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Winter 2010 fsSolutions Prescribed solutions to restore health and productivity. This publication is brought to you by INSIDE THIS ISSUE: Monitoring Opioid Use and Abuse Page 4 A Coventry Workers’ Comp Services Solution The Changing Landscape of Repackaged Medications Page 21 Drug Utilization Assessment and Physician Peer Discussions Improve Claim Outcomes Page 24 Containing Out-of-Network Prescription Costs Page 26 Table of Contents Welcome Letter 1 2009 Top Drugs 2 Monitoring Opiod Use and Abuse 4 DMEplus Spotlight - Catastrophic Care 9 Fall Prevention and Home Safety 10 New Labels for Morphine Sulfate Oral Solution 12 City-Dwelling, Middle-Aged Women at Highest Risk for Drug Overdose 13 Adverse Drug Effects 14 Texas “Houston Cocktail” Gains in Popularity 16 Retail Pharmacy Safety 18 Genzyme Takes First Bold Step Towards Medication Tracking 20 The Changing Landscape of Repackaged Medications 21 fsAlert Triggers 22 Drug Utilization Assessment and Physician Peer Discussions Improve Claim Outcomes 24 Containing Out-of-Network Prescription Costs 26 Upcoming Patent Expirations 27 Drug Delivery Methods 28 2010 Pipeline Drugs 29 fsSolutions is published by First Script, a national Pharmacy Benefit Management and Durable Medical Equipment & Ancillary Services provider. © 2010 First Script. All rights reserved. 155 N. Rosemont Blvd., Suite 201, Tucson, Arizona 85711 www.coventrywcs.com Please send comments to [email protected] W elcome to the winter edition of fsSolutions, a publication created specifically to provide timely information related to Pharmacy Benefit Management (PBM) and Durable Medical Equipment (DME) programs. We hope you find this edition a valuable resource filled with information that will assist you in managing your workers’ compensation programs. This has been an exciting year for First Script, and we have incorporated a great deal of new innovation into our product lines. We continue to lead in the workers’ compensation industry through several key strategies which focus on clinical cost containment, and our goal remains to provide programs that address the overall claims outcomes and service(s) impacting our clients. Earlier this year, First Script introduced real-time pharmacist intervention using client agreed upon protocols to drive better outcomes, limit claims examiner interruption and place clinical decisions where they belong, with a pharmacist. We continue to expand our risk assessment tools to enable an ease of understanding for the claims examiner where clinical intervention might be required. We are also focusing on how to better integrate our tools into client platforms, such as integrating clinical tools into client platforms in order to pass clinical notes, create data feeds into the client platform, and enhancement of our on-line reporting tools. The First Script clinical platform has also been enhanced to greatly expand our fsAlerts to incorporate various guidelines for drug utilization management. Using primary injury diagnostic codes, First Script is able to interpret a vast amount of data in order to understand the standards of care for a given injury. By using this data, we can provide the statistical relevance of how each claim is being managed. In partnership with our clients, we are then able to assist claims examiners in developing clinical decision trees that may involve all forms of care. First Script believes drug utilization is the primary indicator of claim management that can drive appropriate intervention by case management, pharmacists, examiners and physicians. Our Drug Utilization Assessment (DUA) and Peer-to-Peer (P2P) tools give First Script the ability to provide a closed-loop process by taking physician agreed upon treatment plans and integrating them into our point-of-sale application. We also continue to stay strategically focused on cost drivers, such as repackaging, compound drugs and specialty pharmacy/biologicals. Our latest initiative for DMEplus includes further development and enhancements to our proprietary DME application platform to enhance our current workflows, processes, and service delivery. We are also making enhancements to provide an out-of-network solution to our clients that redirect bills into DMEplus to take advantage of greater network discounts. Through our closed-loop process, we can pull and update bills to reduce out-of-network utilization, increase penetration and increase savings for our clients. The components of our business are evolving daily and our clients demand that we stay focused and “ahead of the curve” allowing them to maintain a competitive position in the marketplace. In this edition of fsSolutions, you will find articles that address current issues impacting your workers’ compensation program. With dedicated resources, focused daily on market changes, regulatory and legal updates, and the evolving treatment and prescribing patterns of physicians, First Script provides information that enables our clients to stay ahead of the ever changing issues they face in the workers’ compensation industry. We feel confident that you will find this publication useful, and welcome your suggestions for future editions. Sincerely, Alan Madison Vice President, First Script Operations Michael Patterson Vice President, DMEplus Operations 1 2009 Top Drugs The Top Drugs for 2009 for First Script clients are listed in Table 1. We compared the top 25 medications by retail billed amount for First Script (in the left column) with the top 25 medications billed under national group health plans (in the right column). business for 2009, whereas in group health, OxyContin® ranked eighth. Only two drugs in the First Script top 25, Nexium® (used for stomach ulcers) and Ambien® (used as a sleep aid), are not directly related to pain control. In July 2010, Intercontinental Marketing Services (IMS) Health released “The Top 15 Global Therapeutic Classes of 2009”, which listed narcotics and non-narcotics in the top fifteen, being thirteenth and fourteenth respectively (see Table 2). Table 1. Medications Rank Top 25 First Script Top 25 National TrendGroup Health 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 OxyContin* Lidoderm Vicodin* Lyrica Percocet* Duragesic* Celebrex Neurontin* Cymbalta* MS Contin* Actiq Skelaxin Topamax* Zanaflex Opana ER Ultram* Ambien CR Ultram ER Flexeril* Mobic* Nexium Ambien* Soma* Flector Avinza Lipitor Nexium Plavix Advair Diskus Seroquel Abilify Singulair OxyContin Actos Prevacid Cymabalta Effexor XR Lexapro Crestor Zyprexa Hydrocodone/APAP Valtrex Flomax Lantus Lyrica Celebrex Levaquin Aricept Spiriva Diovan Table 2. Top 15 Global Therapeutic Classes of 2009 * Includes both brand name and generic products The majority of First Script’s top 25 medications are utilized for pain for a variety of symptoms ranging from neurological, muscle, joint and internal organ pain. OxyContin® ranked number one within the First Script workers’ compensation book of Drug Class 2009 Sales Annual (Billions) Growth Oncologics $52.37 8.8% Lipid Regulators $35.28 4.9% Respiratory Agents $33.59 11.0% Antidiabetics $30.40 13.4% Anti-ulcerants $29.61 0.6% Angiotensin II Antagonists $25.20 11.4% Antipsychotics $23.24 4.6% Antidepressants $19.41 -1.3% Autoimmune Agents $17.96 18.0% Platelet Aggr. Inhibitors $14.60 9.0% HIV Antivirals $13.75 14.9% Anti-epileptics $12.99 -19.8% Narcotic Analgesics $11.23 8.6% Non-narcotic Analgesics $11.17 7.3% Erthropoietins $10.80 -4.1% Data courtesy of IMS Health FierceBiotech 7/15/10 2 IMS Health further showed the fastest growing therapeutic classes (by sales) in the last five years in which narcotics and nonnarcotics ranked ninth and tenth respectively. Utilization and price changes by the manufacturer are the two main factors that influence the annual increase in drug spend. in 2009: Flector®, a topical pain patch, and Avinza®, a once-a-day morphine sulfate capsule. Prescribing trends in the workers’ compensation Industry appear to follow the release and popularity of certain drugs. Most injuries, from onset to end of life of a claim, require relief from mild to moderate or severe pain. In 2009, generic OxyContin® experienced a decrease in supply with a concurrent increased AWP of 9% for the brand, which then generated inflation among all oxycodone products. In April 2010, the Food and Drug Administration (FDA) approved a new formulation of OxyContin® designed to minimize illicit use. This will replace all previous supplies of the product, thus giving the manufacturer exclusive control over pricing. The group health trend consists of several different therapeutic categories. Lipitor® is a cholesterol reducing drug, Singulair® prevents and treats asthma and allergies and Plavix® prevents blood clotting in patients prone to heart attacks and stroke. Average Wholesale Price (AWP) is a