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Karen W. Dyer MT(ASCP), DLM Director, Division of Laboratory Services Centers for Medicare & Medicaid Services

Objectives Basics Certificate of Waiver (CoW) laboratories Triagency responsibilities FDA draft guidance for glucose meters CMS S&C 15-11- Regulations for waived testing survey process

What is? Clinical Laboratory Improvement Amendments Federal program that establishes quality laboratory standards to protect patient safety and improve health care

The regulations.. Established uniform quality standards for all laboratory testing to ensure accuracy, reliability and timeliness of patient test results regardless of where the test was performed.

Definition of Laboratory Any facility that examines human specimens for the diagnosis, prevention, or treatment of any disease or impairment of, or the assessment of the health of, human beings

All clinical laboratories.. that perform testing on patient specimens must: apply for a certificate pay appropriate fees and follow applicable requirements

Waived Test Complexity Moderate complexity including the subcategory of Provider Performed Microscopy (PPM) High complexity Laboratories are certified at the highest level of testing performed

Certificate Types Certificate of Compliance (COC) Certificate of Accreditation (COA) Certificate for PPM procedures (PPMP) Certificate of Waiver (CoW)

Current Enrollment Statistics Total Number of Laboratories: 250,367 Compliance Labs: 19,793 Accredited Labs: 16,588 Waived Labs: 177,104 PPM Labs: 36,882

Waived Tests Simple laboratory examinations and procedures Cleared by FDA for home use; Employ methodologies that are so simple and accurate as to render the likelihood of erroneous results negligible; or Pose no reasonable risk of harm to the patient if the test is performed incorrectly.

Certificate of Waiver (CoW) Enroll in the program Pay biennial certificate fees Only perform tests categorized as waived Not subject to routine inspections Must follow manufacturer s instructions

CoW Personnel Requirements Must have a Laboratory Director There are no educational and experiential requirements for LD There are no other personnel requirements

CoW Site Visits Announced, designed to help educate on sound laboratory practices Surveyors determine: Testing being conducted in manner that protects patient safety Regulatory compliance Performing tests appropriate for a CoW lab

CDC Educational Materials CDC has published Ready, Set, Test booklet - describes recommended practices for physicians, nurses, medical assistants and others performing patient testing under a Waiver Certificate CDC also offers an on-line training course corresponding to Ready, Set, Test.

Ready, Set, Test Educational booklet with job aids Poster and postcards 15 15

Tri-agency Responsibilities CMS, FDA and CDC have very distinct and complementary responsibilities CMS provides regulatory oversight and ensures that laboratories provide accurate, reliable and timely testing. 16

Tri-agency Responsibilities FDA has authority to implement the test complexity categorization provisions and shares responsibility for determining which tests are waived vs. non-waived. CDC provides the scientific and research branch of the Tri-Agency 17

FDA Draft Guidance for Manufacturers On January 7, 2014, the FDA published two detailed draft guidance documents for manufacturers, to advise them on how to conduct the appropriate studies and apply for clearance of their BGMS devices. 18

Why two separate draft guidance documents? Different use settings create distinct intended use populations with unique characteristics and device design requirements. Patients in professional healthcare settings are often fundamentally different than a lay-user at home. 19

FDA Draft Guidance for Manufacturers Self-Monitoring Blood Glucose Test Systems for Over-the-Counter Use Describes studies/criteria to be used by manufacturers when submitting premarket notifications for self-monitoring blood glucose tests systems Specific to over-the counter meters used by lay-persons. 20

FDA Draft Guidance for Manufacturers Blood Glucose Monitoring Test Systems for Prescription Point-of-Care Use Guide manufacturers in conducting appropriate performance studies and prep of premarket notifications for these devices 21

NOTE: The FDA Draft Guidance was not intended for use by certified laboratories. 22

Blood Glucose Monitoring Systems (BGMS) CMS became aware of laboratory, health care provider and health care facility confusion and concern in regards to the FDA Guidance on BGMS. CMS concern in regards to waived meters being used in settings or on a population different from the intended use as specified in manufacturers instructions/pkg insert Risk of patient harm when BGMS used in situations that the manufacturer has not evaluated. 23

CMS S&C:15-11- Directions on the Off-Label Use of Waived Blood Glucose Monitoring Systems (BGMS)-issued November 21,2014 Issued to help clarify regulatory requirements and address concerns/questions from laboratories and advocacy groups. These concerns including: Not allowing the use of the glucose meters Not defining the term critically ill What can facilities do in order to continue to use the BGMS. 24

Glucose Meters-Update S&C Memorandum 15-11, which was previously issued on November 21, 2014, was withdrawn and reissued in draftonly form in order to: Obtain more feedback regarding the use of waived BGMS, the environments in which BGMS are currently used, and any issues that hospitals and other providers have identified with such use Promote added education regarding the current requirements 25

