Title: Legal Issues in Pain Medicine
1Controlled Substances and the Law
Katherine E. Galluzzi, D.O., CMD, FACOFP
dist.Professor and ChairpersonDept. of
GeriatricsPhiladelphia College of Osteopathic
Medicine
2Prevalence of Chronic Pain in U.S.
1 in 4 Americans suffers from chronic pain
Back pain is one of the most common causes of
long-term disability
1. American Pain Foundation. Overview of American
Pain Surveys. Available at http//www.painfoundat
ion.org/page.asp?fileNewsroom/PainSurveys.htm.
Accessed on April 24, 2007. 2. American Pain
Foundation. Pain Facts Figures. Available at
http//www.painfoundation.org/page.asp?fileNewsro
om/PainFacts.htm. Accessed on April 24, 2007.
3Impact of Unrelieved Pain
American Pain Foundation. Overview of American
Pain Surveys http//www.painfoundation.org/Voices
/VoicesSurveyReport.pdf.
4New Illicit Drug Use in the United States 2005
SAMHSA. Results from the 2005 National Survey on
Drug Use and Health. DHHS Publication No. SMA
06-4194. 2006.
5Legal Consequences for Physicians
- Overtreatment of pain
- Undertreatment of pain
- Medical Boards
- Courts
- Legislatures
6The Cost of Prescription Opioid Abuse in the
United States
Total Cost 2001 8.6 billion Total Cost
2005 9.5 billion
1.4 billion
1.4 billion
4.6 billion
4.6 billion
2.6 billion
2.6 billion
Prescription opioid abuse is a significant public
health problem
Includes costs related to prescription opioid
(RxO) abuse treatment and excess medical costs of
RxO abusers Includes direct costs of the
criminal justice system and victims of crime as a
result of RxO abuse Includes direct and
indirect workplace costs that may be associated
with RxO abuse.
Birnbaum H, et al. Clin J Pain. 200622667-676.
7Obligations of Physicians
- Adherence to the Central Principle of Balance
- Pain and Policy Studies Group. Achieving Balance
inFederal and State Pain Policy A Guide to
Evaluation, 3rd Ed. Madison,WI
http//www.painpolicy.wisc.edu - Adherence to the Federation of State Medical
Board Policy on Controlled Substances - Model policy for the use of controlled substances
for the treatment of pain. Federation of State
Medical Boards of the United States Inc, 2004
http//www.fsmb.org
8Central Principle of Balance
- While opioid analgesics are controlled drugs,
they are also essential drugs and are absolutely
necessary for the relief of pain. Opioid
analgesics should be accessible to all patients
who need them for relief of pain. Governments
must take steps to ensure the adequate
availability of opioids for medical and
scientific purposes . . .
9Paradigm Shift in Opioid Prescribing
- Competing Public Health Crises
- Under Treated Pain
- Prescription Drug Abuse
- Increasing Need for Safe Effective Pain
Management - Decreased barriers to appropriate opioid use
- Increased safety in opioid use
10Pain and the Medical Board
11Pain and the Medical Board
- Several egregious actions against MDs
- Details are hard to come by
- Black Box Phenomenon
- Trend may be shifting
- Away from acting against over-prescribing
- Toward acting against under-treating
12Thursday, September 2, 1999
Case Marks Big Shift in Pain Policy
In an apparent first for the nation, an Oregon
medical board acts against a doctor primarily for
undertreatment of pain It appears to be the
first time in the nation that a state medical
board has taken action against a doctor in which
undertreatment of pain rather than
overtreatment is a primary factor
13Medical Board Cases Against Physicians for UNDER
Treatment
- TWO Cases with Official Sanctions
- Oregon 1999
- Bildner
- California 2003
- Whitney
- Only after first case of elder abuse went w/o
action
141st Elder Abuse Case
- Bergman family sues Dr. Chin for elder abuse
- Following failed MBC request for help
- No option for malpractice case
- Sponsored by Compassion in Dying Federation
(CIDF) - Initial jury verdict
- 1.5 million (subsequently reduced)
- Lead to New Calif. Law (AB 487)
- CME Requirement
- MBC requirement for public disclosure
- NOTE- Chin case (1st Elder Abuse)
- based on a NATIONAL STANDARD
152nd Elder Abuse Case
- Tomlinson family sues for elder abuse
- No option for malpractice case
- Sponsored by Compassion in Dying Federation
(CIDF) - Settled prior to court hearing
- MD, Hospital, Nursing Home
- MBC sanctions MD involved
- Only 2nd time for US Medical Board
- 1st case without serious pattern
16Medical Board Cases Against Physicians for OVER
Treatment
- Numerous
- Hard to know all the facts
- Usually closed process
- Decisions may be public but the underlying facts
usually are not - Standard of Care?
