Survey
* Your assessment is very important for improving the workof artificial intelligence, which forms the content of this project
* Your assessment is very important for improving the workof artificial intelligence, which forms the content of this project
NOTICE OF PUBLICATION BAN In the College of Physicians and Surgeons of Ontario and Dr. Roger Cyril Wales, this is notice that the Discipline Committee ordered that no person shall publish or broadcast the names and any information that could disclose the identity of patients referred to orally or in the exhibits filed at the hearing under subsection 45(3) of the Health Professions Procedural Code (the Code), which is Schedule 2 to the Regulated Health Professions Act, 1991. Subsection 93(1) of the Code, which is concerned with failure to comply with these orders, reads: Every person who contravenes an order made under … section 45 or 47… is guilty of an offence and on conviction is liable, (a) in the case of an individual to a fine of not more than $25,000 for a first offence and not more than $50,000 for a second or subsequent offence; or (b) in the case of a corporation to a fine of not more than $50,000 for a first offence and not more than $200,000 for a second or subsequent offence. Indexed as: Ontario (College of Physicians and Surgeons of Ontario) v. Wales, 2015 ONCPSD 1 THE DISCIPLINE COMMITTEE OF THE COLLEGE OF PHYSICIANS AND SURGEONS OF ONTARIO IN THE MATTER OF a Hearing directed by the Inquiries, Complaints and Reports Committee of the College of Physicians and Surgeons of Ontario pursuant to Section 26(1) of the Health Professions Procedural Code being Schedule 2 of the Regulated Health Professions Act, 1991, S.O. 1991, c. 18, as amended. B E T W E E N: THE COLLEGE OF PHYSICIANS AND SURGEONS OF ONTARIO - and DR. ROGER CYRIL WALES PANEL MEMBERS: DR. C. CLAPPERTON (CHAIR) D. DOHERTY DR. J. WATTS P. GIROUX DR. C. LEVITT Hearing Dates: Decision Date: Release of Written Reasons: January 27 to 30, 2014 January 14, 2015 January 14, 2015 PUBLICATION BAN 2 DECISION AND REASONS FOR DECISION The Discipline Committee (the “Committee”) of the College of Physicians and Surgeons of Ontario heard this matter at Toronto on January 27 to 30, 2014. At the conclusion of the hearing, the Committee reserved its decision on finding. There was extensive evidence including patient charts, expert reports, as well as other documentary and physical evidence. After a thorough consideration of all evidence, including the testimony of the witnesses, the Committee releases its decision and reasons for decision. ALLEGATIONS The Notice of Hearing alleged that Dr. Roger Cyril Wales committed an act of professional misconduct: 1. under paragraph 1(1)2 of Ontario Regulation 856/93 made under the Medicine Act, 1991 (“O. Reg. 856/93”), in that he has failed to maintain the standard of practice of the profession. The Notice of Hearing also alleged that Dr. Wales is incompetent as defined by subsection 52(1) of the Health Professions Procedural Code, which is Schedule 2 to the Regulated Health Professions Act, 1991, (the “Code”), in that his care of patients displayed a lack of knowledge, skill or judgment of a nature or to an extent that demonstrates that he is unfit to continue to practise or that his practice should be restricted. RESPONSE TO THE ALLEGATIONS Dr. Wales denied the allegations of professional misconduct and incompetence in the Notice of Hearing. 3 Background The Issues The issues to be decided by the Committee in this matter area as follows: 1) Standard of practice – Has the College established that Dr. Wales failed to maintain the standard of practice of the profession in his clinical care of patients, specifically in the area of: i) the use of finger tonometry to measure the intraocular pressure in the eye, ii) the age of the patients on whom he tested the pressure, iii) his failure to dilate the pupil to better examine the fundus (posterior eye), and iv) his failure to use cycloplegic (paralyzing) drops to better examine children’s eyes. 2) Has the College established that in the care of patients Dr. Wales displayed a lack of knowledge, skill or judgment of a nature or to an extent that demonstrates that Dr. Wales is unfit to practise or that his practice should be restricted? The Evidence The Committee heard testimony from two ophthalmologists who were called by the College and who were accepted by the Discipline Committee as qualified expert witnesses. Dr. Wales did not call an expert witness, but did testify himself. The exhibits filed included: a joint book of documents containing 26 patient charts from a s.75 investigation and the record of a complainant reviewed by Dr. Y; charts of 7 patients observed by Dr. X in a s.75 investigation; a supplementary joint book of documents containing OHIP information and details about eye examinations from the OHIP Schedule of Benefits; an expert brief from Dr. X containing his reports on the 7 patients encounters he observed; an expert brief from Dr. Y containing his reports on Dr. Wales and after his more detailed review of 7 of the 26 patient charts from the s.75 investigation, 4 emails from Dr. Wales; curriculum vitae of the witnesses, photographs of ophthalmic instruments, guidelines, and journal articles. Outline of Decision i) Applicable legislation, legal principles ii) Witnesses’ relevant experience and career history iii) Evidence from each of the witnesses relating to the allegations iv) Review of the patients v) Findings and summary Applicable Legislation and Legal Principles i) Burden and Standard of Proof The College has the burden of proving an allegation of professional misconduct and/or incompetence against a member. The requisite standard of proof is on a balance of probabilities and the evidence must be clear, cogent and convincing. ii) Standard of Practice A failure to maintain the standard of practice of the profession is an act of professional misconduct under section 1(1)2 of O. Reg. 856/93, made under the Medicine Act, 1991, S.O. 1991, c.30. The standard of practice has been defined as the standard expected of the ordinary, competent practitioner in the member’s field of practice. It is not necessary to find that there has been harm in order to find there has been a failure to maintain the standard of practice. The Committee understands that the standard of practice may be established on the basis of the evidence of experts, publications from the College, the teachings of medical students and residents, the evidence of what Ontario practitioners actually do in their practice, and guidelines and articles published in particular areas of practice. 5 iii) Incompetence To make a finding of incompetence under s.52(1) of the Code, the Committee must be satisfied that the member’s professional care of a patient displayed a lack of knowledge, skill or judgment of a nature or to an extent that demonstrates that the member is unfit to practise or that his or her practice should be restricted. Incompetence differs from professional misconduct in that a finding of professional misconduct will be based on events that occurred in the past. Incompetence is assessed based on the member’s care of patients in the past, but the Committee must be satisfied that the member is currently incompetent in order to make a finding of incompetence. Overview of the Evidence The Committee examined and weighed the evidence of the witnesses in its determination of whether Dr. Wales committed an act of professional misconduct and is incompetent. Both expert witnesses were highly critical of the care provided by Dr. Wales. There were a number of recurring concerns that were raised by Dr. X and Dr. Y with respect to Dr. Wales’ care and treatment of 7 patients observed by Dr. X and the 26 charts examined by Dr. Y. Prior to engaging in an analysis of the individual cases, the Committee sets out, in general terms, Dr. X’s and Dr. Y’s testimony, and Dr. Wales’ evidence with respect to his GP refraction practice. Whether, or not, Dr. Wales failed to maintain the standard of practice of the profession was analyzed in the individual cases, based on the application of the standard of practice and the particular facts of each case. Whether, or not, the College established that Dr. Wales committed an act of professional misconduct or is incompetent is considered on the basis of all the evidence. 6 Witnesses Dr. X Dr. X is an ophthalmologist who graduated from University of Toronto in Medicine in 1965. After obtaining his specialist’s certification in 1971, Dr. X had hospital affiliations in various Toronto hospitals up until 2012. He was an assistant professor at the University of Toronto, where he lectured medical students and taught ophthalmology residents. He continues to be an honorary consultant in the Department of Ophthalmology at the Hospital for Sick Children. In the past, he has been a staff surgeon performing cataract surgery at an eye clinic and until recently he practised at another clinic where his practice was predominately cataract related with a sub-interest in glaucoma. For the last year, he has worked one day a week in Barrie, where he sees referrals, the majority of which are assessments for glaucoma. The Committee accepted Dr. X as an expert in how to conduct appropriate eye examinations and in the risks for glaucoma. Dr. Y Dr. Y graduated from the University of Toronto Medical School in 1979 and obtained his specialist certification in ophthalmology in 1984. He has a private practice in Kitchener and considers himself a general ophthalmologist who sees a wide range of problems, with the most common problems being glaucoma, macular degeneration, cataracts, and eye infections. His practice is referral based and he does not do surgery. Since 2009, Dr. Y has performed approximately 62 peer assessments for the College. Four of those assessments were of refracting general practitioners, the same category of practitioner as Dr. Wales, while the others were ophthalmologists. Dr. Y was accepted by the Committee as an expert in glaucoma and in conducting eye examinations. 