Reissued S&C 15-11- Areas of clarification in the reissued memo Regulatory background Manufacturer s instructions Off-Label Use or Test Modification Issues identified on Survey Laboratory options for Compliance 26

Section 353 Public Health Service Act- Law Subpart 2 Clinical Laboratories (2) Requirements for Certificate of Waiver (3) Examinations and Procedures.laboratory examinations and procedures that have been approved by the Food &Drug Administration for home use of that, as determined by the Secretary, are simple laboratory examinations and procedures that have an insignificant risk of an erroneous result, including those that- (A) employ methodologies that are so simple and accurate as to render the likelihood of erroneous results by the user negligible, or (B) the Secretary has determined pose no unreasonable risk of harm to the patient of performed incorrectly. 27

Waived Testing regulations 493.15 Laboratories performing waived tests 493.15(e) Laboratories eligible for a certificate of waiver must- (1) Follow manufacturers instructions for performing the test; and (2) Meet the requirements in subpart B, Certificate of Waiver, of this part 28

Follow manufacturers instructions There are three regulations that deal specifically with following the manufacturer s instructions. 493.15(e) and (e)(1) states: Laboratories eligible for a certificate of waiver must Follow manufacturers instructions for performing the test 29

Follow manufacturers instructions 493.1252(a) states: Test systems must be selected by the laboratory. The testing must be performed following the manufacturer s instructions and in a manner that provides test results within the laboratory s stated performance specifications for each test system as determined under 493.1253. 30

Follow manufacturers instructions 493.1252(b) states: The laboratory must define criteria for those conditions that are essential for proper storage of reagents and specimens, accurate and reliable test system operation, and test reporting. The criteria must be consistent with the manufacturer s instructions, if provided 31

Manufacturer s Package inserts Facilities performing blood glucose testing are held to the intended use, limitations and precautions in the package insert 32

Manufacturer s Package Inserts If the BGMS is used according to the manufacturer s intended use, limitations and precautions, the meter retains its waived status. 33

Glucose Meters When manufacturer s instructions contain limitations indicating blood glucose monitoring systems (BGMS) have not been evaluated or cleared for use in specific patient populations, use of systems on these patients is considered off-label use. 34

Off-label use Using a test outside of FDA approved/cleared intended use, limitations or precautions as indicated in manufacturer s instructions is considered off-label use. Off-label use means the test (whether waived or non-waived) is considered modified and defaults to High Complexity under 35

Off-label Use Off-label use of a waived test is not prohibited however.. If the laboratory chooses to use the test off label, regulations at 493.1253(b)(2) require establishment of performance specifications for that test 36

Performance Specifications 493.1253(b)(2) Establishment of performance specifications Each laboratory that modifies an FDA-cleared or approved test system..must, before reporting patient test results, establish for each test system the performance specifications for the following performance characteristics as applicable 37

Performance Specifications Accuracy Precision Analytical Sensitivity/Specificity Reportable range Reference intervals (normal values) Any other performance characteristic required for test performance 38

Survey Process CMS is not targeting BGMS CMS following its Outcome Oriented Survey process for surveys 39

Outcome Oriented Survey Process Focus: Effect (or outcome) of the laboratory s practices on patient test results and/or patient care Assessment of the overall functioning of the laboratory and the laboratory s ability to perform quality testing Emphasis placed on the laboratory s quality system and processes through entire testing process that contribute to quality test results. Survey for compliance with regulations 40

Glucose Meter issues identified on Survey If surveyors note use of BGMS in a facility, they will evaluate if the system is being used per the manufacturer s instructions or off-label If any non-compliance is identified, a written statement of deficiencies will be issued to the laboratory following the Outcome Oriented Survey Process (OOSP) 41

Citations on Surveys Form CMS-2567 issued to the laboratory Laboratories receiving standard level citation will have a reasonable timeframe (up to 12 months) to obtain a Certificate of Compliance (CoC) or Certificate of Accreditation (CoA) 42

Laboratory Options for Compliance Lab must meet the additional requirements for high complexity testing (performance specs, personnel, proficiency testing) and any applicable State regulations 43

Other Laboratory Options for Compliance Identify and use a point-of-care glucose device without the critically ill patient limitations For patients whose clinical conditions do not meet those described in the manufacturer s instructions, send samples to a -certified/accredited laboratory 44

Accrediting Organization (AO) Surveys Laboratories accredited by a CMS approved accrediting organization must follow the AO s standards which can be equivalent to or more stringent than the requirements. 45

Lab Excellence Mailbox LabExcellence@cms.hhs.gov Still accepting comments/questions on S&C:15-11- 46

Contact Information Email: Karen.dyer@cms.hhs.gov Phone: 410-786-3531 47