17Model Policy for the Use of Controlled Substances
for the Treatment of Pain
Federation of State Medical Boards of the United
States, Inc.
- FSMB House of Delegates
- May 2004
- Available www.fsmb.org
18FSMB Model PolicyBasic Tenants
- Pain management is important and integral to the
practice of medicine - Use of opioids may be necessary for pain relief
- Use of opioids for other than a legitimate
medical purpose poses a threat to the individual
and society
19FSMB Model Policy
- Physicians have a responsibility to minimize the
potential for abuse and diversion - Physicians may deviate from the recommended
treatment steps based on good cause - Not meant to constrain or dictate medical
decision-making
20FSMB Model Policy
- Complete patient evaluation
- Written treatment plan
- Informed patient consent and agreement for
treatment - Periodic review of the course of treatment
- Willingness to refer
- Maintenance of complete and current medical record
21Pain in the Courts
22Civil Suits For Undertreatment of Pain
- Medical malpractice
- Unskillful practice
- Beneath the standard of care
- Resulting in injury to the patient
- Failure to exercise the required degree of care,
skill and diligence under the circumstances - Previously reserved for over-treatment
- Transformation into Elder Abuse
23Criminal Charges For Overtreatment of Pain
- Numerous High Profile Cases
- Exceptionally few
- Relative to the of MDs treating pain
- Almost all are extreme
- Good clinicians
- Practicing at extremes of the normal curve
- Well intentioned clinicians
- Practicing below standard of care
- Clinicians practicing outside of medicine
- Illegal activities
24Criminal Activity vs. Medical Incompetence
- Disturbing Trend
- Unclear line between
- Incompetent medical practice
- VS
- Criminal activity
- Egregious/Illegal physician behavior
25Pain in the Criminal Courts
- Several cases of questionable criminal
prosecution of Physicians - Variable outcomes
- California Frank Fisher
- Federal William Hurwitz
- Federal Ronald McIver
26Final Policy Statement September 6, 2006
- Banner from DEA website on 9-6-06
27Final Policy Statement September 6, 2006
- Final Policy Statement Sept 2006
- Dispensing Controlled Substances for the
Treatment of Pain - Registrant responsibility TO PREVENT diversion
and abuse - Citing Gonzales v. Oregon
- Properly determine a legitimate medical purpose
for the prescription of a controlled substance - Act in the usual course of professional practice
28Final Policy Statement September 6, 2006
- As a condition of being a DEA registrant
- A physician prescribing controlled substances has
an obligation to take reasonable measures to
prevent diversion - Interim Report described physicians
responsibility to minimize abuse and diversion - Why the change from MINIMIZE to PREVENT?
29Refilling Prescriptions Issuance of Multiple
Prescriptions
- Approved 2007
- Individual practitioner may issue up to a 90-day
supply of a SII controlled substance authorizing
the patient to receive a total of up to a 90 day
supply of a SII substance provided the following
are met - Ea. Separate Rx is issued for a legitimate
medical purpose bu an individual acting in the
usual course of practice - Individual practitioner clearly writes Do Not
Fill Before instructions on the prescription
Fed Register, 2007 GOVT-LAW\C-IIMultipRxs.htm
30Refilling Prescriptions Issuance of Multiple
Prescriptions
- Written instructions on ea. Rx (other than the
1st Rx) indicating the earliest date on which a
pharmacy may fill the Rx - Individual physician concludes that providing the
pt w/ mult. Rxs in this manner does not
constitute an undue risk of diversion or abuse - Permissable under applicable state laws, etc.
Fed Register, 2007 GOVT-LAW\C-IIMultipRxs.htm
31Refilling Prescriptions Issuance of Multiple
Prescriptions
- Nothing in this paragraph shall be construed as
mandating or encouraging individual practitioners
to issue multiple prescriptions or to see their
patients only once every 90 days when prescribing
Schedule II controlled substances. Rather,
individual practitioners must determine, on their
own, based on sound medical judgment, and in
accordance with established medical standards,
whether it is appropriate to issue multiple
prescriptions and how often to see their patients
when doing so.