reflection of pricing by the manufacturer. Increases occur in both brand name drugs and generic medications, but because brands generally cost significantly more than generics, any increase in AWP of a brand medication has a greater impact on drug spend. Many of First Script’s top medications are not available in generic form. Examples are Lidoderm® which is ranked second and Lyrica® which is ranked fourth. Additionally, two newer brand medications are included in First Script’s top 25 list Given the narrower scope of medications used in the workers’ compensation industry, the introduction of new brands or generics and the resulting pricing effects have a much greater impact than in group health. The broader range of therapeutic categories in the group health industry enables it to more readily absorb any cost effects that result from drug class trends. First Script has several resources and processes in place through our drug utilization management tools, and is committed to effectively managing costs for our clients and coordinating quality healthcare throughout the life of the claim for the injured worker. References: FierceBiotech http://www.fiercebiotech.com/pages/top-15-globaltherapeutic-classes-2009#ixzz0tlc51rIa Subscribe: http://www.fiercebiotech.com/signup?sourceform=Vi ral-Tynt-FierceBiotech-FierceBiotech Drugtopics.com 3 www.coventrywcs.com agesic l Actiq l Fentora l Vicodin l Lortab l Methadose l Dolophine l MS Contin l Avinza l Kadian l OxyContin l e l Darvon l Darvocet l Ultram ER l Duragesic l Actiq l Fentora l Vicodin l Lortab l Methadose l Dolophine l M tin l Avinza l Kadian l OxyContin l Roxicodone l Darvon l Darvocet l Ultram ER l Duragesic l Actiq l Fentora l tab l Methadose l Dolophine l MS Contin l Avinza l Kadian l OxyContin l Roxicodone l Darvon l Darvocet l U Monitoring Opioid Use and Abuse Opioids are the most widely prescribed class of medication in the United States. They are highly addictive and illicitly abused substances as well. Providers are finding themselves in compromising situations as the legal consequences for both the over and under utilization of narcotics become more common. In what circumstances is an opioid indicated, and furthermore, when should an opioid be discontinued? With very little information about maximum dosages in prescribing guidelines, at what point is a dose considered too high? How does a prescriber determine if the patient is diverting and selling his or her chronic pain medications? Data compiled from the Drug Enforcement Administration (DEA), Boards of Medicine, and the Official Disabilities Guidelines (ODG) can provide insight to these issues. The workers’ compensation industry must remain cognizant of these concerns since they are such a prevalent component of the business. Just as providers, pharmacists and insurance companies have the responsibility to provide proper medical care, they must do their part to prevent prescription drug abuse and diversion as well. Background Opiates are addictive due to their euphoric effects and also because of the uncomfortable withdrawal symptoms that result from the physical dependence associated with them. Because these prescription pain relievers have the potential for diversion and abuse, prescribers find they must meet requirements by many different agencies that regulate their prescribing. The DEA, state licensing boards, law enforcement, and heath care benefit plans oversee and regulate the utilization of these medications. However, as the potential legal implications increase, a separate, opposite issue has recently emerged: undertreated pain. Although rare, some prescribers concerned with prescribing high doses of opioids have been accused of undertreating patients, mainly those with terminal conditions. As a result, many prescribers find themselves balancing more aspects than ever before when considering opiate therapy for their patients. Some Common Opioid Medications* FENTANYL – Duragesic, Actiq, Fentora HYDROCODONE – Vicodin, Lortab METHADONE – Methadose, Dolophine MORPHINE – MS Contin, Avinza, Kadian OXYCODONE – OxyContin, Roxicodone PROPOXYPHENE – Darvon, Darvocet TRAMADOL – Ultram ER * Not all-inclusive 4 Legal Circumstances Most opioids are controlled substances, as classified by the DEA. An exception to this is tramadol (Ultram®, Ultram® ER). According to federal law, physicians may prescribe controlled substances for legitimate medical purposes in the usual course of professional practice. The terms within this statement have been analyzed and interpreted differently since the inception of the Controlled Substances Act in 1970. Court cases have resulted in disciplinary action towards prescribers for both under and over treating chronic pain, though more cases involve the latter. One case involved the death of a young high school student. A nurse practitioner prescribed OxyContin® to an adult who then sold the pills to high school students. The students used the medications at a party resulting in one fatality due to an overdose. The same prescriber also prescribed extremely high doses of opioids for nine other patients with chronic non-cancer pain. The pain complaints included back pain, knee pain, soft-tissue injuries, fibromyalgia, and major depressive disorder. The state board of nursing charged the nurse practitioner with inappropriate assessments and lack of routine monitoring, as well as unprofessional conduct, incompetence, negligence, and malpractice. A second case involved a Nevada physician who was charged with contributing to a patient’s death. A 69 year old woman, who was prescribed narcotics by the physician for four years, died of an infection. The woman complained frequently of constipation and abdominal pain, common side effects of opioids; however, her family states that the doctor did not address the problem. The woman died from a bowel rupture, thereby causing a blood infection which claimed her life. The physician was charged with failing to monitor the effects of the medications prescribed, keeping inadequate records, and failing to address her abdominal pain. All three of these factors were considered by the court to be contributing factors to her death. Another case involves the under treatment of pain. A cancer patient moved into a hospice for pain management care. While in the hospital, he received injections of Demerol®, a schedule II opioid, but upon discharge received oral Vicodin® tablets, a schedule III opioid in combination with acetaminophen. The patient’s family felt his pain relief was not adequate and requested liquid morphine for him, but the provider instead prescribed a fentanyl patch and another dose of Demerol®. The patient received liquid morphine from a different prescriber on his final day of life, after which the family declared he finally felt relief of pain. After the ensuing court case, the hospital paid $1.5 million to the patient’s family and also began a training program in pain management to hospital staff. esic l Actiq l Fentora l Vicodin l Lortab l Methadose l Dolophine l MS Contin l Avinza l Kadian l OxyContin l R Darvon l Darvocet l Ultram ER l Duragesic l Actiq l Fentora l Vicodin l Lortab l Methadose l Dolophine l MS n l Avinza l Kadian l OxyContin l Roxicodone l Darvon l Darvocet l Ultram ER l Duragesic l Actiq l Fentora l V b l Methadose l Dolophine l MS Contin l Avinza l Kadian l OxyContin l Roxicodone l Darvon l Darvocet l Ult 5 agesic l Actiq l Fentora l Vicodin l Lortab l Methadose l Dolophine l MS Contin l Avinza l Kadian l OxyContin l e l Darvon l Darvocet l Ultram ER l Duragesic l Actiq l Fentora l Vicodin l Lortab l Methadose l Dolophine l M tin l Avinza l Kadian l OxyContin l Roxicodone l Darvon l Darvocet l Ultram ER l Duragesic l Actiq l Fentora l tab l Methadose l Dolophine l MS Contin l Avinza l Kadian l OxyContin l Roxicodone l Darvon l Darvocet l U Drug Enforcement Administration The DEA, a federal agency, is responsible for both the oversight of controlled substance use (legal and illegal), as well as the enforcement of the laws governing their distribution. In their policy statement, they explain that their oversight is “not intended to interfere with the legitimate practice of medicine or cause any physician to be reluctant to provide legitimate pain treatment.” The DEA also wishes to dispel the notion that the agency has embarked on a campaign to “target” physicians who prescribe controlled substances for the treatment of pain (or that physicians must curb their legitimate prescribing to avoid legal liability). The DEA does have the legal authority to take action against an individual who violates the controlled substance laws. This may include revocation of a prescriber or pharmacy’s DEA license and possible prosecution. To assist clinicians in complying with controlled substance laws, they offer the following guidelines: Behaviors That May Suggest