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Juris 340B Solutions

340B Guidance. Confidence. Compliance.

Practical 340B consulting, documentation support, and process guidance to help your team operate with clarity and confidence.

  • 01ACE-certified clinical leads
  • 02HIPAA-compliant, BAA ready
  • 03US-based team, all 50 states
010Compliance areas we test in every mock audit engagement
020Categories HRSA findings actually cluster in
030Covered-entity eligibility categories under 340B
040Hours — our target turnaround when policy or restriction news breaks
Why Juris 340B Solutions

Most 340B problems are not knowledge problems. They are capacity problems.

Your pharmacy team already knows what the rules say. What they don't have is the time to test every claim, chase every contract pharmacy, rewrite the policy manual, and keep pace with manufacturer restrictions — while also running a pharmacy.

Who we serve

Every covered-entity category, in one place.

  • DSH Hospitals
  • Critical Access & Rural Hospitals
  • FQHCs & Look-Alikes
  • Ryan White Clinics
  • Children's Hospitals
  • Free-Standing Cancer Hospitals
  • Oncology & Infusion Centers
  • Sole Community Hospitals

Our services

From first registration to audit defense to margin recovery.

Nine service lines, each scoped with a fixed deliverable set and a defined timeline. Most clients start with one and expand.

  1. Eligibility confirmation, OPAIS registration, wholesaler account setup, policy build and go-live support for entities starting from zero.

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  2. Child site registration, cost report linkage, eligibility evidence files and annual recertification handled without the last-minute scramble.

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  3. Our 25-Point 340B Compliance Review, tested against your real data, with a remediation plan your compliance committee can action.

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  4. Ongoing monitoring, self-audit cadence, exception review and escalation — the discipline that prevents findings rather than fixing them.

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  5. Accumulator accuracy, Medicaid exclusion file status, carve-in versus carve-out strategy and state-by-state managed care rules.

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  6. Agreement review, ship-to bill-to compliance, reconciliation, manufacturer restriction tracking and oversight documentation.

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  7. Missed eligibility, unbilled claims, referral-based dispensing gaps and TPA performance review — quantified before you commit to anything.

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  8. Feasibility studies, chair economics, payer mix modeling, white bagging defense and site-of-care strategy for hospital and clinic infusion.

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  9. Written policies and procedures designed to align with 340B requirements and support audit readiness, plus role-specific staff training for pharmacy, revenue cycle and compliance.

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Our process

A consistent method, whichever service you start with.

No open-ended discovery. Every engagement follows the same four phases, with a fixed scope and a named consultant from day one.

01

Assess

We review your OPAIS record, policies, TPA reports and a sample of real claims. You get a written picture of where you actually stand — not a generic risk list.

02

Quantify

Every finding is sized in dollars and severity. Compliance exposure on one side, unrealized savings on the other, so leadership can prioritize honestly.

03

Remediate

A prioritized plan with named owners and dates. We work alongside your team through execution rather than handing over a report and leaving.

04

Sustain

Monitoring cadence, self-audit calendar and policy version control, so the same finding does not reappear at your next recertification.

Client feedback

Real partners. Honest answers.

Every engagement starts by telling you what your exposure is — not what your savings could be. Here's how that's landed with the programs we've worked with.

01Identity withheld

We had vendors tell us what our savings could be. This was the first conversation that started by telling us what our exposure was.

Director of Pharmacy

Regional health system, Midwest

02Identity withheld

The findings we could have guessed. What we could not have produced ourselves was the evidence trail behind each one — that is what made it actionable with our committee.

340B Program Manager

Critical access hospital, Mountain West

03Identity withheld

We had three vendors tell us what our savings could be. Juris was the only one that started by telling us what our exposure was.

Director of Pharmacy

Regional health system, Midwest

04Placeholder

Client feedback will appear here once a permissioned quote is available for this engagement.

[Role pending]

[Organization pending]

05Placeholder

Client feedback will appear here once a permissioned quote is available for this engagement.

[Role pending]

[Organization pending]

06Placeholder

Client feedback will appear here once a permissioned quote is available for this engagement.

[Role pending]

[Organization pending]

Next step

Find out where your 340B program actually stands.

A 30-minute call with a US-based, ACE-certified specialist. We'll tell you if you don't need us — that happens more often than you'd expect, and it's why the rest of our clients trust the answer.

No obligation · No sales sequence unless you ask for one · Typical response within one business day

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