Carolyn Dean
North Carolina Medical Board · look up this board's current complaint form using the links below
Hedged asks the board to investigate. Assertive states the concern as a would-be violation. The same facts and exhibits are used either way.
Download document (hedged)Complaint template prepared from a public-record review by drtrustmebro.com. The complaint you submit is your own; review and edit every statement before signing. This template is intended for residents or patients of North Carolina. It is not legal advice.
In the Matter of:
Carolyn Dean
License No. [LICENSE NUMBER, IF KNOWN]
178 Cayuga Drive, Mooresville, North Carolina, 28117
I. INTRODUCTION
Complainant respectfully submits this complaint to the North Carolina Medical Board requesting formal investigation and regulatory review concerning Carolyn Dean (the Respondent), identified in the attached public materials.
The public materials reviewed appear to present representations concerning the identification and management of health conditions, including 9 minerals that support thyroid and adrenal function*, ReMag, ReMyte, RE-MAG 8oz, RE-MAG 16oz, and RE-MYTE 8oz, that may extend beyond the Physician (MD/DO) scope in North Carolina.
This complaint is based exclusively upon publicly available materials and does not rely upon confidential patient records, privileged communications, or non-public investigative information. The factual observations herein were assembled from an automated public-record review of the Respondent's public website and public registry records, and were reviewed and adopted by the Complainant. All observations are potential, unverified signals from public records; the Board is the sole finder of fact.
The principal public materials reviewed include https://rnareset.com/, https://rnareset.com and the public registry and license verification sources listed in the exhibit index below.
II. STATEMENT OF FACTS
A. Licensure
Public registry record lists Respondent as holding an active Physician (MD/DO) license issued by the state board in North Carolina and subject to its jurisdiction. Respondent is not identified in any publicly available material as a licensed specialist beyond the general Physician (MD/DO) designation.
B. Public Marketing Representations
Publicly accessible materials associated with Respondent present the practice's primary identity not solely as a physician office but as a functional medicine and root cause health practice. The clinic's homepage headline names thyroid, adrenal, and mineral concerns, and its stated mission is to use functional medicine to uncover the root cause of health challenges. The online booking platform separately lists functional medicine and physician care as independent schedulable service categories.
C. Clinical Frameworks
Public content appears to address 9 minerals that support thyroid and adrenal function*, which the cited rule text suggests may fall outside the Physician (MD/DO) scope in North Carolina. The cited rule treats this as a gray area.
Public content appears to address ReMag, which the cited rule text suggests may fall outside the Physician (MD/DO) scope in North Carolina. The cited rule treats this as a gray area.
Public content appears to address ReMyte, which the cited rule text suggests may fall outside the Physician (MD/DO) scope in North Carolina. The cited rule treats this as a gray area.
Public content appears to address RE-MAG 8oz, which the cited rule text suggests may fall outside the Physician (MD/DO) scope in North Carolina. The cited rule treats this as a gray area.
Public content appears to address RE-MAG 16oz, which the cited rule text suggests may fall outside the Physician (MD/DO) scope in North Carolina. The cited rule treats this as a gray area.
Public content appears to address RE-MYTE 8oz, which the cited rule text suggests may fall outside the Physician (MD/DO) scope in North Carolina. The cited rule treats this as a gray area.
Public content appears to address RE-MYTE 16oz, which the cited rule text suggests may fall outside the Physician (MD/DO) scope in North Carolina. The cited rule treats this as a gray area.
Public content appears to address Pico Potassium, which the cited rule text suggests may fall outside the Physician (MD/DO) scope in North Carolina. The cited rule treats this as a gray area.
Public content appears to address Recalcia, which the cited rule text suggests may fall outside the Physician (MD/DO) scope in North Carolina. The cited rule treats this as a gray area.
Public content appears to address Pico Zinc Plus, which the cited rule text suggests may fall outside the Physician (MD/DO) scope in North Carolina. The cited rule treats this as a gray area.
Public content appears to address Gut-Brain-Skin Axis Nutrition Protocol, which the cited rule text suggests may fall outside the Physician (MD/DO) scope in North Carolina. The cited rule treats this as a gray area.