Inappropriate Prescribing* An inordinately large quantity of controlled substances were prescribed A large number of prescriptions issued compared to other clinicians within a geographic area No physical examination was given Clinician told the patient to fill prescriptions at different drug stores Clinician was aware the patient is delivering drugs to others Clinician prescribed medications in return for favors or money Controlled medications prescribed at intervals inconsistent with legitimate medical treatment No logical relationship exists between the drug prescribed and the treatment of the condition *Not all-inclusive The DEA does not supply more specific guidelines, nor further defines such terms as “inordinately large quantity” or “large number of prescriptions.” This is because the DEA does not determine the manner in which physicians practice, but instead enforces controlled substance laws. The DEA also provides the list on the following page of behaviors that might indicate that a patient is seeking drugs for the purpose of diversion or abuse: 6 Patient Behaviors That May Indicate Abuse or Diversion Intent Demanding to be seen immediately Appearing to fake symptoms in an effort to obtain narcotics Indicating that non-narcotics do not work for him or her Requesting a particular narcotic drug Complaining that a prescription has been lost or stolen and needs replacing Requesting more refills than originally prescribed Using pressure tactics or threatening behavior to obtain a prescription Showing visible signs of drugs use, such as track marks State Boards Many licensing boards exist within each state. The boards of Medicine, Nursing, and Pharmacy in each state are responsible for licensing and disciplining their respective medical providers. Their primary purpose is to serve the state with safe, qualified healthcare professionals. They investigate complaints reported by consumers and resolve the situations as needed. Each state has adopted a set of guidelines for opioid prescribing to which medical providers should adhere. While the specific guidelines vary by state, they are similar in overall content and provide a standard by which to compare a prescriber’s behavior. For example, below is the state of Montana’s requirements for providers when prescribing opioids: State of Montana: Opioid Prescribing Provide a thorough history and physical examination, including an assessment of the cause of pain, substance abuse history, other therapies, underlying diseases or conditions, and statements by other treating physicians that the patient’s pain is intractable and cannot be controlled by medications other than opioid analgesics. Document a treatment plan that includes how treatment success will be evaluated. Use several treatment modalities concurrently with opiates. Discuss the risks for, and benefits of, the controlled substances with the patient and/or guardian in an ongoing manner. If treatment objectives are not being met or if the patient is at risk for misuse of medications refer to an appropriate specialist, including a specialist in addiction and chronic pain management . Record all of the above recommendations in the patient’s medical record. esic l Actiq l Fentora l Vicodin l Lortab l Methadose l Dolophine l MS Contin l Avinza l Kadian l OxyContin l R Darvon l Darvocet l Ultram ER l Duragesic l Actiq l Fentora l Vicodin l Lortab l Methadose l Dolophine l MS n l Avinza l Kadian l OxyContin l Roxicodone l Darvon l Darvocet l Ultram ER l Duragesic l Actiq l Fentora l V b l Methadose l Dolophine l MS Contin l Avinza l Kadian l OxyContin l Roxicodone l Darvon l Darvocet l Ult 7 agesic l Actiq l Fentora l Vicodin l Lortab l Methadose l Dolophine l MS Contin l Avinza l Kadian l OxyContin l e l Darvon l Darvocet l Ultram ER l Duragesic l Actiq l Fentora l Vicodin l Lortab l Methadose l Dolophine l M tin l Avinza l Kadian l OxyContin l Roxicodone l Darvon l Darvocet l Ultram ER l Duragesic l Actiq l Fentora l tab l Methadose l Dolophine l MS Contin l Avinza l Kadian l OxyContin l Roxicodone l Darvon l Darvocet l U Official Disability Guidelines The Official Disabilities Guidelines (ODG), a publication produced by the Work Loss Data Institute, is a set of evidence-based standards to which the workers’ compensation industry can refer. Medical conditions and the appropriate treatments are outlined in great detail, and references to associated studies are provided. Since opioids comprise such a large component of workers’ compensation prescriptions, these medications are addressed in the ODG treatment regimens. One section entitled, “Criteria for Use of Opioids” gives a general overview of the use of narcotics for injuries. It is summarized below. 1) Establishing a Treatment Plan Gather history of opioid use and results Have alternatives been tried? Will the patient improve with opioid use? 5) On-Going Management Prescriptions should be written by one provider and filled at one pharmacy Satisfactory response to treatment may be indicated by the patient’s decreased pain, increased level of function, or improved quality of life. Use drug-screening processes with issues of abuse, addiction, or poor pain control Refer to a pain control clinic if pain does not improve within three months 2) Steps to take before an opioid trial Determine pain origin Patient should set goals Record baseline pain and function levels Consider creating a written pain treatment contract with the patient 3) Initiating Therapy 6) When to discontinue opioids If there is no overall improvement in function Continuing pain Decrease in function Resolution of pain If serious non-adherence occurs Discontinuation should follow a slow taper protocol to avoid adverse effects Start with a short-acting opioid or extendedrelease in cases of continuous pain Change only one drug at a time If pain relief is not obtained, discontinue opioids 4) Recommended frequency of visits Every two weeks for the first two to four months What can we do? Narcotics are and will continue to be a mainstay of treatment in the workers’ compensation industry. As claimants are initiated and maintained on these powerful substances, claims management has a unique opportunity to assist in reducing opioid abuse. Claimants that use multiple providers or pharmacies, or receive extraordinarily high quantities of opioids, may be using the drugs for other than their intended purpose. Carefull monitoring of prescription transaction histories can help injured workers use the medications available for the best outcomes possible. 8 DMEplus Spotlight - Catastrophic Care The DMEplus program has been extremely successful in coordinating all the arrangements for catastrophic products and services that improve the long-term or permanent health of an injured worker. DMEplus provides a single source for all referrals that is highly efficient and reduces the potential for mistakes. We also monitor these cases to ensure appropriate supplies and services are provided while reducing overall claim costs. The ability of DMEplus to provide specialized services, such as home healthcare, rehabilitation equipment, and home and vehicle modification further improve the injured worker’s quality of life. We contract with a broad range of cost-effective, catastrophic care professionals covering many specialties, including trauma, rehabilitation, and spine and brain injuries. This extensive local and national network ensures that we meet the needs of virtually any type of severe or long-term workers’ compensation case. DMEplus also integrates with Coventry services to provide a single claims management source for all aspects of an injured worker’s claim, including ordering care management services (such as Telephone Case Management, Field Case Management or Independent Medical Examination), First Script pharmacy benefits, and bill review. Catastrophic Care Examples Quadriplegic Paraplegic Burn victims Multiple gun shot wounds Amputees Spinal cord injury Traumatic brain injury Crush injury 9 Fall Prevention and Home Safety Post-accident and post-operative patients often experience a higher incidence of falls and injuries in the home because they do not properly prepare the environment to accommodate their new condition. Common everyday items can easily become a tripping hazard or increase the chance of injury for patients compromised by ambulatory or medication related limitations. A simple assessment of the home environment can help alleviate the risk of further injury. Depending upon the level of severity, this could be a self-guided appraisal, or a family member could assist. In addition, many First Script/DMEplus home healthcare agencies will offer this as a free evaluation during their care planning visits. Here is a home safety checklist for injured workers: Reduce the Risk of Falls on Stairs Are the stairs well lit (especially at the top