7 Dr. Wales Dr. Wales is a 74 year old General Practitioner (GP) refractionist in solo practice in the Kingston area. Dr. Wales graduated from medical school at the University of London in 1961. After a year of internship, he became a lecturer in physiology and “moonlighted” in general practice in the evenings. He left the United Kingdom in 1965 to do research at Johns Hopkins as a post-doctoral fellow. He was also appointed as an assistant ophthalmologist to the outpatient department at Johns Hopkins. While in the United States (USA), he passed the Educational Commission for Foreign Medical Graduates (ECFMG) exams and did not have a clinical practice. He was in the USA from 1965 to 1969. In early 1970, he came to Canada and became a member of the College of Physicians and Surgeons of Ontario in 1972, when he began clinical work. From 1971 to 1975, Dr. Wales worked at Queen’s University in the Department of Physiology and Ophthalmology doing work relating to intraocular fluid dynamics. At the time of the investigation, Dr. Wales had three offices where he has limited his practice to performing eye examinations – one in Kingston behind the Hakim Optical Store, a second in Napanee attached to an optician, and a third in Picton adjacent to an optician. Issue #1 - The use of finger tonometry instead of applanation tonometry to measure intraocular pressure Dr. X’s Evidence Dr. X was appointed on October 19, 2011 as a Medical Inspector by the Inquiries, Complaints and Reports Committee of the College to investigate the care and treatment provided to patients by Dr. Wales, including the measurement of intraocular pressure. He observed Dr. Wales’ care of 7 patients in Kingston at his office in the Hakim Optical store in November 2011. During his testimony, Dr. X outlined the essential components of an eye examination, from his experience, and from the guidelines published in 2006 in the Canadian Ophthalmological Society (COS) Clinical Practice Guidelines for Adults in Canada, and these included, in brief: 8 i) History, especially history of ocular and systemic medical history and family history of eye disease, gender, race (some races have a predisposition to glaucoma), chief complaint, driving status, current medication, allergies. ii) Measure and record vision with and without glasses, near and far, with or without refraction, including the central vision at the back of the eye and the peripheral or side vision. iii) Physical examination of the eye, including a slit lamp examination, and a general inspection, muscle balance testing (to check for strabismus or crossed eyes), checking the pupils and whether or not their reactions are normal. iv) Tonometry- the measurement of the pressure of the fluid in the eye. v) Dilation of the Pupils- to look at the inside of the eye, especially the back of the eye at the optic nerve head, the optic disc and the fovea. Dr. X testified that refraction is the process of determining whether or not there is an optical error in the eye such that the person is not able to see clearly. Refraction is performed to see whether the patient is far-sighted or short-sighted, or whether they have astigmatism, which is a difference in the curvature of the eye. Dr. X testified that there were many ways to perform refraction, but the standard way is to have the patient sit in front of a phoropter, a machine to measure vision. Using a retinoscope, which is an instrument which shines a light into the eye, it can be determined if there is near or farsightedness, or astigmatism. Tonometry is the measurement of the pressure of fluid inside the eye, according to Dr. X. He testified that there is a significant relationship between the level of intraocular pressure and the development of glaucoma, thus, it is important to measure the intraocular pressure. 9 Dr. X testified that glaucoma is a group of conditions derived from two sub-groups, open and closed angle. Glaucoma is an optic neuropathy in which raised intraocular pressure is the most important risk factor and can threaten sight. The treatment of glaucoma varies according to whether it is open or closed angle. Open angle glaucoma is the most common type and it is asymptomatic until the late stages because people can manage with significant amounts of reduced peripheral vision. When the central vision is affected, it becomes symptomatic. Dr. X testified that if it is detected early, before there is significant visual field and optic nerve damage, it is controllable with drops, although not reversible. According to Dr. X, intraocular pressure measurement is absolutely essential for an assessment of whether the patient is at risk for glaucoma. The test is typically done after the eye is anesthetized. Other than perhaps a small tingle when the anesthetic drops are instilled in the eye, the patient feels nothing and the effect of the drops wears off after about 15 minutes, he said. The test is an easily performed test, if it is done properly, and provides an accurate numerical measure of the pressure. Thus, it provides a baseline for follow-up and a number that is easily communicated to another physician. Dr. X testified that finger tonometry gives only an impression of the pressure in the eye. He is not aware of any literature supporting finger tonometry as part of a general examination of the eye. Dr. X testified that in order to check for intraocular pressure, a device called an applanation tonometer is used, which is a small disc attached to a machine that impresses the cornea from the front of the eye and measures the pressure indirectly. There are various types, including some using anaesthetic and some without, and some with a puff of air, he explained. Dr. X testified that applanation tonometry is inexpensive, easy to use, and has been the “gold standard” for the last 50 years. Dr. X outlined some of the factors affecting accuracy and reliability of the procedure. Despite some of those variables, it is the technique nonetheless that is used in studies and is most reliable. Dr. X testified that the use of finger palpation to measure intraocular pressure has been discredited over the last 50 to 100 years and plays no role in regular eye examinations at 10 the relevant times in this case and today. He explained three rare instances where finger palpation of the eye would be used. Dr. X stated that some of his patients have glaucoma with low pressure readings. Other patients have higher pressure readings and no sign of the advancement of glaucoma over a 30 year period. Some glaucoma patients do not have high intraocular pressure at all. Therefore, he is not certain what an exact normal pressure reading would be. Dr. X testified that it was nevertheless important to follow these patients, as they may show signs of glaucoma later. The earlier they are detected the better, because glaucoma is controllable if detected early. He stated that it is important to have a baseline measurement to follow over the years. Dr. X testified that the determination of intraocular pressure is the key risk factor, the most important risk factor, in the detection, development, progression and the response to treatment of glaucoma. 97% of patients are not going to develop glaucoma. He said that the public demands more than an assessment. When the ability is there to actually measure the pressure, as it has been for 50 years, patients want to know the number, not an impression of what the number is. By way of illustration, Dr. X testified that he would not accept it if someone told him based on his appearance and his pulse, he probably had normal blood pressure. He would not want someone to “assess” his blood pressure, but would want his blood pressure measured. Dr. X in his testimony read from the COS Clinical Practice Guidelines for the Management of Glaucoma in the Adult Eye. In its recommendations, Dr. X explained that structural measures of examination would include intraocular tonometry and looking at the optic nerve and the anterior chamber angle of the eye to see if it is open or closed. Functional examinations would entail more comprehensive examinations, including visual field tests, which would not be done in a primary care situation, but would be done in an ophthalmologist’s office. 