BEST PRACTICES: DOCUMENTATION OF CLINICAL RATIONALE FOR CHRONIC OPIOID THERAPY THE LEGAL PERSPECTIVE PART I. The presentation was created by

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BEST PRACTICES: DOCUMENTATION OF CLINICAL RATIONALE FOR CHRONIC OPIOID THERAPY THE LEGAL PERSPECTIVE PART I Jennifer Bolen, JD Former Federal Prosecutor Founder, the Legal Side of Pain Presented August 2013 Funding for this initiative was made possible (in part) by Prescribers Clinical Support System for Opioid Therapies (1H79TI023439-01) from SAMHSA. The views expressed in written conference materials or publications and by speakers and moderators do not necessarily reflect the official policies of the Department of Health and Human Services; nor does mention of trade names, commercial practices, or organizations imply endorsement by the U.S. Government. The presentation was created by Jennifer Bolen, JD. The following slides are provided for your information and are not intended to provide legal advice. Please consult with qualified legal counsel for specific legal advice. Objectives 1. To facilitate practice improvements by educating practitioners about state licensing board expectations about medical record documentation relating to the use of chronic opioid therapy; 2. To facilitate practice improvements and understanding of the informed consent and patient education process surrounding the chronic opioid therapy treatment plan, using a comparison of poor, average, and good documentation of the same; and 3. To facilitate improved quality of care by providing practitioners with new tools to document patient education on safe use, storage, and disposal of prescription medication, and to properly handle termination of care through discharge and referral, so the patient is not abandoned. 1

State of Pain 2013 Unprecedented Change Increased Investigations Increased Overdose Events Harsh Pressure Harsh Penalties Fight for Balance Examples of State Legal Materials Prescribing Guidelines by Boards Policy Statements by Licensing Boards Controlled Substances Act Rules Licensing Board Rules Unprofessional Conduct Codes Controlled Substances Act Intractable Pain Treatment Act** Medical Practice Act Inside or Outside? Where do your prescribing practices fall? Best Practices (Evidence Based Medical Standards) Generally Accepted Practices Guidelines and Position Statements 2

FSMB 2013 Model Policy (FINAL) A look at critical risk issues 3

LANGUAGE FROM NEW FSMB MODEL POLICY 4

Critical Documentation Rules KEY AREAS FOR TODAY S LECTURE History Physical Exam Prior Pain Treatments Prior Records Diagnostics Risk Evaluation Rule #1 Prepare a checklist using your state licensing board s pain prescribing rules and policies. 5

Language Lessons Should Shall Copyright 2013, The J. Bolen Group, LLC. All rights reserved. Example SHALL MEANS... SHOULD MEANS... those items a practitioner is required to perform those actions that a prudent practitioner will either do and document or be able to provide a thoughtful explanation as to why the practitioner did not do so Copyright 2013, The J. Bolen Group, LLC. All rights reserved. Rule #2 Use the checklist to evaluate your current documentation practices: A. Forms B. Correspondence C. Update Chart Summaries 6

Patient Evaluation General Medical Physical Exam Pain Specific Tried and Failed Tx and Medication Review of Prior Records and Diagnostic Tests Rule #3 Learn to document why you did or not do something mandated or recommended by your licensing board. 7

Rule #4 Perform a true risk evaluation and document your findings and decision making based thereon. Your treatment plan should reflect this evaluation. 8

Risk Evaluation Medication specific 100mg MEDD or greater (increases risk; not an end-point) Controlled Medication from multiple providers? Recent history of pain-related ER visits? Behavior-related Dismissed from Other Practice? History of Overtaking Medications? History of Street Drug Use? Pushing for Specific Medication? Bi-Polar or ADD/ADHD? Past Medication Thefts Involved in Legal Cases? Honesty Issues (Lie about anything)? Other Any intellectual challenges (cognitive)? Other Family Members on Meds? Document Risk Analysis Risk Stratification Behavioral & Substance Abuse History Current Medication Usage & PMP Personal Family UDT 9

Rule #5 Create and document a true informed consent process (not just a piece of paper). 10

Informed Consent v. Treatment Agreement (Paper and Process) Informed Consent Risks Benefits Treatment Alternatives Special Issues Patient Education BEYOND the label and just letting the pharmacist do it! Treatment Agreement One physician for Rx of CS One pharmacy for Fill of CS Rx Drug Testing Prescription Monitoring Reports Medication Counts? Family Conferences? Visit Frequency? Other boundaries associated with patient monitoring and practice protocols. Copyright 2013, The J. Bolen Group, LLC. All rights reserved. 11

FDA & Safe Use Efforts www. fda.gov/cder Copyright 2013, The J. Bolen Group, LLC. All rights reserved. FDA & Safe Disposal www.fda.gov/cder Copyright 2013, The J. Bolen Group, LLC. All rights reserved. NEW FDA PATIENT COUNSELING TOOL Creating a cheese trail Copyright 2013, The J. Bolen Group, LLC. All rights reserved. 12

Rule #6 Create and use a cheat sheet to assist you in patient follow-up care, especially when weighing the risks and benefits of ongoing opioid therapy. LOW MODERATE HIGH Many states trending toward higher frequency. If you can do it every visit or every other visit, it will be a good thing! 13

Rule #7 If you decide to give a patient a second (or third) chance to continue opioid therapy in the face of Aberrant, Drug-Related Behavior, prepare an updated chart summary (containing a well-founded explanation for your decision) and consider the need for peer review (internal or external). 14

Rule #8 Ask yourself: What would my office staff and peers say about my documentation? 15

Next Time... Documenting Follow-up Review Handling Special Issues Anonymous Calls Drug Test Failures PMP Problems Termination of Care Follow up & Questions? Jennifer Bolen, JD jbolen@legalsideofpain.com 865 755 2369 16