and bottoms)? Are there stair treads on the steps? Beware of loose or bunched carpet. Are there handrails along the steps? Both sides are preferred. If no stair railing, place a hand on the wall while going up and down the stairs. Never carry any package that will obstruct view of the next step. Carpeting and Area Rug Tips Avoid patterned or deep pile carpeting; solid colors show edges of steps more clearly. Be careful walking from a carpeted room to a tile floor and back. Keep flashlights handy in the event of a power outage, and keep spare batteries. Use 100-watt bulbs if they do not exceed warnings on lamps/fixtures (to avoid fire hazard). Bathroom Safety Use bathroom grab bars to help with balance while sitting or rising. Never grab a towel rack, shampoo holder or soap tray for support in the shower. Clean up puddles immediately and use a slip-resistant rug next to the bathtub/shower. Non-skid strips on the bathtub/shower floor can help reduce the risk of slipping. A shower chair in a tub/shower can provide a steady platform for washing/rinsing. A raised toilet seat may help with balance getting on or off the toilet and assist with low toilets or where there is difficulty with bending. Sit when shaving, brushing teeth, fixing hair or putting on make-up. Let soap suds go down the drain before moving around in the shower. Do not turn suddenly. Do not lock the bathroom door. This will delay help from reaching you in a timely manner. Bedroom Safety Have a clear path to the bathroom to avoid stumbling in the dark. Have a lamp, flashlight and telephone near the bed. Place night lights along the path from the bedroom to the bathroom. Can the injured worker get in and out of bed easily? If not, consider raising the mattress. Arrange clothes in the closet so they are easy to reach. Replace satiny sheets/comforters with products made of non-slippery material, such as cotton. 10 Living Area Safety Create clear paths between rooms. Consider removing low coffee tables, magazine racks, footrests, plants, glass topped furniture or glass knick knacks from pathways in the rooms used. Look for easy access light switches at entrances to rooms to avoid walking into the dark. Look for loose rugs on non-carpeted floors, and secure them with double-faced tape or slip resistant backing. Make sure carpet is secure and there are no bumps or raised areas. Make sure that cords are out of the way, however do not put cords under a rug. Identify wobbly chairs and tables – a person could lean on them and fall. Try to sit on furniture that is firm, high and has armrests to help when standing. Make sure there is access to a telephone that can be reached to call for help if needed. Consider cordless phones that can be kept close to avoid hurrying to reach the phone. Kitchen Safety Remove throw rugs from the kitchen. Clean up all liquids, grease or spilled food immediately. Depending on the need, seek assistance with bending or kneeling to clean up spills. Store food, dishes and cooking equipment at an easy-to-reach, waist high level. Do not stand on chairs or boxes to reach upper cabinets. Ensure all step stools are in good working condition. General Safety Recommendations Have eye exams regularly and update your prescription glasses or contacts. Wear glasses if needed, but remove reading glasses before walking. Feeling weak or dizzy can be a possible side effect of many medications and can increase the risk of falls. Talk to a doctor or pharmacist about side effects caused by medications, and read the information about side effects that comes with each prescription. Never take more medication than was prescribed. Medicine dosage instructions are provided to protect from overdose or adverse reactions. High heels, floppy slippers and shoes with slick soles can cause stumbles and falls. Walking in stockings or socks can also cause falls. When first waking up, sit on the bed edge and evaluate dizziness before you get out of bed. Eat breakfast every morning. Skipping a meal may cause weakness or dizziness. Be careful around pets—they can get in front of your feet or jump on you. If using a cane or walker, replace any worn rubber tips. If additional assistance is needed, a home healthcare provider can assist with continued in-home care that allows an injured worker to remain independent and recover at home. Our DMEplus home healthcare program can coordinate all the arrangements for care givers, equipment, and any medical supplies needed for treatment to promote faster recovery and return-to-work. Home healthcare providers work closely with the injured worker, healthcare provider, and employer to facilitate timely and appropriate medical care and coordinate a safe and timely return-to-work. Other services such as home modification, rehabilitation equipment, and patient lifts can also be requested to support an injured worker‘s home healthcare rehabilitation. 11 Safety Update NEW LABELS FOR MORPHINE SULFATE ORAL SOLUTION The Food and Drug Administration (FDA) reviewed and approved a morphine sulfate oral solution in January of 2010. The product had been made by Roxane Laboratories since before the FDA began their drug-approval process in 1962, and was approved for re-manufacture by the same company. The reason for the recent FDA review was to ensure that the medication’s safety, effectiveness, quality, and labeling met FDA standards. The major change to the product was in its labeling. In previous years, there were numerous reports of medication mix-ups that resulted in serious adverse effects. The design of Roxane’s old label was very similar to other products they manufacture, including other strengths of morphine. New labeling and packaging features are intended to reduce the risk of these medication errors. Here is the old packaging. Notice how similar these two products are; however, the box with the red stripe contains a solution five times more potent than the other. New labeling has been changed to the following: Packaging continues to be a very significant factor in medication errors, especially as more and more medications enter the marketplace. The influence of the FDA and other medication-safety organizations on drug manufacturers is essential to reduce unnecessary medication errors. Reference: http://www.ismp.org/Newsletters/acutecare/articles/20100211.asp Image Source: Photo used with permission of the Institute of Safe Medicine Practices 12 Clinical News City-Dwelling, Middle-Aged Women at Highest Risk for Drug Overdose A recently published study in the American Journal of Preventative Medicine found urban women to be at high risk for poisoning by prescription drugs. A database of records, the U.S. Nationwide Inpatient Sample, was reviewed for the study, which may help to spur healthcare workers, government regulators, and law enforcement to push attention toward this rising epidemic. The category of U.S. citizens most likely to be hospitalized due to prescription drug poisoning was found to be women between the ages of 35 and 54 who were living in cities. Additionally, the reasons for ingestion were largely unintentional. Study researchers note that the reasons for ingestion in “a large number of cases was undetermined.” The report also outlined the following overall results: 1999 to 2006: Hospital admissions due to opioid prescription overdoses rose from 43,000 to 71,000 1999 to 2006: Intentional prescription drug poisonings rose from 10,000 to 24,000 Accidental poisonings by prescription drugs are now the second leading cause of unintentional injury death in the U.S. 2005: Accidental poisoning was the leading cause of unintentional injury death and surpassed motor vehicle crashes among 35 to 54 year olds With the statistics provided by this research study, the healthcare community gains further insight into the prescription drug abuse epidemic in the United States. Dr. Coben, MD, lead researcher of the study states, “A multifaceted approach is needed. Doctors need to perhaps rethink the types and quantities of medications they are prescribing. And, we need to get better messages out to the public in terms of the dangers associated with these medications and combinations of these medications that are being used.” References: 1) Coben, MD et al. “Hospitalizations for Poisoning by Prescription Opioids, Sedatives, and Tranquilizers,” American Journal of Preventative Medicine; Vol.38, Issue 5, May 2010. 