11 One of the statements in the same document read: “Screening for IOP—intraocular pressure alone should be avoided since it has low sensitivity, low specificity, and poor predictive value for the detection of glaucomas.” Dr. X testified that this statement did not mean that intraocular pressure should not be measured. Instead, it means that intraocular pressure by itself, without the risk factors and without observing the optic nerve carefully, would have a low yield. Dr. Y’s Evidence The documentary evidence filed showed that in November 2009, Dr. Y, an ophthalmologist, was asked to review the care of a single complainant as well as 26 patient charts from a s.75 investigation and provide separate reports. He reviewed the 26 charts; one had a photocopy error and no information, resulting in a review of 25 charts. He wrote his first report before he looked at the chart of the original complainant. Dr. Y agreed in testimony that he concluded in his initial report that Dr. Wales met the standard of practice and did not display a lack of knowledge, skill or judgment. However, Dr. Wales recorded intraocular pressure as “nTn”, and Dr. Y recommended that the intraocular pressure should be recorded as a numeric value for each eye, rather than simply a “normal” notation for each eye. When asked about his concerns about the care of the complainant patient, Dr. Y testified in chief that there were two issues. The first issue was Dr. Wales’ failure to diagnose the patient’s cataract. Dr. Y testified that the patient’s complaint was not valid in this respect. It was not a failure to maintain the standard of practice to fail to make this diagnosis in the circumstances of this patient. He testified in relation to this aspect of the complaint that Dr. Wales did meet the standard. The second issue was Dr. Wales’ notation of “nTn” in the patient’s chart. Subsequently on reviewing the complainant’s chart and related material, Dr. Y testified that he discovered that Dr. Wales “nTn” notation referred to finger palpation of the eye, and did not mean that intraocular pressure was measured by an applanation instrument that provides a numerical value. Dr. Y testified that the idea of doing finger palpation never 12 occurred to him, as it just seemed too absurd. He did not think of that possibility. In this patient, he testified that the failure to use applanation tonometry to measure intraocular pressure constituted a failure to maintain the standard of practice. Dr. Y also testified that if Dr. Wales said it was not necessary to perform a measurement of pressure because intraocular pressure is not determinative of glaucoma since some people with glaucoma never have high intraocular pressure and some people with high intraocular pressure do not get glaucoma, he would disagree with the statement. Dr. Y testified that measurement of intraocular pressure may increase suspicion for glaucoma. He said that intraocular pressure measurement is often not diagnostic of glaucoma, but it is an important risk factor, and depending on the pressure, it may influence recommendations for follow-up and care. Dr. Y did not agree that measurement of intraocular pressure was invasive. Dr. Y testified that the use of the finger to measure the pressure in the eye is inaccurate and inconsistent. A tonometer gives a value rather accurately and consistently and with repeatability, he said. It is generally always measured by those who do oculo-visual assessments as part of their practice. In his report of October 10, 2010, Dr. Y said that in his encounters for consultations or referrals with other ophthalmologists, optometrists and refracting general physicians, intraocular pressure is measured numerically. In his peer assessments of general physicians specializing in eye care, he has not encountered a physician who does not record a numerical value for intraocular pressure. In the same report, he also commented that the present lesser role of intraocular pressure measurement in the diagnosis of glaucoma may cause some confusion, but it does not imply that a lesser level of accuracy is recommended for its measurement. In his testimony, Dr. Y outlined the components of a primary care eye examination such as those expected of Dr. Wales. They were similar to those outlined by Dr. X. However, Dr. Y also confirmed that the OHIP Schedule of Benefits defined the elements as well and they are similar to those noted above, history, physical examination of the eye, slit 13 lamp examination of the anterior segment of the eye, using an ophthalmoscope, tonometry and refraction, including the provision of a prescription, if required. Dr. Y also indicated that generally, intraocular pressure should be measured at every patient visit. He qualified this to say that intraocular pressure should be measured at every periodic eye examination and that if the patient is seen more frequently than once a year, intraocular pressure measurement may not be necessary at all visits, depending on the clinical situation. Dr. Y indicated that digital tonometry was used very occasionally in settings not in the realm of primary care, when tonometry would not be possible, or would be greatly inaccurate. Dr. Y stated that as a minimum for glaucoma risk evaluation in primary care examinations, he would expect documented measurement (not palpation) of the intraocular pressure and documented evaluation of the optic discs. Dr. Y testified that he changed his conclusions regarding Dr. Wales and found that he did not meet the standard of practice of the profession and that he displayed a lack of knowledge, skill and judgment. Dr. Y said that Dr. Wales used an inappropriate method of tonometry, which may reflect a lack of skill. It does reflect a lack of knowledge in the role of measuring intraocular pressure. Judgment is deficient by his use of an inappropriate method. Glaucoma may damage the vision and therefore there is a risk of harm in the potential delay in diagnosis. Patients leave the appointment with a false reassurance that their eye examination is thorough and complete with no concerns noted. Dr. Y added a more thorough examination of other aspects of Dr. Wales care as noted below in subsequent sections of this decision, but he said in testimony that Dr. Wales’ failure to do applanation tonometry was in itself a major deficiency. Dr. Wales’ Evidence Dr. Wales testified that he was taught digital (finger) tonometry 54 years ago in 1960 when he was a medical student. It is a surgical procedure, he said. Dr. Wales testified that 14 he tests the intraocular pressure at the end of the eye examination. Fifty years of experience measuring intraocular pressure helps him to interpret the pressure and if he has any doubts, he measures the pressure using a machine. That intermittent validation gives him feedback and he is inevitably accurate in his assessment, he said. Dr. Wales also pointed out that 95% of patients have normal intraocular pressure and he has a lot of experience feeling what normal is. He uses the applanation tonometer in instances where his clinical evaluation suggests that the pressure may be raised or when there are other risk factors present. Dr. Wales read a portion of the COS Guidelines for Glaucoma: “Digital (finger) tonometry may be useful to estimate whether IOP [intraocular pressure] is very high, normal, or very low in certain situations, (such as eyes with flat anterior chambers, [lens - cornea touch], eyes with keratoprosthesis).” Ex.9, p 14 Dr. Wales went on to explain that the statement is a physical fact, that is, digital tonometry can estimate whether the pressure is very high, normal or very low. The circumstances under which it is used applies to tertiary care. He went on to say that it can be applied equally well as a statement of physical fact to primary care, that is, his area of practice. In cross examination, he stated that it is a “time-honoured surgical skill.” Dr. Wales testified that because it is a technical examination, it is outside the scope of practice for optometrists to use a surgical skill of finger palpation to measure the intraocular pressure. Dr. Wales testified that he was “ahead of his time” in his intellectual understanding of glaucoma and its prevention. Dr. Wales testified that he thought the numerical value obtained by applanation tonometry was of limited value. Dr. Wales agreed that he told the College investigators on one occasion that intraocular pressure is not relevant in definition, risk or diagnosis of glaucoma. He said in his testimony that intraocular pressure does speak to risk but it does not speak to diagnosis. 15 Dr. Wales read from another portion of the COS Guidelines stating, in brief, that until recently glaucoma was diagnosed by elevated intraocular pressure, optic nerve cupping and visual field damage. Up to 50% of patients have normal intraocular pressure and some patients with high intraocular pressure never develop glaucoma. Dr. Wales testified that the significance of the statement is that if you rely entirely on the numerical pressure to diagnose glaucoma, you will cover up more cases of glaucoma than you will uncover. The emphasis now is on optic nerve cupping, he said. In cross examination, Dr. Wales testified that the COS Guidelines recommend against doing routine applanation tonometry for screening. It was his understanding that it should not be used. He outlined that when he would use applanation tonometry and that includes in patients with a family history of glaucoma, who are on glaucoma therapy, are over the age of 40, of a particular race, or if he suspects that the pressure is within the ranges of upper normal or above. He only does applanation tonometry on a very small sample of his patients. Dr. Wales explained that he does finger palpation to measure pressure as it has zero risk of harm. He said that applanation tonometry is an invasive mechanical technique. Of 5000 patients in a practice, only 125 of them will have elevated pressure. Dr. Wales’ views on applanation tonometry were summed up in closing argument by his counsel: “Simply put, numerical measurement, when compared to finger tonometry doesn’t get us to a higher number of people being diagnosed with ocular hypertension. Finger tonometry when compared to numerical measurement doesn’t get us a higher number of people being diagnosed with glaucoma. And finally, finger tonometry, when compared to numerical measurements doesn’t get us to a higher number of people getting the necessary referral, and that is the crux of his position.” 