Meet the people behind compliant destruction.
Decades of combined experience in DEA-compliant pharmaceutical and medical waste solutions — the team that keeps healthcare businesses across all 50 states compliant, documented, and audit-ready.

Focused on vision, teams, and delivering results.

Optimizes operations and resources to achieve strategic goals.

Leads enterprise sales, distributor, GPO, and health-system partnerships.

Leads strategy and compliance.

Streamlines processes and ensures seamless supply-chain operations.

Drives revenue growth and builds client relationships.
Optimizes workflows and ensures execution of organizational goals.

Drives and understands the regulatory needs of our clients.

Oversees technology strategy, infrastructure, and operations.

Drives brand awareness, customer engagement, and revenue growth.

Drives pharmaceutical DEA compliance and regulatory excellence.

Drives compliance for eCommerce and pharma disposal operations.
Why a DEA-registered destruction partner is different.
Registered destruction, not just hauling
Plenty of vendors will pick up waste. Far fewer are set up to destroy controlled substances under their own DEA registration and stand behind that chain of custody. That distinction matters when an inspector asks where your Schedule II–V drugs went. Our team is built around compliant destruction across all eight regulated streams, with the controlled-substance side governed by DEA rules under 21 CFR part 1317 and reverse-distribution and transfer documentation handled on DEA Form 222 and Form 41 where those apply.
Documentation that holds up in an audit
Compliance is really a documentation problem. Our team’s job is to make sure the paperwork exists, is accurate, and is easy to produce when you need it. Every completed destruction returns a Certificate of Destruction tied to your facility, so your records line up with what actually happened to the waste. Alongside that, we help you keep the surrounding pieces straight — hazardous-waste handling under EPA RCRA and the pharmaceutical rules at 40 CFR part 266 subpart P, DOT packaging for shipments classified as UN3291, and the worker-safety expectations of OSHA’s bloodborne pathogens standard at 29 CFR 1910.1030.
One accountable partner for every stream
Most facilities end up juggling separate vendors for pharmaceuticals, sharps, hazardous drugs, and returns — which means separate manifests, separate invoices, and gaps where responsibility gets murky. Our team is structured to be the single point of accountability across all of it. When something needs answering, you are not chasing four companies to find out who has your paperwork.
Built to keep you audit-ready
The team spans operations, logistics, e-commerce, and regulatory and DEA compliance so that the day-to-day of getting waste destroyed and the documentation behind it move together. Healthcare handling protected health information can operate under a business associate agreement consistent with HIPAA. And because there is no forced contract, the relationship stays earned — the work has to be right every time.
Put this team to work for your facility.
One accountable partner for every regulated waste stream — mail-back or pickup, documented every time.