2) www.msnbc.msn.com/id/36191349/ns/health-womens_health 13 Adverse Drug Effects Adverse drug effects are results that are unwanted, unpleasant and potentially harmful. Some of the more common adverse drug effects seen in the workers’ compensation industry are listed and explained below. Constipation - A common condition in the human body. The main symptoms are: Hard stools Difficulty passing stools Abdominal pain and cramping Many causes of constipation exist, including medications, diet, and bowel obstructions or tumors. In workers‘ compensation, medication-related constipation is often seen in connection with the following classes of medications: Narcotic pain medications: OxyContin®, morphine, hydrocodone Some antidepressants: Amitriptyline, nortriptyline, imipramine Some anticonvulsants: Neurontin®, Lyrica®, carbamazepine The standard treatment for constipation may include changes in diet and increased fluid intake; however, the use of stool softeners, such as Colace®, are often used in conjunction. If stool softeners are not effective, a laxative such as Dulcolax® or Miralax® may be prescribed or a combination drug including a laxative plus a stool softener such as Senokot-S® can be prescribed. Nausea - One of the most common medication side effects. It is the sensation of uneasiness of the stomach and can often precede vomiting. Nausea that prolongs for more than 24 hours can lead to dehydration. Medication – related nausea in workers’ compensation is commonly seen with: Narcotic pain medications: OxyContin®, morphine, hydrocodone Non-steroidal anti-inflammatories (NSAIDs): Ibuprofen, naproxen Antibiotics: Erythromycin, Bactrim DS®, doxycycline The treatment of nausea may include taking the medication with or before meals and, in severe cases, Phenergan® tablets or suppositories may be prescribed. Peptic Ulcers - Use of Non-Steroidal Anti-Inflammatory Drugs (NSAIDs) often results in upper gastrointestinal (GI) tract irritation that can result in stomach ulcers or bleeding. Recent studies of NSAID ulcer prevention in the Gastro Intestinal (GI) tract have defined them as any lesion three millimeters or greater with or without apparent depth. Symptoms of peptic ulcers are: Heartburn Gastro Esophageal Reflux Disease (GERD) Nausea Vomiting of blood Loss of appetite and weight loss 14 Other drugs that increase the risk of gastrointestinal bleeding are Selective Serotonin Reuptake Inhibitors (SSRIs) such as Prozac® or Cymbalta®. Treatment, healing and prevention of ulcers are managed by the following: Lowering doses of the NSAIDs Switching to a COX-2 Selective NSAID, such as Celebrex® Adding a Proton Pump Inhibitor (PPI), such as Nexium® Liver Failure - Certain medications can cause debilitating liver failure. This is defined as the liver becoming damaged and failing to function. Initial symptoms include the following: Nausea Fatigue Loss of appetite Diarrhea Certain types of liver failure occur rapidly (in as little as 48 hours). Tylenol® (acetaminophen) is an example of a medication that may cause liver failure if excessive doses are taken. Some examples of medications that contain acetaminophen are Vicodin®, Percocet®, and Ultracet®. The maximum daily dosage of acetaminophen is 4,000 milligrams per day or eight tablets of the 500-milligram strength. This dosage can vary depending upon the patient’s other disease states or medications. There is a small difference between the maximum and lethal dose. Ingestion of 7,500 milligrams daily can result in liver failure in fewer than seven days. Treatment of overdose involves the administration of an anti-dote, acetylcysteine. Other causes of liver failure include the following: Viruses, such as Hepatitis A, B, and C Malnutrition Long-term alcohol consumption Strategies to prevent or treat adverse drug effects can range in cost. For example, to prevent GI upset, switching from a generic NSAID to a brand name medication like Celebrex® can increase the cost of treatment. Nexium®, also a brand-name medication, added to a regimen to prevent gastric ulcers, is also an expensive addition. In some cases, options can be fairly inexpensive, such as adding fiber and fluids to the diet to prevent constipation: however, the cost of ignoring the adverse effects can be exponentially higher. A patient taking a very high dose of Percocet®, plus an over-the-counter sleep aid and a cough and cold product may inadvertently overdose on acetaminophen and end up with a lengthy, expensive hospital stay. First Script is committed to providing information about all issues within the realm of pharmacy to our clients for the safety of the injured worker. 15 Texas “Houston Cocktail” Gains in Popularity A combination of three highly addictive medications, dubbed the “Houston Cocktail” or “Holy Trinity,” has become a recent target of U.S. Drug Enforcement Administration (DEA) scrutiny. The medications prescribed include hydrocodone-containing products (Vicodin®, Lortab®) used for the treatment of pain, carisoprodol (Soma®), a muscle relaxant, and alprazolam (Xanax®), an anti-anxiety medication. Houston, Texas has become a national hub for the sale of the combination, which is being sold at small pain clinics dispersed throughout the area. The three-drug combination has gained popularity and reputation for its heroin-like high. In a world where OxyContin® has been under intense watch by federal and state agencies, abusers are turning to new substances. According to the DEA, “Hydrocodone, alprazolam, and [other] benzodiazepine products continue to comprise the majority of prescription controlled drugs abused in North Texas.” The DEA classifies controlled substances into five schedules, with schedule one (C-I) being the most addictive (see chart below). Within the cocktail in question, only two medications are federally controlled substances, hydrocodone and alprazolam. While none of the substances alone are classified to be as addictive as OxyContin®, the claim is that the combination provides euphoric effects close to that of a C-I medication. As of June 22, 2009, the State of Texas made legislative changes to categorize carisoprodol as a C-IV controlled substance. Schedule Level Description Examples C-l High potential for abuse, no accepted medical use in the U.S., lack of safety data available C - ll High potential for abuse, has an accepted medical use with or without severe restrictions, abuse may lead to high psychological or physical dependence Morphine, Oxycodone C - lll Lower potential of abuse than those in schedule 1 or 2, has accepted medical use, abuse may lead to moderate/low physical dependence, or high psychological or physical dependence Hydrocodone, Tylenol ® with codeine C - lV Lower potential of abuse than those in schedule 3, has accepted medical use, abuse may lead to limited psychological or physical dependence Alprazolam, Carisoprodol (state-specific) C-V Lower potential of abuse than those in schedule 4, has accepted medical use, abuse may lead to limited psychological or physical dependence Lyrica ® , codeine cough syrups 16 Heroin, Marijuana Because the addictive effects of each medication in the combination are lower than OxyContin®, the assumption is that they are less likely to receive attention by regulatory bodies. However, according to Dr. C. M. Schade, past president of the Texas Pain Society, “doctors have no justifiable medical reason to prescribe patients all three drugs.” The Texas Department of Public Safety (DPS) began a prescription monitoring program for controlled substances in September 2008 which has played a fundamental role in detecting and tracking illegitimate narcotic utilization. According to the Texas DPS, prescription monitoring programs are among the most effective tools available to identify and prevent drug diversion at the prescriber, pharmacy, and patient levels. Other neighboring states began tracking narcotics several years earlier, which resulted in a decreased number of illegitimate pain clinics and prescription drug abuse in those states. For example, DEA spokesman Wendell Campbell said of Louisiana’s 2006 Prescription Monitoring Program Act that after its enactment, “… Louisiana customers, many times by the van load, started coming into Texas for the drugs.” With the help of law enforcement agencies, the DEA, and the Texas DPS prescription monitoring program, Texas hopes to crack down on this health and public safety issue. A new state law effective in September 2010 will require the following: Clinics in which 50% or more of patients are prescribed controlled substances will require certification by the Texas Medical Board. Clinics must be under ownership by a Texas doctor. That doctor will also be required to be on the premises of the facility for at least one-third of the clinic’s operating hours. Additional requirements for the owning doctors are to complete ten (10) continuing education credits per year regarding pain management; provide a written drug screening policy and compliance plan for patients receiving chronic opioids; and maintain all billing records. References: 1) Drug Enforcement Administration, 2008 Texas Factsheet. Accessed at www.DEA.gov on July 15, 2010. 2) Texas DPS, Updates and Notices. Accessed at www.txdps.state.texas.us on July 28, 2010. 