16 Issue #2 - The age at which intraocular pressure should be measured Dr. X’s Evidence Dr. X testified that in the past it was considered that intraocular pressure should be measured after the age of 40. When they started seeing patients with glaucoma who were in their 20’s and 30’s, the recommended age for measurement was lowered. Today, the rule is that intraocular pressure should be measured on anyone on whom you can do it. It is not done for children who cannot sit still, but it can be performed on older children who can sit still. In cross examination, Dr. X testified he had no disagreement with the COS Guidelines 2007 stating that “the prevalence of disease in the population under age 40 is low, suggesting there is limited benefit of a periodic eye examination in the asymptomatic low-risk patient in this age group. Accordingly, there is little evidence to support periodic eye examinations in the asymptomatic low risk patient from the time they leave secondary school to middle age”. This quote was from COS guidelines regarding periodic eye examinations. Nevertheless, and despite this comment, Dr. X later testified that the most important risk factor in glaucoma is raised intraocular pressure. It is the only variable that is treatable. He said that it has been shown to reduce the area of the visual field loss. Pressure needs to be measured because it can be followed over time. In his report of January 8, 2010, Dr. Y stated that intraocular pressure should be measured in everyone over 40. He said that his view at that time was skewed by a previous case he was involved with. He altered his view later in his report of January 25, 2014, when he realized he had been too lenient in the aforementioned case. Dr. Y testified that his former statement did not reflect his views accurately, nor the standard of practice he has observed in others, nor the standard he would expect in primary care. Dr. Y is of the view that intraocular pressure should be measured starting with cooperative children from about the age of 10 onwards. He opined that refracting general practitioners would tend to measure pressure more consistently in older patients rather than younger ones because glaucoma is not common in younger ages. However, Dr. Y testified that this 17 would be inappropriate. He acknowledged that in the cases he reviewed, Dr. Wales did do finger tonometry in some patients who were less than 40. COS Guidelines for routine eye examination reference measurement of intraocular pressure and do not limit the procedure to those over 40, but state, the test has low sensitivity and low specificity, the prevalence of the disease in people under 40 is low, and high quality studies of screening for low vision mostly include populations over 40 years of age. Dr. Wales’ Evidence Dr. Wales testified that his practice is to assess intraocular pressure in patients over 40 using digital tonometry. He testified that there were general published risk factors for intraocular pressure in patients under 30 and that high pressure is accompanied by other clinical signs like painful eye and reduced vision, in which cases he testified he would refer the patient for testing. Issue #3 - Dilation of the pupil in order to better examine the posterior eye Dr. X’s Evidence Dr. X testified that in order to have a better look at the back of the eye it is necessary to dilate the pupils. If there are any cataracts forming, an opacity of the lens of the eye, it will be missed through an undilated pupil. Dr. X likened the dilation as being akin to the difference in looking at a room through a key hole and looking at it when the door is open. Dilating the pupils is opening the door, he explained. Dr. X did not subscribe to the COS guidelines, which recommended a dilated examination only if an adequate view of the posterior pole is not obtained. The standard can also be determined by what doctors actually do. He testified that the standard of practice of the profession is to dilate the pupil. He added, “No one would look at the posterior pole of the eye without dilating the pupil.” He went on to say that you can “get by” by not dilating the pupil if you just want to do an “adequate exam.” 18 Dr. Y’s Evidence In his report of January 25, 2014, Dr. Y reviewed in more detail 7 of the 26 s.75 patient charts. He indicated that on further reflection and a more detailed review of patient charts, he had changed his opinions on some matters. He noted that there was no indication of pupil dilatation on any of the charts he reviewed. Initially, he overlooked the issue of pupil dilatation. When the issue was raised in December 2013, he did not turn his mind to it as he thought it was a separate issue and the breach of the standard of practice with regard to applanation tonometry was sufficient to not meet professional standards. Dr. X and Y both were of the view that dilation of the pupil should be done in order to have a good view of the posterior eye. In his report of January 25, 2014, Dr. Y reviewed in more detail 7 of the 26 s.75 patient charts. He indicated that on further reflection and a more detailed review of patient charts, he realized he had overlooked some matters, including the need for dilatation of the pupils. In some patients with hypertension or diabetes, he said that a more thorough retina examination needs to be done and the repeated failure to dilate the pupil on every patient was below the standard of practice. Dr. Wales’ Evidence Dr. Wales testified that the examination he routinely did of the back of the eye, using an ophthalmoscope, without dilating the pupil of the eye, was as effective in his hands as the standard practice of routinely dilating the pupil, in detecting eye pathology. Dr. Wales testified that he dilated pupils in his practice when he needed to get a better look at the posterior part of the eye, for example when the patient had cataracts, a retinal detachment, a bleed in the eye or blocked artery. Although very often he could see what was wrong with an undilated pupil, he would be cautious to confirm by dilating the pupil. Issue #4 - Cycloplegia (paralysis) of the focusing muscle in children Dr. X’s Evidence Cycloplegic drops facilitate the examination of the retina in older patients. However, in children, the use of cycloplegic drops serve a slightly different purpose, Dr. X testified. Cycloplegia is essential to obtain proper refraction in children, particularly when strabismus is a problem. In younger patients and children, the lens of the eye focuses to a 19 large degree and may lead to errors in the measurement of vision for glasses. Paralyzing the muscle of the lens temporarily results in a more consistent result for refraction, Dr. X testified. It may also disclose some refractive errors that were not previously seen. Dr. X testified that it is necessary to do a full and accurate assessment of the refractive error. The child does not get a prescription for the refraction obtained under cycloplegia, unless the child has severe far-sightedness and strabismus. The drops need to wear off or the child needs to return for manifest refraction. Otherwise, the child may receive an over-corrected prescription and not be able to see properly. To do a refraction in a child without cycloplegia would be unheard of, according to Dr. X. Dr. Y’s Evidence In his report of January 25, 2014, Dr. Y comments that he overlooked the issue of cycloplegia in the examination of children. Cycloplegia assists in obtaining a more consistent result for refraction and may disclose some refractive errors that were not previously seen. Dr. Wales’ Evidence Dr. Wales testified that cyclopegic drops were not a routine in his practice with children. He said that the children he works with can give him a sufficient feedback that he can do a manifest refraction on them and get a good result. In a situation where a very young child was cross-eyed, that sort of thing, he referred the patient to a paediatric ophthalmologist. Findings The findings of the Committee on each of the four issues are outlined below. Although the patients were assessed as part of the analysis of each issue, the summary of the patients’ charts follows the findings for ease of reading. 20 Issue #1 - Did Dr. Wales fail to maintain the standard of practice with regard to measuring the intraocular pressure by using finger tonometry instead of applanation tonometry? The Committee accepted the opinion of the expert witnesses that the standard of practice for a comprehensive eye examination by a GP refractionist includes measurement of intraocular pressure using an applanation tonometer, where the pressure is measured numerically. The Committee finds that Dr. Wales’ failure to perform applanation tonometry, in all of the adult patients who qualified for it, constituted a failure to maintain the standard of practice of the profession. Also, Dr. Wales shows a deficiency in knowledge, skill or judgment regarding applanation tonometry. Although counsel for Dr. Wales submitted Dr. X was not well placed to comment on a general practitioner doing primary eye care, the Committee disagreed. He had many years of experience in many settings and had dealt with referrals for years from a primary care eye specialist. He taught residents as part of his connection with a medical school. The Committee accepted his opinion as an expert on all aspects of Dr. Wales’ care of his patients in relation to how to conduct appropriate eye examinations and the risk of glaucoma. Although he did make errors in his comments on the 7 patient examinations he observed, they did not detract from his evidence in this hearing. Dr. X was cognizant of the differences in the scope of practice of an ophthalmologist in comparison to a general practitioner doing primary care and clear about what should be expected as the standard of practice for a GP refractionist. Counsel for Dr. Wales argued that Dr. Y was not thorough in his initial reviews of Dr. Wales’ patient charts. Dr. Y explained why he thought Dr. Wales met the standard of care in his first assessment of his care of 25 patients. It was because he did not realize that Dr. Wales was using finger tonometry to assess for intraocular pressure. He also did not turn his mind to issues of cycloplegia and dilatation