GPhC Fitness to Practise: A Guide for Pharmacists Facing an Investigation | Probity & Ethics
Pharmacy Regulation

GPhC Fitness to Practise: A Guide for Pharmacists Facing an Investigation in the UK

What pharmacists and pharmacy technicians need to know about GPhC investigations — every stage explained, with guidance on remediation evidence and protecting your registration

Updated: March 2026 | 13 min read | Probity & Ethics

The General Pharmaceutical Council (GPhC) is the independent regulator for pharmacists and pharmacy technicians in Great Britain. When a concern is raised about a registrant — whether relating to clinical practice, professional conduct, health, or probity — the GPhC has a duty to investigate and, where necessary, take action to protect the public. This guide explains how the GPhC Fitness to Practise process works, what standards apply, and what pharmacists and pharmacy technicians should be doing from the moment a concern is raised.

The GPhC's Regulatory Standards

The GPhC's Standards for Pharmacy Professionals sets out the nine standards that all GPhC registrants are expected to meet. These cover patient-centred care, communication, working within competence, managing professional risk, ethical and lawful practice, and professional responsibility. When a fitness to practise concern is raised, it is assessed against these standards.

The GPhC investigates concerns that could, if proved, amount to impaired fitness to practise — that is, concerns serious enough to require regulatory action to protect the public, rather than concerns better addressed through an employer's internal processes or NHS complaint procedures.

The GPhC Fitness to Practise Process: Stage by Stage


1 Referral and Initial Assessment

Concerns can be referred to the GPhC by patients, employers, NHS bodies, other healthcare professionals, the police, courts, and other regulatory bodies. The GPhC can also act on information it receives through its own monitoring activities.

All referrals are assessed against the threshold for fitness to practise action. Concerns that do not meet that threshold are not taken forward as fitness to practise matters. If the threshold is met, an investigation is opened and you will receive formal notification from the GPhC setting out the specific concerns being considered.

Contact Your Defence Organisation First

On receiving a GPhC letter, your first step is to contact your professional indemnity provider or pharmacist defence organisation before responding. Do not communicate with the GPhC directly until you have their advice. The Pharmacists' Defence Association (PDA), Pharmacy Defence Association, or your indemnity insurer are your starting points.


2 Investigation

During the investigation, the GPhC gathers evidence to assess the concern. This may include:

  • Dispensing records, prescriptions, and clinical documentation
  • Witness statements from complainants, colleagues, and employers
  • Expert opinion on professional standards, where relevant
  • Your employment and registration history
  • Your own written response to the concerns

Your written response is an important document. It should be prepared with professional advice. A response that demonstrates self-awareness and insight — where appropriate — is more likely to lead to a positive outcome at every subsequent stage than a purely defensive one.


3 Investigating Committee (Interim Orders)

Where the GPhC believes there is an immediate risk to patients or to public confidence, it may refer the matter to the Investigating Committee for consideration of interim measures — including suspension of registration or conditions on practice. This can happen at any point during an investigation. An interim order is not a finding of fault; it is a precautionary step.


4 Case Assessment and Decisions Without a Hearing

Following the investigation, GPhC case assessors review the evidence. Depending on the nature and severity of the concern, possible outcomes at this stage include:

  • No further action
  • Advice or guidance provided to the registrant
  • Acceptance of undertakings — voluntary conditions on practice, published on the register
  • Referral to the GPhC Fitness to Practise Committee for a formal hearing

5 Fitness to Practise Committee Hearing

Cases referred to the GPhC's Fitness to Practise Committee proceed to a formal hearing. The Committee considers the facts of the case, whether fitness to practise is currently impaired, and — if it is — the appropriate sanction. Possible sanctions include a reprimand, conditions on registration, suspension, and removal from the register.

The GPhC's published case outcomes make clear that demonstrating genuine remediation — early, evidenced, and directly targeted to the concern raised — is one of the most important factors in achieving a proportionate sanction. Panels consistently distinguish between pharmacists who engaged proactively with remediation and those who assembled evidence at the last moment.

What Remediation Evidence Carries Weight in GPhC Cases

The principles for effective remediation in GPhC proceedings are consistent with those that apply to other UK regulators. Evidence that panels find persuasive includes:

  • Accredited CPD specifically addressed to the concern — a pharmacist-specific ethics course, a dispensing error prevention course, or a professional boundaries course, depending on the nature of the allegation
  • A reflective log maintained over a period of months, with entries specifically addressing the concern raised
  • Supervision with a named pharmacist or clinical supervisor, with a formal report
  • Employer references that speak to the specific concern and confirm the registrant's current practice
  • Documented practice changes — for example, new dispensing protocols, updated checking procedures, or revised patient counselling approaches

For guidance on writing a reflective statement for GPhC proceedings, see our article on how to write a reflective statement for regulatory purposes. The framework applies equally to GPhC cases as it does to GMC, NMC, and GDC cases.

CPD Accreditation

All Probity & Ethics courses are certified by the CPD Certification Service (CPDUK). Our GPhC remediation courses cover ethics, probity, professional standards, reflective practice, and professional boundaries — all relevant to GPhC fitness to practise proceedings. Available online with an instant CPD certificate.

Start Your GPhC Remediation Today

CPD UK Certified courses in pharmacy ethics, probity, and professional standards — available online and designed for pharmacists facing GPhC proceedings.

Browse GPhC Remediation Courses

Frequently Asked Questions

Does the GPhC regulate pharmacy technicians as well as pharmacists?

Yes. The General Pharmaceutical Council regulates both pharmacists and pharmacy technicians registered in Great Britain. Both are subject to the same fitness to practise process and the same professional standards set out in the Standards for Pharmacy Professionals.

Can I continue working as a pharmacist during a GPhC investigation?

In most cases yes. An investigation alone does not affect your registration. However, the GPhC can apply to an Investigating Committee for an interim suspension or conditions on your registration where there is an immediate risk to patients or public confidence.

What standard of proof applies at a GPhC hearing?

The civil standard applies — the balance of probabilities. Facts are found proved if they are more likely than not to have occurred. This is a lower threshold than the criminal standard of beyond reasonable doubt.

What is the most effective remediation evidence I can present to the GPhC?

A combination of accredited CPD specifically targeted to the concern raised, a maintained reflective log, clinical supervision with a written supervisor report, and employer references that address the specific concern. A portfolio combining these elements is significantly more persuasive than any single piece of evidence. Our GPhC remediation courses provide the certified CPD element of that portfolio.

Important Disclaimer

This article is for general informational purposes only and does not constitute legal or professional regulatory advice. If you are facing GPhC fitness to practise proceedings, seek independent legal advice and contact a pharmacist defence organisation without delay.