3) Justice News Flash, Press Release. Houston TX Drug News: Potentially Lethal Drug Cocktail excessively Prescribed. June 3, 2010. Accessed at www.justicenewsflash.com on July 15, 2010. 4) Texas DPS Narcotics Service, The Goals of Prescription Monitoring. 2009. Accessed at www.txdps.state.texas.us on July 15, 2010. 5) Texas Administrative Code, Title 22, Part 9, Chapter 195. Pain Management Clinics, §§ 195.1-195.4. Accessed at www.tmb.state.tx.us/rules/rules/bdrules.php on July 28, 2010. 17 Retail Pharmacy Safety As the prevalence of illicit drug abuse increases, so does the risk that retail pharmacies become unwilling suppliers. A 2005 study reports that 40% of U.S. citizens believe prescription medicines are “much safer” to use than illegal drugs. Additionally, 31% believe there is “nothing wrong” with using prescription medicines without a prescription “once in a while.” Pharmacy robberies of OxyContin® and Vicodin® are commonly reported across the country, often times placing the lives of pharmacy employees at risk. Drugs are typically stocked in 100-count bottles and easily accessible by the pharmacist on open shelves or locked drawers. The ease of access, as well as the street value of many narcotics, makes pharmaceuticals a profitable and relatively easy theft for criminals. While individual states have some programs in place to monitor robberies, there is currently no national database to record or analyze the frequency of these occurrences, nor their financial and emotional impact. Department of Justice and the Attorney General. Eleven other agencies contribute to their resources, including the Federal Bureau of Investigations (FBI), the U.S. Coast Guard, the Internal Revenue Service, as well as state and local law enforcement agencies. In 2006, the OCDETF created a Fusion Center, which is a tracking system used to document all activities by the OCDETF and its affiliates. This enormous database is continually updated with drug-related data and intelligence analysis from the DEA. Safety Improvements A second significant advancement in the ability of the United States to trend, predict, and prevent retail pharmacy crimes was created in 2009. The National Institute for Occupational Safety and Health (NIOSH) entered into a partnership with Statistical Analysis Centers (SACs) to create a database of homicides, robberies, and assaults on healthcare workers with a primary focus on pharmacists. NIOSH, part of the Centers for Disease Control and Prevention (CDC), is a federal organization responsible for researching and suggesting solutions for preventing workrelated injuries. The SACs are state specific Tracking Trends Beginning in 1982, the Drug Enforcement Administration (DEA) formed the Organized Crime Drug Enforcement Task Force (OCDETF). These 2,500 agents work to identify and manage drug trafficking operations and are overseen by the 18 centers that collect and track various data. As of 2009, five states are already tracking data for the partnership. Their hope is to create a comprehensive database of retail pharmacy crimes using NIOSH and state-specific law enforcement data managed with SAC technology. These records can then be used by NIOSH to develop recommendations for improving the safety of pharmacy employees in the workplace. have immediate access to narcotics. In addition to being an anti-theft automation device, the unit also maintains a perpetual inventory of each drug per DEA requirements. As drug overdoses climb to the second leading cause of death in the United States, a concurrent concern arises as the public seeks alternatives to obtain these drugs. Unfortunately, pharmacists, the only medical profession directly accessible to customers, are at risk of being in the center of a hostile situation as they are a direct means to medications. The DEA Fusion Center and the NIOSH/SAC databases are enormous steps forward to taking action in securing the safety of pharmacy employees nationwide. Additionally, the advent and increase of security cameras, security personnel, and pharmacy safes may deter robberies, improve employee safety, and limit the availability of prescription medications for illicit purposes. Safety in Automation The PharmaSafe, a store-level anti-theft technological advancement, will be available to pharmacies beginning in 2010. The creator of the PharmaSafe noticed that the most effective innovation to deter convenience store robberies was the cash drop safe. As word spread that large amounts of cash were not available to cashiers, the thieves stood to gain less profit at each holdup, therefore making robberies far less beneficial. The same idea applies to the PharmaSafe. Medications may only be removed from the safe when a prescription is entered into the pharmacy’s computer system. After the prescription is entered, the unit automatically dispenses the prescribed quantity into a vial. That pre-poured quantity can then be removed after a pre-determined length of time by the pharmacist with a password, electronic fingerprint, or electronic key. Posted notices are placed at the front of the store and at the pharmacy counter, notifying the public that the pharmacist does not References: 1) http://www.usdoj.gov/dea/pubs/cngrtest/ct051607.html 2) U.S. Department of Heath and Human Services, Substance Abuse Treatment Advisory; Spring 2009, v8. 3) http://www.usdoj.gov/dea/pubs/history/2003-2008.pdf 4) http://www.cdc.gov/niosh/blog/nsb021709_pharm.html 5) JRSA Forum Newsletter. NIOSH Teams with SACs to Study Violence against Pharmacy and Healthcare Workers; September 2009, Vol. 27, No 3. 6) Modern Medicine e-newsletter. PharmaSafe: Dispensing protection for pharmacies. January 15, 2010. 19 Genzyme Takes First Bold Step Towards Medication Tracking An initiative between Genzyme and the Healthcare Logistics division of the United Parcel Service (UPS) began in 2008 to develop serialization for shipping and tracking pharmaceuticals. Genzyme is one of the world’s leading biotech companies, responsible for the research and design of medications for many specialties, such as oncology, immunology, and orthopedics. Accenture, a technology management consulting company, assisted with the partnership to design and implement the program. As a result of the new tracking system, Genzyme will be able to follow the location of their products from warehouse, to wholesaler, to pharmacy. Previously, no mechanism existed by which drug manufacturers could be certain where their products were distributed, except from reports by pharmacies and wholesale companies. The new tracking system will be a great improvement in product security and the emerging issue of drug diversion may be reduced. Pharmacies receiving medication via one or more distributors will be able to validate that the medication originated from the actual manufacturer as opposed to a counterfeit source. UPS has now designed warehouse practices to include the use of this tracking system. An electronic code, called a GS1 barcode, is affixed to each individual package and shipping container. UPS created an electronic scanner to read the code, which then communicates to the main database. The company reports that this is “the largest system change [it has] made in nearly a decade.” UPS will be able to offer the service to other healthcare clients as well. In addition, it promotes the expectation of seeing improved tracking of items with the ability to link shipments to other order processing procedures. The tracking process is expected to begin in 2010, long before state mandates are set in place. California has discussed mandatory medication tracking for many years due to the everincreasing amount of diversion present in the state. However, such mandates are delayed until at least 2015 due to poor economic standings. The commitment and achievement of Genzyme is commended by many law makers, as it is a voluntary first step forward in the battle against drug diversion. References: 1) http://www.pharmaceuticalcommerce.com/frontEnd/main.php?idSeccion=1348 2) http://www.worldtrademag.com/Articles/Column/BNP_GUID_9-5-2006_A_10000000000000752028 3) http://www.ean-int.org 20 The Changing Landscape of Repackaged Medications The growing dilemma of repackaged medications continues to emerge as a hot button issue for a number of states. This is perhaps best highlighted by the recent legislative dispute in Florida over House Bill 5603. The bill would have included language amending the pharmacy fee schedule to specifically include repackaged and repriced medications. Another state that is addressing repackaged medications is Mississippi. Mississippi has adopted new fee schedule language specifically aimed at medication repackagers. Repackaged medications are typically products which were purchased at one price and sold in smaller unit-of-use packaging for a higher price. This practice raises serious cost-management concerns because repackaged medications are