of the pupils. Subsequently, he changed his opinion about the age that tonometry should be done. The Committee was satisfied with his explanation. Dr. Y later looked at the issues of cycloplegia and pupil dilatation 21 that he had neglected to address in earlier reports, and he opined that Dr. Wales was not dilating the pupil or using cycloplegia in children and this did not meet the standard of practice of the profession and revealed a lack of knowledge, skill and judgment. The Committee accepted that Dr. Y needed to change his opinions as other issues came up for evaluation. The Committee accepted the evidence of both experts that physicians doing primary eye care should use applanation tonometry as part of the examination and that it has been the standard for about 50 years. The fact that Dr. Y was surprised to learn that Dr. Wales used finger tonometry underscored the fact that the technique has been discredited for use for about 50 years, except for three rare exceptions. The COS Guidelines supported intraocular pressure determination, meaning applanation tonometry, according to the experts. The Committee acknowledges the arguments regarding the OHIP Schedule of Benefits listing tonometry as part of an oculo-visual assessment and finds that this material, while consistent with the COS guidelines, is not determinative of the standard of practice. The OHIP Schedule of Benefits sets out the billing requirements for an intraocular eye examination and applies a certain fee code for GPs who do refractions or a periodic ocular visual assessment. Counsel for the College in her closing statement argued it did not define the standard of care and the standard of care did not define it, but it mirrors the standard of care and was consistent with the evidence of both experts. The word “tonometry” is in the OHIP Schedule and does not mean finger tonometry. She stated that Dr. Wales regularly bills for oculo-visual examinations using a fee code which included tonometry. She argued that this was further evidence that Dr. Wales was not performing an essential element of the eye examination. Counsel for Dr. Wales argued that OHIP does not issue clinical guidelines, it is a payment agency and there has been considerable debate in recent years between the billing requirements in particular codes versus clinical necessity. Counsel for Dr. Wales cautioned that a finding as to whether Dr. Wales meets 22 the standard of care or is incompetent based on billing codes would have a very poor foundation. The Committee does not accept that the OHIP Schedule of Benefits is evidence of the standards for tonometry measurement. The Committee agrees that OHIP is a payment agency only, does not issue clinical guidelines, does not establish the standard of care and therefore is not relevant in determining whether Dr. Wales failed to maintain the standard of practice of the profession. Both experts acknowledged that although elevated intraocular pressure was no longer associated with the diagnosis of glaucoma, it was associated with risk and it was the one risk factor that was measurable for a baseline and follow-up. It was the one variable that was modifiable with treatment. Finger tonometry simply gave an impression and did not allow for an accurate numerical measurement for these purposes. Dr. Wales’ justification for using the finger tonometry technique was not persuasive. He stated that if applanation tonometry was used entirely for diagnosis of glaucoma, it would cover up more cases of glaucoma than it would uncover. Dr. Wales’ apparent failure to understand what the experts said in their testimony did not enhance his arguments. His interpretation would mean that you do not just rely on intraocular pressure alone, but you do not rely on it at all. Consequently, rather than assess it along with other factors, he just did not measure it. Neither expert gave an opinion that applanation tonometry alone be used to diagnose glaucoma. Both testified that applanation tonometry should be used to get an initial measurement that can be followed over time. When Dr. Wales was asked in examination in chief about the risk factors for glaucoma, he omitted the major factor of intraocular pressure, and mentioned age and race. This was consistent with his comment in a letter to the College investigator that intraocular pressure measurement is no longer relevant in the definition, risk or diagnosis of glaucoma. However, he attempted to take back that comment in his testimony during 23 cross examination, when he said that intraocular pressure measurement does speak to risk although it does not speak to diagnosis. Dr. Wales testified that the finger palpation that he used was a “time honoured surgical skill” and that he was “ahead of his time”. Dr. Wales testified that digital tonometry is a surgical procedure that he had learned in medical school in 1959 and practised for more than 50 years. He testified it was sufficiently accurate in his hands to screen for abnormal intraocular pressure. He said that this technique allowed him to determine with his fingers if the intraocular pressure was extremely low, low, normal, above normal or high. If he detected a problem using digital tonometry, he followed up with applanation tonometry. Dr. Wales acknowledged that while applanation tonometry is commonly used by practitioners, digital tonometry was outside the scope of practice of optometrists, that it is a surgical technique and that optometrists have not done a rotation in surgery. He testified he had used it in his practice with more than 75,000 patients. He stated that using applanation tonometry was what patients would regard as invasive. Of 5,000 patients tested in his practice, only 125 would have elevated pressure. The Committee fully recognizes that the onus is on the College to establish the allegations in the Notice of Hearing, but notes that Dr. Wales had an opportunity to present independent expert evidence to support his practice of digital tonometry and he did not. His claims of being ahead of his time were grandiose in light of the evidence to the contrary. The Committee is persuaded on the expert evidence that finger tonometry is not the standard of practice for GP refractionists. The Committee is not persuaded by the testimony of Dr. Wales that his digital tonometry technique resulted in a similar pick-up of intraocular hypertension as applanation tonometry. The Committee accepts the evidence of the expert witnesses that Dr. Wales failed to maintain the standard of the profession when he used digital or finger to measure intraocular pressure. 24 Dr. Wales testified that there was zero risk in his approach. He testified that he would not miss a case of glaucoma. The Committee finds that his view reveals an extraordinary lack of insight. Dr. Wales missed the point of why the applanation technique was useful. With respect to skill, Dr. X testified that he had observed Dr. Wales perform applanation tonometry on one patient, and Dr. Wales had deficits that were dangerous. Dr. Wales repeatedly performed the procedure risking corneal abrasion with each try, and that it took much longer than was needed. Dr. X was also concerned about the sterility of the procedure. Dr. Wales testified that he learned to use the Goldmann Tonometer more than 50 years ago and is familiar with it, but was extremely nervous during the observation. Dr. Wales said he used multiple applications in each eye routinely to get a more accurate and stable measurement. The review of patient charts indicated that Dr. Wales did applanation tonometry on this one patient only. The Committee finds it highly unlikely that Dr. Wales used applanation tonometry with any regularity. He demonstrated that his skills are lacking in performing the measurement. The Committee is persuaded by the evidence that Dr. Wales lacked the skill to perform applanation tonometry on the basis of his preference for digital tonometry, his performance in the one patient observed and his failure to use it in the charts reviewed. In testimony, Dr. Wales stated that until recently, glaucoma was diagnosed by elevated intraocular pressure, optic nerve testing and visual field testing. According to this statement, at a time when intraocular pressure was thought to be diagnostic of glaucoma, Dr. Wales was using finger tonometry. Applanation tonometry has never been routine for him. This fact does not lend credence to his argument that it is not useful. He was not performing applanation tonometry in the days when raised intraocular pressure was thought to be even more important for diagnosis. This fact raises the question of his skewed thinking and the implications for his judgment, and ultimately his clinical care. Dr. Wales presented as adamant in his opinions and resistant to any view that was different than his own. When that was considered along with his lifelong practice of finger tonometry and his statements that he was “ahead of his time”, the Committee has concerns about his rigidity of thought. 