Public content appears to address Proprietary Mineral Supplements (ReMag, ReMyte, etc.), which the cited rule text suggests may fall outside the Physician (MD/DO) scope in North Carolina. The cited rule treats this as a gray area.
D. Funnel
Publicly available materials associated with Respondent present a pathway for consumers to engage with functional medicine and root cause health concepts, including scheduling options for functional medicine and physician care as distinct service categories.
E. Storefront
Publicly accessible materials associated with Respondent present the practice's primary identity not solely as a physician office but as a functional medicine and root cause health practice. The clinic's homepage headline names thyroid, adrenal, and mineral concerns, and its stated mission is to use functional medicine to uncover the root cause of health challenges.
F. Testimonials
Publicly available materials associated with Respondent present consumer engagement with functional medicine and root cause health concepts, including scheduling options for functional medicine and physician care as distinct service categories.
G. Complainant's Own Experience
[DESCRIBE YOUR OWN EXPERIENCE, IF ANY]
III. AREAS OF CONCERN
COUNT I: PRACTICE BEYOND THE LICENSED SCOPE
Cited authority: the state's medical practice act and board advertising rules.
The public materials described in the Statement of Facts above appear to address 9 minerals that support thyroid and adrenal function*, ReMag, ReMyte, RE-MAG 8oz, RE-MAG 16oz, RE-MYTE 8oz, RE-MYTE 16oz, Pico Potassium, Recalcia, Pico Zinc Plus, Gut-Brain-Skin Axis Nutrition Protocol, and Proprietary Mineral Supplements (ReMag, ReMyte, etc.), which the cited rule text suggests may fall outside the Physician (MD/DO) scope.
The conduct described above raises substantial concerns under the state's medical practice act and board advertising rules and warrants Board investigation.
COUNT II: ADVERTISING AND PUBLIC REPRESENTATION CONCERNS
Cited authority: the state's medical practice act and board advertising rules.
The conduct described above raises substantial concerns under the state's medical practice act and board advertising rules and warrants Board investigation.
IV. RELIEF REQUESTED
A. Formal investigation of the conduct described herein, including review of the Respondent's public advertising, website representations, consultation materials, and commercial structures.
B. A determination by the Board of whether the conduct described herein is consistent with the statutes and rules cited above.
C. Such disciplinary action as the Board deems appropriate based on its own investigation and findings, up to the maximum authorized for any violation the Board finds.
D. Corrective relief, where the Board deems appropriate, including requiring the Respondent to correct or remove the specific public representations described above and, if the conduct continues, seeking injunctive relief through a court of competent jurisdiction.
E. To the extent within the Board's authority, review of the revenues derived from the consultations, care plans, and product sales described above, and consideration of restitution for consumers who relied on the representations to their financial or physical detriment.
F. Such other and further relief as the Board deems just and proper to protect the public.
Respectfully submitted,
[YOUR NAME]
[YOUR MAILING ADDRESS]
[YOUR EMAIL AND PHONE]
[DATE]
EDIT BEFORE SENDING
- Confirm the license number using the license lookup in Exhibit A and fill it in on page 1.
- Replace every bracketed placeholder with your own information, or delete sections that do not apply.
- Print and attach dated captures of each exhibit page listed in the exhibit index.
- Review every factual statement yourself before signing; submit only what you can stand behind.
- Check the board's current submission rules (online portal, mail, or fax) before sending.
EXHIBIT INDEX
| Exhibit | Description | Source | Archived capture |
|---|---|---|---|
| Exhibit A | State license verification printout | [attach a printed, dated capture] | |
| Exhibit B | Practice homepage | https://rnareset.com/ | https://web.archive.org/web/20260314024856/https://rnareset.com/ (captured 2026031402) |
| Exhibit C | Storefront or vendor link (RnA ReSet) | https://rnareset.com | https://web.archive.org/web/20260314024856/https://rnareset.com/ (captured 2026031402) |
These templates are prepared from public records and are not legal advice. Every observation is a potential, unverified signal; the board is the sole finder of fact. Review and edit each statement before signing and submitting.