frequently neither subject to state fee schedule limits nor do they provide adequate information through which pricing can be controlled. In fact, several state fee schedules do not include specific provisions to capture physician-dispensed medications, the setting in which the majority of repackaged medications are dispensed. Even in the presence of a fee schedule that limits physician dispensing, the fact that most repackaged medications do not include an original manufacturer’s National Drug Code (NDC) label makes finding correct medication pricing difficult. Payers are becoming acutely aware of how repackaged medications add cost to the workers’ compensation system. Early responses to these concerns resulted in the creation of fee schedule changes in a handful of states, with Florida and Mississippi being the most recent. Florida As to the aforementioned Florida legislation, House Bill 5603 would have included an amendment to Florida Statute 440.13, the fee schedule. Specifically, the amended fee schedule language would have included repackaged and repriced medications in the prescription types covered by the fee schedule. Additionally, the amended language would have allowed repackaged medications to be priced using the manufacturer’s original per unit Average Wholesale Price (AWP), multiplied by the number of units dispensed. Unfortunately, the amendment was vetoed by Governor Crist because of the overwhelming public opinion that the amended language had not been sufficiently debated in the legislature. In November, the newly elected legislature explored the possibility of overriding the veto, but passed at the last moment on raising that issue during a special session. Mississippi For its most recent fee schedule revision (effective July 1, 2010), Mississippi chose to make specific inclusions for physician-dispensed and repackaged medications. Repackaged and physician dispensed medications will now be priced using a “lesser of” formula which allows the AWP to be determined by 1) the NDC of the underlying drug product from the original labeler; or 2) the therapeutic equivalent drug product from the original labeler’s NDC. As states continue to address this dilemma, Coventry and First Script will continue to work with legislators and administrators to push for the curtailment of unnecessary prescription expenditures. We have created integrated Pharmacy Benefit Management and Bill Review Solutions to bring down these costs in jurisdictions that allow such reductions to occur. We continue to believe that physician dispensing can and does fill an important need in the responsible clinical treatment and the quick return-to-work of injured workers. Accordingly, we intend to work with physician groups to find practical solutions that limit wasteful spending, but ensure quality patient care. Physiciandispensed pharmaceuticals accounted for 17% of workers’ compensation drug costs in 2008, up 8% from the prior year. Source: NCCI Holdings Inc. References: 1) 2009 Arizona Pharmacy Fee Schedule 2) Florida House Bill 5603 (2010) http://www.myfloridahouse.gov/Sections/Documents/loaddoc.aspx?FileName=_h5603er.docx&DocumentType=Bill&BillNumber=5603&Session=2010 3) 2010 Mississippi Fee Schedule: http://www.mwcc.state.ms.us/services/2010finaldraft.pdf 21 fsAlert Triggers The First Script Pharmacy Benefit management program provides quality pharmaceutical management and safety to injured workers while providing cost savings to the payor. One aspect of the First Script program that is used to assist in claim oversight is our fsAlert tool. fsAlert monitors the daily prescription file and sends alerts when a drug is being filled that has been identified. Because this message is sent following the prescription being filled, it does not prevent the injured worker from receiving the medication; rather, it is a means for identifying claims that may require additional attention. Below is a list of possible triggers that can be activated by First Script. Controlled Medication Alert The injured worker’s profile is reviewed for the specified time frame and if the medication is a controlled substance, an alert will be generated. Generic Opportunity Alert A brand name medication was dispensed that had a generic equivalent product in the market place. Over-Utilization of Short-Acting and Sustained-Release Narcotics Alert A claimant received a prescription for either a short-acting narcotic or a sustained-release narcotic where the daily dose exceeds the specified maximum daily dose. Dollar Value Exceeded Alert This alert works in conjunction with the claims file to identify medical only versus lost-time (indemnity) claims. The alert may be configured to set a different threshold for medical only and indemnity claims. The injured worker’s prescription history is reviewed, dollars used are totaled, and if the total is greater than the agreed upon threshold, an alert is generated. Target Drug Alert This alert is set to review the injured worker’s profile to determine if the targeted medications have been filled previously; if not, an alert is generated. Excessive Muscle Relaxant Utilization Alert An alert is generated after thirty consecutive days (or client specified time frame) of muscle relaxant utilization. New Narcotic Prescriber Alert/ New Prescriber Alert A new physician was identified that has not previously prescribed narcotics or is new to the injured worker. The chart on the next page summarizes the alerts and provides importance and considerations. 22 Alert Importance Considerations Target Drug Identifies new medications as specified by the client Review treatment plan; consider non-pharmacological treatment modalities; challenge the prolonged use of these medications. Over-utilization of Sustained-release Narcotics Identifies possible excessive dose of SR narcotics Review history of narcotic usage and treatment plan. Is there something else occurring, such as impending surgery or other procedure that may induce greater pain for the short term? If not, the dosing should be challenged. Over-utilization of Short-acting Narcotics Identifies possible excessive dose of short-acting narcotics, especially those containing acetaminophen Review history of narcotic usage and treatment plan. Is there something else occurring such as impending surgery or other procedure that may induce greater pain for the short term? If not, the dosing should be challenged. Would the claimant benefit from a long-acting narcotic for a short duration for pain management? Excessive Muscle Relaxant Utilization Identifies muscle relaxant utilization above the recommendation of the Official Disability Guidelines and product labeling Review history to determine appropriate utilization of muscle relaxants; is use intermittent or consistent? If use is consistent, are there other potential treatment options? If use is consistent, are there other issues occurring outside of painful muscle contractions? New Narcotic Prescriber/ New Prescriber Identifies a new physician prescribing narcotic medication for the claimant Review history to determine whether physician has prescribed medication previously (more than 90 days prior to date of service). Determine if new physician is a specialist and, if so, has something changed? Is there a possibility of “doctor shopping” in order to obtain more narcotics? Controlled Medication New controlled medication is now being utilized by claimant Review history to see if new product is replacing an existing medication. Review strength of new of medication; is it stronger than similar products seen on the profile? Is the medication in addition to other narcotics; consider possible tolerance or addictions issues. How is the treatment plan being managed? Generic Opportunity Identifies the medical necessity of the brand name product Has the claimant tried the generic version? What was the outcome? Obtain adjuster approval to review the medical need for the branded product. Dollar Value Exceeded Dollar thresholds may be applied to both medical only and indemnity claims Review claim to determine need to move to indemnity status or review indemnity claims for claim management intervention. 