25 The Committee accepts the evidence of the expert witnesses that Dr. Wales’ failure to perform applanation tonometry presented a risk of harm to his patients. High intraocular pressure could be missed. Patients were falsely reassured that all the elements of the eye examination had been performed. Routinely measuring normal or elevated intraocular pressure, an important risk factor for glaucoma, was a necessary component of a comprehensive eye examination. The Committee finds that Dr. Wales failed to maintain the standard of practice in using finger tonometry and failing to use applanation tonometry in the measurement of intraocular pressure. He showed a lack of knowledge skill and judgment that persists currently. Issue #2 - Did Dr. Wales failure to measure intraocular pressure in certain age groups fail to maintain the standard of practice? The Committee accepted the evidence of the experts that measuring intraocular pressure in all patients on whom it is possible is the standard of practice of the profession. Although it is not necessary to do in young children, the measurement can be completed as soon as the child is able to sit still. Dr. X testified that glaucoma is now evident in 20 and 30 year olds and thus the reason for doing it early is more compelling. Dr. Y testified that testing intraocular pressure in those under 40 is his practice. Both experts have experience that this is the standard from many referring physicians, other specialists, as well as some GP refractionists. The Committee accepts that the experts’ practice and their experience with ordinary, competent practitioners are reflective of the standard of practice. Dr. Wales did use his outmoded technique to measure intraocular pressure in some patients under 40, but it was clearly not his routine to do so. Thus, the Committee finds that he is not consistent in his approach and failed to maintain the standard of practice in this regard. He demonstrates a lack of knowledge, skill and judgment. 26 Issue #3 - Did Dr. Wales fail to maintain the standard of practice in not dilating the pupil to look at the fundus or back of the eye? The Committee accepted the evidence of the two experts on this issue. The pupil needs to be dilated to view adequately the back of the eye. Pupil dilation is performed for a more detailed and thorough examination of the retina. Although Dr. Wales testified that he could get a good view with his ophthalmoscope, the evidence of Dr. X was more compelling. Why look through a key hole when you can open the door? In the patients reviewed by both experts, Dr. Wales never dilated the pupils, even when there were good reasons for doing so, such as when the patient had diabetes or hypertension. This deficiency suggests that his examinations were cursory. The Committee accepted the evidence that the COS guidelines were simply that, guidelines, and what practitioners actually did was the standard. Both experts testified that having a good look through a dilated pupil was the standard of practice of the profession. It is important to rule out abnormalities. The Committee finds that Dr. Wales failed to maintain the standard of practice in not dilating the pupil to look at the fundus of the eye in any of the charts reviewed and patients observed. In not doing so, he demonstrates a lack of knowledge, skill and judgment when he performs an examination of the posterior of the eye. Issue #4 - Did Dr. Wales fail to maintain the standard of practice when he failed to use cycloplegia in children? The reasons provided in evidence for using cycloplegia in children were persuasive. Both experts spoke to the need for cycloplegia in order to obtain a proper refraction and so the child will not be overcorrected. Cycloplegic drops paralyze the ciliary muscles of the eye to prevent accommodation (focusing) by the eye so that refraction can be accurately measured. The drops also paralyze another muscle of the eye resulting in dilation of the pupil to enable a more thorough visualization of the retina. The Committee believes Dr. 27 Wales’ testimony that he listens to the feedback of children during refraction in order to assess whether the vision is corrected because they may not be able to discern an overcorrection or express their feedback. However, the Committee is not persuaded that the children’s feedback was sufficient. The Committee is persuaded on the evidence that Dr. Wales failed to maintain the standard of the profession (the standard of practice for the ordinary, competent practitioner in Dr. Wale’s field of practice) in that he failed to routinely administer cyclopegic drops to children as an essential procedure to obtain proper refraction in children especially where strabismus is a problem. Dr. Wales failed to maintain the standard of practice in not using cycloplegia in children and he demonstrates a lack of knowledge, skill and judgment, when he did not use cycloplegic drops in the children. Dr. X’s Evidence regarding his Observation of Seven Patients The Committee made findings on the treatment and care by Dr. Wales on four specific issues: the use of finger tonometry, the age of the patients who should be examined with tonometry, the failure to use cycloplegia in children and the failure to dilate the pupils to look at the posterior eye. In some cases, Dr. X who had observed Dr. Wales examine 7 patients, was critical of other aspects of Dr. Wales’ care, for example, the way he did refraction or his failure to use a slit lamp. That evidence did not reach the level of sufficiency to support findings that he failed to maintain the standard of practice of the profession with regard to other aspects of Dr. Wales’ care. The Committee was not asked to make those findings. Thus, the Committee focused on the four issues in question in relation to the following patients: Patient A (age 20) Dr. X testified that Dr. Wales’ care did not meet the standard of practice of the profession and that his care displayed a lack of knowledge, skill and judgment because he did manifest refraction, not cyclopegic refraction, and did not do tonometry. Applanation 28 tonometry should have been done as well. Dr. Wales did not use cyclopegic drops in this young patient to dilate the pupils to ensure he was not overcorrecting. Dr. Wales testified about how he refracted this patient and the Committee was not convinced that his technique obviated the need for cycloplegic drops in order to do a comprehensive examination. As indicated earlier in these reasons, the Committee found that the standard of practice for eye examinations by GP refractionists requires dilation of the pupils to see the fundus properly and rule out pathology. The Committee finds that Dr. Wales failed to maintain the standard of care when he failed to dilate the pupils in this patient, or use cycloplegic drops and do applanation tonometry. Patient B (age 42) Dr. X testified that Dr. Wales’ care did not meet the standard of practice of the profession and that his care displayed a lack of knowledge, skill or judgment and had a number of shortcomings. Dr. Wales spoke to some of the concerns of Dr. X particularly regarding the refraction. Failing to do applanation tonometry or dilate the pupils convinced the Committee that Dr. Wales failed to maintain the standard of practice and that his care displayed a lack of knowledge, skill and judgment. Patient C (age 38) Dr. X testified that Dr. Wales’ care did not meet the standard of practice of the profession and displayed a lack of knowledge, skill and judgment in that he did not use applanation tonometry to measure intraocular pressure and that he did not use dilating drops. The Committee finds that Dr. Wales failed to maintain the standard of practice of the profession in that he was deficient in these examinations. Patient D (age 9) Dr. X testified that Dr. Wales’ care did not maintain the standard of practice for the profession and displayed a lack of knowledge, skill or judgment because he should have used cyclopegic drops for this 9 year old patient. He would not have faulted Dr. Wales 29 for not measuring intraocular pressure because of her age; she might have been too young to be able to cooperate. Dr. X had other concerns about Dr. Wales’ examination of this child and Dr. Wales testified about his examination. Those concerns of the expert were not persuasive, as the evidence was not clear, cogent and convincing. As indicated earlier in these reasons, the Committee found that the standard of care for a GP refractionist performing an eye examination in children requires the use of cycloplegic drops. The Committee is persuaded by the expert evidence and finds that Dr. Wales failed to maintain the standard of the profession in that he failed to administer cyclopegic drops to this 9 year old patient. His deficits reveal a lack of knowledge, skill and judgment. Patient E (age 10) Dr. X testified that Dr. Wales’ care did not maintain the standard of practice of the profession and he displayed a lack of knowledge, skill or judgment in that he should have used cyclopegic drops in this 10 year old patient. He would not have faulted Dr. Wales for not measuring the patient’s intraocular pressure because of her age. The Committee found that the standard of care for a GP refractionist eye examination in children requires the use of cycloplegic drops. The Committee finds that Dr. Wales failed to maintain the standard of practice of the profession in that he failed to administer cycloplegic drops to this patient. Patient F (age 29) Dr. X testified that Dr. Wales’ care did not maintain the standard of practice of the profession and displayed a lack of knowledge, skill and judgment in that he did not use dilating drops or do applanation tonometry to test for intraocular pressure. Dr. Wales testified that he performed a fundus examination which was normal and did not check her intraocular pressure because there seemed to be no risk factors involved. 