The conviction of any offense substantially related to the qualifications, functions, or 1 duties of a physician and surgeon constitutes unprofessional conduct within the meaning of 1 this chapter. The record of conviction shall be conclusive evidence only of the fact thatthe 17 conviction occurred. 18 "( d) A plea or verdict of guilty or a conviction after a plea of no lo contendere is deemed to 19 be a conviction within the meaning of this section and Section 22.1. The record of 20 conviction shall be conclusive evidence of the fact that the conviction occurred." 21 7. Section 229 of the Code states: 22 "(a) The use... of alcoholic beverages, to the extent, or in such a manner as to be 2 - dangerous or injurious to the licensee, or to any other person or to the public, or to the 2 extent that such use impairs the ability of the licensee to practice medicine safely or more 2 than one misdemeanor or any felony involving the use, consumption, or self-administration 2 of any of the substances referred to in this section, or any combination thereof, constitutes 27 unprofessional conduct. The record of the conviction is conclusive evidence of such 28 unprofessional conduct. 2 (MADELINE ANDREW, M.D.) ACCUSATION NO. 800-201-01712

1 "(b) A plea or verdict of guilty or a conviction foilowing a plea of no lo contendere is 2 deemed to be a conviction within the meaning of this section. The Division of Medical Quality 1 may order discipline of the licensee in accordance with Section 2227 or the Division of Licensing may order the denial of the license when the time for appeal has elapsed or the judgment of conviction has been affirmed on appeal or when an order granting probation is made suspending imposition of sentence, irrespective of a subsequent 7 order under the provisions of Section 120. of the Penal Code allowing such person to 8 withdraw his or her plea of guilty and to enter a plea of not guilty, or setting aside the 9 verdict of guilty, or dismissing the accusation, complaint, information, or indictment." 10 8. Section 822 of the Code provides that ifthe Board determines that a licensee's ability 11 to practice his or her profession safely is impaired because the licensee is mentally ill, or 12 physically ill affecting competency, tpe Board may take action by revoking or suspending the 1 license, placing the licensee on probation, or taking such other action as the Board in its 1 discretion deems proper. 1 FIRST CAUSE FOR DISCIPLINE 1 (Unprofessional Conduct: Conviction of a Crime/Dangerous Use of Alcohol) 17 9. Respondent is subject to disciplinary action under sections 22, and/or 22, and/or 18 229 in that Respondent has engaged in unprofessional conduct, was convicted of a crime, and 19 used alcohol in a dangerous manner. The circumstances are as follows: 20 10. On or about January 10, 201, at approximately 2:0 a.m., a California Highway 21 22 2 2 2 2 Patrol observed Respondent's vehicle cross over the double yellow lines into the opposing lane of traffic while traveling eastbound 9n Highway 12 in Napa County. The officer's vehicle pulled to the rear of Respondent's vehicle. Respondent's vehicle then rapidly accelerated in excess of 80 niph in a posted mph zone and pulled away from the officer:s vehicle. The officer caught up to Respondent's vehicle, which finally came to a stop. Upon approaching Respondent, the driver, the officer noticed that she had the odor of alcohol coming from her breath and her eyes.appeared 27 28 2002. 1 The."Division of Medical Quality" refers to the Board pursuant to Business and Profession Code section (MADELINE ANDREW, M.D.) ACCUSATION NO. 800-201-01712