Fed Register, 2007 GOVT-LAW\C-IIMultipRxs.htm
32Prescription Drug Abuse
- Physicians must perform risk assessments on
patients at risk for potential abuse. This is
particularly true for patients entering opiate
therapy for chronic pain - Interpretation
- Physicians have a role in law enforcement
- Greatest role in highest risk patients
White House Press Release National Drug Control
Strategy, 2004
33Prescription Drug Abuse
- We are now closing this gap in part through the
development of something most Americans assume
already existsstate-level prescription
monitoring programs. PMPs, as they are known, are
designed to facilitate the collection, analysis,
and reporting of information on the prescribing,
dispensing, and use of pharmaceuticals
White House Press Release National Drug Control
Strategy, 2004
34Prescription Drug Abuse
- The effectiveness of PMPs can be seen in a
simple statistic in 2000, the five states with
the lowest number of OxyContin prescriptions per
capita all had PMPs. - According to DEA, the five states with the
highest number of prescriptions per capita all
lacked them
White House Press Release National Drug Control
Strategy, 2004
35THE NATIONAL ALL SCHEDULES PRESCRIPTION
ELECTRONIC REPORTING ACT OF 2005(NASPER
H.R.3015)
- National Prescription Monitoring Program
- Promise of improving pain care
- Greater oversight of abusible drugs
- Clinical utility at point of care
- Risks associated w/ chilling effects on pain
control - Clear message to prescribers
- Confidentiality concerns
- Variable PMP plans
36THE NATIONAL ALL SCHEDULES PRESCRIPTION
ELECTRONIC REPORTING ACT OF 2005(NASPER
H.R.3015)
- National Prescription Monitoring Program
- Promise of improving pain care
- Greater oversight of abusible drugs
- Clinical utility at point of care
- Risks associated w/ chilling effects on pain
control - Clear message to prescribers
- Confidentiality concerns
- Variable PMP plans
37Pain in the LawConclusions
- Laws effecting pain management are developing
across the land - Almost all are in support of treating
- US Congress with 2 new Federal bills
- National Pain Care Policy Act of 2007
- Military and Veterans Pain Care Act of 2007
38Electronic Track Trace - RFID
- Secures integrity of drug supply chain by
providing accurate drug "pedigree," - A record documenting that the drug was
manufactured and distributed under secure
conditions. We particularly advocated for the
implementation of and noted that radio-frequency
identification (RFID) is the most promising - RFID technology
- Tiny radio frequency chip containing essential
data in the form of an electronic product code
(EPC). - Each discrete product unit has a unique
electronic serial number - Product can be tracked electronically through
every step of the supply chain
RFID radiofrequency identification
39RFID
- Drug pedigree or tracking systems
- FDA recommends widespread use of RFID in the
pharmaceutical supply chain by 2007 - FDA considering mandatory RFID pedigree systems
for Rx shipments
RFID radiofrequency identification
40Agonist/Antagonist
- Sequestered antagonist
- Bioavailable antagonist
- Antagonists are released only when agent is
crushed for extraction
41Alpharma
- Morphine Naltrexone
- Extended-release opioid with a sequestered core
of the antagonist, naltrexone, in a single dosage
form - If product taken as directed
- Intended that the naltrexone will remain
sequestered and the patient will achieve pain
relief - If the capsule is tampered with by crushing,
chewing or dissolving - expected that the naltrexone will be released and
euphoria will be abated
42Kadian Versus Abuse-deterrent Long-acting Opioid
(ALO-01)
43Abuse-Deterrent Opioid Formulations in Development
IR immediate-releaseGershell L, Goater JJ.
Nature Reviews Drug Discovery 5. 20065889-890.
44CONCLUSIONSRemaining Questions
- Requirements for reduced abuse liability label
claim - ? Bioequivalence to existing product?
- Short-term evaluation of therapeutic efficacy?
- Long-term studies in susceptible populations?
- ? Acceptable risk?
45CONCLUSIONSRemaining Questions
- ? DEA scheduling for new abuse-resistant products
- ? Lower scheduling
- ? Will all products in class be required to show
similar reduced abuse liability
46(No Transcript)
47Opioid Treatment of Chronic Pain
Other Therapies for Pain
Initial Patient Assessment
Trial of Opioid Therapy
Dose Adjustment
Add Long-Acting Opioid
Patient Reassessment
Opioid Rotation
Discontinue Opioids (Exit Strategy)
Katz N. Patient Level Opioid Risk Management.
Available at www.painedu.org/manual.asp.
Accessed February 12, 2007.
48Goals of Chronic Pain Treatment
- Decrease pain to a meaningful degree without
causing harm - Increase function
- Physical capacities
- Cognitive capacity
- Improve quality of life
- Mood, sleep, work, social interaction, recreation
- Prevent, treat adverse effects
American Society of Anesthesiologists Task Force
on Pain Management, Chronic Pain Section.
Practice Guidelines for Chronic Pain Management.
Anesthesiology. 199786995-1004.
49Controlled Substances and the LawConclusions
- Medical boards struggle to find their role
- Courts appear to target exceptional cases
- Lines between bad medicine and criminal activity
need clarification - Work in progress
50Risk Management with Opioids
- Certain
- It is required
- Uncertain
- What it is
- Who needs what parts??
- Does it improve outcomes??