30 For the reasons given earlier in relation to the standard of care regarding the use of dilating drops and tonometry, the Committee accepts the expert evidence and finds that Dr. Wales failed to maintain the standard of practice of the profession in that he did not dilate the pupils in this patient. His care demonstrates a lack of knowledge, skill and judgment. Patient G (age 52) Dr. X had several concerns about Dr. Wales’ examination of this patient including the lack of a retinoscopic examination to check for astigmatism, the lack of a slit lamp examination, and the technique of applanation tonometry that he performed. This was the only observation of Dr. Wales’ technique of doing applanation tonometry. While the Committee makes no finding on the first two concerns, it does make a finding with regard to the technique of the applanation tonometry. Dr. X testified that he watched from across the room while Dr. Wales did applanation tonometry on this patient. Dr. X said that normally, a bottle of anesthetic drops is close by and as the patient looks up, a drop is instilled in each eye and the patient is given a Kleenex. Then a drop of anesthetic is put on a sterile strip of dye to wet it. That strip is then touched to each eye. The head of the tonometer is wiped with an alcohol wipe to sterilize it and dried. The tonometer head is touched to each eye once and the measurement taken. Dr. X testified that this process takes about a minute in total for the measurement of both eyes. In the examination Dr. X observed, Dr. Wales left the room. After one to two minutes, he returned with a bottle that looked like topical anesthetic and he put a drop in each eye and dabbed the patient’s eye himself and gave the tissue to the patient. Dr. Wales then left the room again to retrieve a container of what he presumed to be fluorescein dye. He poured some dye onto a piece of gauze and touched the conjuctiva of each eye. Dr. X testified that the dye should be in a sterile container or put on a strip that is sterile, as something dry should never be put on the conjunctival surface. Dr. Wales then attempted to measure the pressure in each eye ten times. He came to the eye and poked the eye, which is the 31 appropriate way, but then he returned and repeated it again ten times with each eye. Dr. X was concerned with Dr. Wales’ technique, because it increases by a factor of ten the likelihood of getting a corneal abrasion. Dr. X also testified that with ten attempts to measure, he had concerns about the accuracy of the reading. Dr. X testified that from observing the technique of Dr. Wales, he concluded that this was not a procedure that he did very often. Dr. X was of the view that Dr. Wales’ applanation tonometry technique was highly suspect in terms of accuracy and sterility and suggestive of the fact that he did it rarely. He would not trust the numbers Dr. Wales obtained. Dr. X viewed Dr. Wales’ skill as lacking. Dr. X considered Dr. Wales failed to meet the standard of practice by not dilating the pupils to examine the fundus of the eye more thoroughly, especially since this patient was obese and may have had pathology at the back of the eye related to health problems related to obesity. Dr. X had concerns about Dr. Wales’ judgment, because in the letters Dr. Wales sent him he said he was very interested in glaucoma. Despite his professed interest, Dr. Wales nonetheless does not use applanation tonometry routinely. Dr. X testified that Dr. Wales should have learned to use this properly and use it on every patient that he could. Dr. Wales testified that there were physical difficulties with this obese patient and with the adjustability of the slit lamp in the office. He testified it was virtually impossible to do a slit lamp examination. Dr. Wales thought this patient’s intraocular pressure may be raised. To be cautious, Dr. Wales measured his intraocular pressure using the applanation tonometer and found the results that he interpreted to be within normal limits. Dr. Wales explained his technique in detail and made multiple measurements because in his view a number of factors may introduce error into the measurement. When he got three readings, each giving him the same number, he stopped. He stated that Dr. X’s recollection of ten attempts was probably an exaggeration and that the procedure was performed under pressure, as he was being observed. 32 The Committee is persuaded on the evidence of the expert that Dr. Wales failed to maintain the standard of practice of the profession in his poor technique using applanation tonometry and failure to dilate the pupils in order to observe the posterior eye. He showed a lack of knowledge, skill and judgment. The Committee considers it likely that Dr. X was able to see enough of Dr. Wales’ technique, even from across the room, to provide a reliable opinion, which the Committee accepts. He would have been able to see him touch the eye each time and he was very descriptive of what he was witnessing, no doubt because the technique was so unusual. Whether or not it was a sterile procedure is less certain but the Committee makes no finding in this regard. As with other criticisms of Dr. Wales’ care of this patient, the Committee makes no finding. In summary, Dr. Wales failed to maintain the standard of care by not performing applanation tonometry in Patients A, B, C and F. His performance of applanation tonometry in Patient G failed to maintain the standard of the profession. He did not meet the standard of practice by not dilating the pupils for an optimum look at the posterior eye in Patients A, B, C, F, and G. Cycloplegic drops should have been used in Patients A, D, and E, and Dr. Wales failed to maintain the standard of practice of the profession by not using cycloplegic drops in those cases. Dr. Y’s Evidence regarding 25 Patient Charts Dr. Y reviewed 26 charts, plus one complainant chart. One chart was incomplete and excluded, thus, he had 25 charts. Dr. Y did not observe Dr. Wales in his practice but was assessing the care based on clinical notes that were fairly neat and legible. Dr. Y’s report and testimony changed and was augmented by subsequent reviews of the charts. The Committee reviewed these changes. In essence, with regard to Dr. Y’s reports: i) He changed his view from his initial report where he found the care of Dr. Wales met the standard, when he realized later that the record of normal tonometry “readings” was actually finger tonometry, a technique that he testified was so absurd, he had not even considered it. 33 ii) In an earlier report he testified that he had been “lenient” and stated that applanation tonometry needed to be done for all patients over 40. Subsequently, he changed that view to what he actually did, and what others did, including the GP refractionists he has assessed. The Committee accepted his change in opinion as reasonable and reliable. iii) When he was later asked to turn his mind to the issue of dilation and cycloplegia of the pupils, he realized he had overlooked these issues. He stated that at the time he was of the view that not doing applanation tonometry was the deficiency. Dr. Y acknowledged that he ought to have been more critical and rigorous in evaluating Dr. Wales from the beginning. This ultimately did not detract from the acceptance by the Committee of his opinions. Dr. Y’s opinions did not change, except for the age of tonometry issue; he simply was not thorough and rigorous enough in evaluating Dr. Wales practice in the first place. With the changes in Dr. Y’s opinions and augmented reports in mind, the Committee reviewed the patient charts that he assessed. The charts that were assessed by Dr. Y in his report of January 25, 2014 are marked with an asterisk. Dr. Y noted in his reports of December 27, 2009 and January 12, 2010 that he reviewed the patient charts within the context of his expectations of eye care done by a provider of primary eye care, a refracting general physician, rather than expectations of eye care by an ophthalmologist. The Committee’s findings with regard to various patients are summarized below following the chart review. Patient 1: --age 15-- Dr. Wales testified he had manifest refraction but no pupil dilation or cycloplegia. 34 Patient 2: --age 88-- Dr. Wales testified he had manifest refraction but no dilating drops. He used finger tonometry. Patient 3: --age 63-- Dr. Wales testified he did manifest refraction. He did not dilate the pupils but did do digital tonometry and evaluated the optic nerve head carefully. Patient 4: --age 13-- Dr. Wales testified he performed a manifest refraction. He did not use cycloplegic drops. Patient 5: --age 7 at last visit, age 5 at previous visit-- Dr. Wales testified he performed manifest refraction but did not use cycloplegic drops. Patient 6: --age 65-- Dr. Wales testified he performed manifest refraction and finger tonometry and did not use dilating drops. Patient 7: --age 81 on last visit-- Dr. Wales testified he performed manifest refraction, but did not use dilating drops. He used finger tonometry. Patient 8*: --age 41 at time of last visit and age 39 at previous visit-- This patient’s chart was re-reviewed by Dr. Y in his report of January 2014. Dr. Y indicated in his January 2014 report that intraocular pressure should have been measured at both visits. Pupil dilation or cyclopegia was not done at either visit and should have been done on at least one of the visits. Dr. Wales testified the patient had manifest refraction and he assessed intraocular pressure using digital tonometry not at the first visit in April 2006, but at the second visit in December 2008. Dr. Wales testified that in 2006, the patient had not yet reached her 40th birthday, but had by 2008. Dr. Wales also paid attention to the discs and disc/cup ratio. He did not provide cyclopegic drops as he had a good look at the fundus. Patient 9: --age 66-- Dr. Wales testified he performed finger tonometry but used no drops of any kind. 35 Patient 10: --age 70 at time of last visit, age 68 at time of previous visit-- Dr. Wales testified he performed finger tonometry on both visits. Dr. Wales testified that he checked the discs (optic nerve head) and they were normal which eliminated it as a risk factor. Patient 11*: --age 72 at the time of the last visit and age 71 when seen the year before-This patient had diabetes. Dr. Y indicated in his report of January 