to be red and watery. Respondent indicated that she had consumed one glass of wine earlier in 2 the night. The officer initiated a DUI investigation where Respondent performed several field sobriety tests indicating that she was under the influence of al coho 1. Respondent submitted to a blood alcohol test which resulted in a 0.1%blood alcohol content, over twice the legal limit. 11. Respondent was arr.ested and charged in the Napa County Superior Court with two misdemeanor charges: 1) Vehicle Code (VC) section 212(a)- Driving Under the Influence of 7 Alcohol and; 2) VC section 212(b)- Driving with a Biood Alcohol Level of 0.08% or More. 8 The Complaint included a special allegation for Excessive Blood Alcohol pursuant to VC section 9 278, in that Respondent ~rove with a blood alcohol content of 0.1% or more. On August 2, 10 201, Respondent pied no contest to VC section 212(a). She was sentenced to the following: 11 three () years of court probation, four () days in jail, forty (0) hours of community service, 12 installation of an Ignition Interlock Device for a period of six () months, submit to random 1 chemical testing, attend.the DUI offender's nine (9) month driving program, do not operate a 1 motor vehicle with any measurable amount of alcohol, and obey all laws. 1 12. Respondent's August 2, 201 criminal conviction for driving under the influence of 1 alcohol is substantially related to the qualifications, functions and duties of a physician and 17 surgeon. Further, her conduct in driving recklessly while excessively intoxicated amounts to the '. 18 use of alcohol in a manner dangerous to both Respond~nt and the public. As such, her conviction 19 and condu,ct constitutes unprofessional conduct under section 22, and a violation under section 20 22 (criminal conviction), and section 229 (dangerous use of alcohol). 21 SECOND CAUSE FOR DISCIPLINE 22 (Mental or Physical Impairment) 2 1. Respondent underwent a voluntary psychiatric evaluation in June 2017 with a Board- 2 appointed psychiatrist. The psychiatrist provided her report, dated August 2, 2017, which 2 contains her findings, opinions and conclusions regarding Respondent's fitness t~ practice 2 medicine. During the evaluation, Respondent admitted that she has a long history of depression 27 dating back to her early twenties, and admitted that during one of her depressive episodes she 28 heard voices. The auditory hallucinations receded after she started receiving treatment. (MADELINE ANDREW, M.D.) ACCUSATION NO. 800-201-017l2

Respondent also admitted to prescribing to herself anti-depressants and other medications for 2 many years, and ordering her own blood work. The evaluator noted that Respondent was somewhat casual about the fact that she was prescribing herself medication and acting as her own psychiatrist and primary care provider. Respondent indicated that she found nothing wrong with prescribing her own medication and believed it to be the norm in her "culture." The evaluator expressed concern that Respondent's psychiatric symptoms may be flaring up due to family and 7 marital stress, which may accelerate her drinking of alcohol. 8 1. Respondent was diagnosed with a longstanding Major Depressive Disorder with a 9 possible history of psychosis; or even mania.. It was noted that Respondent's condition is JO undertreated. The evaluator concluded that Respondent is "not able to practice medicine safely 11 without any restrictions" and that she requires sustained monitoring, psychotherapeutic treatment, 12 and oversight in order to ensure that she can safely practice. It was also recommended that 1 Respondent should be under the care of a primary care physician or specialist to prescribe all her 1 medications. 1 1. Respondent's license is subject to Board action pursuant to Sections 822 and 2227 of 1 the Code in that Respondent is impaired in her ability to safely practice medicine by virtue of 17 mental illness. 18 PRAYER 19 WHEREFORE, Complainant requests that a hearing be held on the matters herein alleged, 20 and that following the hearing, the Board issue a decision: 21 1. Revoking or suspending Physician's and Surgeon's Certificate Number A11, 22 issued to Madeline Andrew, M.D:; 2 2. Revoking, suspending or denying approval of Madeline Andrew, M.D.'s authority to 2 supervise physician assistants and advanced practice nurses; 2. Ordering Madeline Andrew, M.D., if placed on probation; to pay the Board the costs 2 of probation monitoring; and 27 Ill 28 Ill (MADELINE ANDREW, M.D.) ACCUSATION NO. 800-201-01712

. Taking such other and further action as deemed necessary and proper. 2 7 8 9 10 11 12 1 1 1 1 17 18 19 20 21 22 2 2 2 2 27 28 DATED: November 2, 2017 SF20170198 128229.doc Executive Direct Medical Board of California State of California Complainant (MADELINE ANDREW, M.D.) 0 ACCUSATION NO. 800-201~01712