2014 that intraocular pressure was not measured on either visit even though the patient was under a specialist’s care. Dr. Y was of the opinion that the intraocular pressure should have been measured even though she was being seen by a specialist. Because the specialist would have dilated her pupil, that examination could be omitted for these visits. Cycloplegia for refraction is not required at this age, Dr. Y reported. Dr. Wales testified that the patient came to see him for glasses. He did not measure intraocular pressure or dilate the pupil because the patient had recently been seen in tertiary care and was being followed by an ophthalmologist. Although Dr. Y thought that the intraocular pressure should have been measured in this patient, the Committee was not convinced. She had seen her specialist days before each of her visits with Dr. Wales and the Committee considers that his examination would suffice. Patient 12*: --age 76 at last visit and 73 at the first-- Dr. Y in his report of January 25, 2014, indicated that intraocular pressure should have been measured at all four visits between 2006 and 2009. The patient had cataract surgery which can affect intraocular pressure and it should have been checked. Pupil dilation was not performed on any visit. Dr. Y reported that because the patient had diabetes, he should have had his pupils dilated in 2007 and at least once in the two 2009 visits. Dr. Wales testified that he performed manifest refraction, with no drops. He returned in August 2007 and had manifest refraction. He performed digital palpation but did not do tonometry or give drops. He assessed him as having low-normal pressure. This patient returned in January 2009 and he performed manifest refraction, no drops, no palpation, but he examined the optic nerve head. He testified he did not have an intraocular tonometry measurement (numbers) on file for this patient from 2006 to 2009. 36 Patient 14 (DM)*: --ages 35 at the last visit and 31 at the first-- This patient had myopia and angina. Dr. Y reported on January 25, 2014, that intraocular pressure measurement and pupil dilation should have been performed at both visits. He thought that since this patient had vascular disease, pupillary dilatation was required for proper retinal examination given her history. Dr. Wales testified he did a manifest refraction, checked for intraocular pressure using finger tonometry in 2009, and even though she had vascular disease he had a good view of the discs, therefore, cyclopegic drops were not necessary. When she was seen in 2004, he did not use drops or finger tonometry. Patient 15: --age 11 at last visit and age 8 and 10 at the previous visits -- This child was not given cycloplegic drops on any visit. Patient 16: --age 10-- Dr. Wales testified that he performed manifest refraction with no drops. He stated that he also checked his apparent refraction with the retinoscope, and that was within the expected limits for his manifest refraction. Also, he checked his extra ocular movement related to the hyperopia. Patient 17: --age 39-- Dr. Wales testified he performed manifest refraction and finger tonometry in this patient. Patient 18: -- age 71-- Dr. Wales testified he performed manifest refraction. He did finger tonometry and did not use drops. Patient 19*: -- age 33 years-- Dr. Y commented on January 25, 2014, that neither intraocular pressure measures nor pupil dilation were performed. Dr. Wales testified he did not measure the intraocular pressure because the patient was below 40. Patient 20*: --age 67 at the last visit in 2009 and 61 at the first visit in 2003-- Dr. Y commented on January 25, 2014, that finger tonometry was performed on the visit in 2003 only. He reported that she should have had tonometry measured at both visits along 37 with pupil dilatation or cycloplegia. Her history of hypertension was a particular reason for the pupil dilatation. Dr. Wales testified he measured the intraocular pressure using digital tonometry in 2003 and observed the discs to be normal. In October 2003, he performed manifest refraction, no tonometry and no pupil dilation. In 2009, she had been seen by a specialist at a local hospital. Dr. Wales assumed that she had been fully assessed there, so he did not measure her intraocular pressure. In addition, because he did not get a copy of the consultant’s report, he thought that absolved him of any responsibility in following up. He did notice she was developing cataracts, so he did a full slit lamp examination with magnification. Even without pupil dilation, he testified he could see enough of the edge of the lens to notice there were some cortical cataracts developing. He testified he did not need to dilate her eyes, because she was on blood pressure medications, and if her pressure was controlled, there was no concern about changes in the fundus and dilation was not indicated. Patient 21: --age 10-- Dr. Wales testified he did manifest refraction without cycloplegic drops. Patient 23: --age 55 on the last visit and 53 on the first visit-- Dr. Wales testified he performed manifest refraction, used no drops but performed finger tonometry on the visit in 2007. He saw her again in 2009, and did manifest refraction, performed finger tonometery, but did not use drops or applanation tonometry. Patient 24: --age 5-- Dr. Wales testified that he did a manifest refraction with no drops. He did finger tonometry and evaluated the discs. Patient 25: --age 42 at last visit and age 38 at first visit-- Dr. Wales testified that he performed a manifest refraction with no drops given or use of applanation tonometry on both visits. He did do finger tonometry on both visits. 38 Patient 26: --age 58 at the first visit, and age 60 at the last visit-- Dr. Wales testified that at the 2007 visit, he did manifest refraction, and finger tonometry but he used no drops, and did no applanation tonometry. She complained of double vision and Dr. Wales testified he used a small device to measure the protrusion of her eyes and followed this at her next visit in November 2008, where he did not dilate her pupils or measure her intraocular pressure. Dr. Wales testified that he likely did do tonometry which was not recorded. He saw her again January 2009 and did not use a tonometer because it was a follow up. Dr. Wales saw her again September 2009 and did a manifest refraction where he recorded “over” refraction. He used no drops and did not measure her pressure using a tonometer. In the Committee’s view, of the patients reviewed by Dr. Y, Dr. Wales failed to maintain the standard of practice of the profession and demonstrated a lack of knowledge, skill and judgment in the following patients with regard to: i) Failing to do applanation tonometry in patients on whom it could be done (older children and adults): • • • • • • • • • • • • • • • • • • • Patient # 1 Patient # 2 Patient # 3 Patient # 4 Patient # 6 Patient # 7 Patient # 8 Patient # 9 Patient # 10 Patient # 11 Patient # 12 Patient # 14 Patient # 17 Patient # 18 Patient # 19 Patient # 20 Patient # 23 Patient # 24 Patient # 25 39 • • ii) Failing to dilate the pupils to better examine the posterior eye: • • • • • • • • • • • • • • • • • • iii) Patient # 26 the Complainant Patient Patient # 2 Patient # 3 Patient # 6 Patient # 7 Patient # 8 Patient # 9 Patient # 10 Patient # 12 Patient # 14 Patient # 17 Patient # 18 Patient # 19 Patient # 20 Patient # 23 Patient # 24 Patient # 25 Patient # 26 the Complainant Patient Failed to use cycloplegic drops for refraction in children: • • • • • • Patient # 1 Patient # 4 Patient # 5 Patient # 15 Patient # 16 Patient # 21 The Committee did not make findings of failure to maintain the standard in respect to the following patients: Patient #11: Both visits with Dr. Wales were within days of seeing an ophthalmologist where she would have had a complete examination. The Committee did not find the evidence clear, cogent and convincing enough to support a finding that Dr. Wales should have done applanation tonometry or dilated her pupils. 40 Patient #13: No finding was sought or made. Patient #22: The chart was incomplete for this patient. No finding was sought or made. SUMMARY Counsel for Dr. Wales submitted in closing argument that Dr. Wales believed firmly with all of his heart in an evidence-based approach to medicine that seeks to combine clinical skill with clinical judgment and the best available evidence. However, Dr. Wales’ actions belie his beliefs. As a primary care refractionist, Dr. Wales did not use examination techniques that his primary eye care colleagues in Ontario routinely perform. He used his finger to assess the pressure in the eye. Dr. Wales has never used applanation tonometry regularly, nor has he used cycloplegia when doing refractions in children or dilatation of the pupils to improve the quality of eye examination. He was not skillful using an applanation tonometer when he was being observed. If he had been doing applanation tonometry as regularly as he testified he did for the last 40 years, Dr. Wales would have been more skilled in its use. The Committee finds that the College has satisfied the burden of proof on the balance of probabilities that Dr. Wales has failed to maintain the standard of practice of the profession in his care of the patients noted above. The Committee also finds that the College has satisfied the burden of proof that Dr. Wales’ care of these patients demonstrates a lack of knowledge, skill and judgment of such a nature and to an extent that he is unfit to continue to practise or that his practice should be restricted. The deficiencies he displays are current. Accordingly, the Committee finds Dr. Wales incompetent. The Committee instructs the Hearings Office to schedule a penalty hearing at the earliest possible date.