23 Drug Utilization Assessment and Physician Peer Discussions Improve Claim Outcomes Drug Utilization Assessment As injuries progress to a chronic phase, prescribed medications often increase in an attempt to improve a patient’s quality of life. Often these medications consist of expensive, sustained-release narcotics and anti-convulsants. If the chronic nature of the pain disrupts the patient’s sleep patterns or appetite, additional medications may be added to the regimen. Examines a claimant’s current pharmaceutical medication regimen based upon a review of the submitted medical treatment records and prescription medication histories Identifies utilization issues, such as brand/generic substitution, overuse/underuse, over-prescribing of drugs, and elimination due to duplication therapy, thus leading to cost savings Studies have shown that the cost per prescription doubles by the time a claim reaches four years. Fee schedules and the substitution of generics can address cost but do little to reduce over-utilization or abuse. Recommends alternatives, if necessary, to the current regimen based on medical necessity, current official guidelines, and best practice medical guidelines Simple medication reviews alone are not always sufficient to persuade the prescribing physician to change the medication regimen, and many treating physicians insist on analyses that incorporate more than merely a listing of the recommended uses of the medication. Outlines current annual drug cost and possible savings based on recommended changes Permits licensed clinical pharmacists to review the functional status of the patient and employ best practice guidelines in evaluating proper dosing In such circumstances a Drug Utilization Assessment (DUA) that examines a claimant’s current pharmaceutical medication regimen based upon a thorough review of medical records and pharmacy claim data, has demonstrated significant success in changing prescription regimens. This program recommends alternatives, if necessary, to the current regimen based on medical necessity, current official guidelines, and best practice medical guidelines. Once a DUA has been completed, a medical Peer-to-Peer (P2P) review can be performed in order to facilitate the adoption of the pharmacy recommendations. Provides a basis and report for a Peer-to-Peer review. DUAs and P2Ps are also tied into the First Script Pharmacy Program, which includes a variety of drug utilization tools that identify utilization history. Overutilization is monitored for each pharmacy transaction, and when a medication is identified for retrospective review, an alert is sent to the adjuster or case manager. The claim management team can discuss the alert with the pharmacist for recommendations, including the possibility of a DUA. 24 basis of a comprehensive approach to the management of prescription medications. The DUA offers a 360 degree view of the patient, including co-morbid conditions, diagnostic tests, treatment modalities, and the patient’s specific medical history, all as they relate directly to the medications being prescribed. It has shown great value when applied earlier in a case. The DUA provides the opportunity to discover circumstances where there may be multiple prescribers recommending the same medications or medications, which, when taken together, may cause the patient to have adverse reactions. A DUA and P2P may be effective in the following circumstances: More than one prescribing physician Utilization of narcotics Duplicative therapies (i.e., two drugs in the same therapeutic class) Prescription medication costs exceeding $5,000 annually As a clinically based document, the DUA serves as a basis for discussion with the prescriber or prescribers. The discussion can be between the adjuster, a telephonic nurse, a field case nurse or, when necessary, through a physician peer discussion. Recommendations for brand name drugs rather than generics Physician Peer-to-Peer (P2P) An in-house Medical Director reviews the Drug Utilization Assessment A recent Coventry study involving a large national carrier revealed that the physician Peer-to-Peer (P2P) discussion resulted in agreement to change the regimen in 86% of the cases. When applied to the rebuttal process on two recent Medicare Set-Aside cases, one Coventry customer realized savings in excess of $740,000.00. Coventry’s Medical Director contacts the prescribing physicians to discuss implementation of the recommendations outlined in the Drug Utilization Assessment A report summarizes the communication and outlines the specific agreed upon modifications and the rationale for any non-compliance with the drug utilization recommendations Recently, the DUA’s value was further enhanced when the Centers for Medicare and Medicaid Services indicated that it is no longer necessary to allocate for medications used “off-label” as defined by the FDA. DUAs identify specific circumstances where medication usage may be “off-label”. The DUA, integrated with telephonic or field case management or physician P2P discussions, forms the 25 Containing Out-of-Network Prescription Costs This year First Script introduced a multifaceted approach to address third-party billing concerns in an effort to further contain workers’ compensation prescription costs for our clients. First Script historically has employed a strong, integrated out-of-network program that uses bill review data to drive the next prescription fill back into our network by placing an outbound call to the pharmacy. While this process has been very successful, we recognize there is an opportunity for enhancement. The following projects greatly increase our ability to control third-party billing costs. Re-Indexing with Major Pharmacy Chains First Script has developed direct pharmacy relations with major retail chains to help increase the in-network capture of pharmacy transactions. These relationships allow First Script to lock in eligibility to the First Script program for participating pharmacy chains at the claimant level. This will minimize third-party and direct billing activity and provide First Script with the means to capture more transactions at the contracted rate. Repackager Re-pricing Initiative Repackagers take previously manufactured medications, “repack” them into smaller units, create a new National Drug Code (NDC), and oftentimes inflate the Average Wholesale Price (AWP) of the medication. These inflated AWPs are then used to determine fee schedule pricing through the bill review engine. To address this, First Script has implemented a repackager re-pricing program in Florida to identify an AWP that more closely reflects the “originating” manufacturer’s AWP price. First Script flags repackaged and relabeled medications through the bill review engine. This allows us to identify these medications and reduce the cost. First Script is currently researching other states that are candidates for the repackager program. Clinic Bill Normalization and Re-pricing Initiative While First Script does not take the position that physicians should not dispense medications, we do support cost management for those transactions. In the third quarter of 2010, First Script began working with a clinic partner to provide a list of clients, which will be identified as First Script participating employers. For these identified employers, prescriptions will be billed directly through First Script. We are also in the process of expanding this program to include additional clinics. Third-Party Biller Relationships Third-party billers are often used by pharmacies to ensure they receive reimbursement for workers’ compensation prescriptions. To reduce the pharmacy’s desire to use a third-party biller, First Script has developed relationships with third-party billers that will alleviate third-party biller communication for the claims examiner, reduce the time needed to address prescriptions that are filled through these providers, and ultimately reduce the costs charged by third-party billers. All of the phases listed above are critical to increasing network penetration and reducing costs. This focus also decreases claims examiner and injured worker involvement by better managing both retail and non-retail client drug spend. 26 Upcoming Patent Expirations Manufacturers of brand name medications typically hold patents on their products between seven and fourteen years. Once the brand name patent expires, only then are manufacturers permitted to gain Food and Drug Administration (FDA) approval to sell a chemically and biologically comparable generic. It is important to note that the introduction of a generic medication to the marketplace sometimes has no bearing whatsoever on the branded product's original patent expiration date. There are often patent challenges and extensive litigation trials between companies. Sometimes a generic manufacturer can challenge a patent and gain approval before the original expiration date and, contrarily, sometimes the brand manufacturer can file for extensions, preventing generics for years longer than the original expectation. Often times the first manufacturer to gain approval for their generic is granted a 180 day exclusivity period during which no other generic may be sold. The following list details some common workers’ compensation brand name medications and their patent expiration dates. BRAND DRUG GENERIC DRUG THERAPEUTIC CLASS PATENT EXPIRATION Lyrica Celebrex Lidoderm Cymbalta Ambien CR Nexium Lexapro Lunesta Kadian* Avinza Flector Opana ER Seroquel Provigil Amrix Voltaren Gel Arthrotec Advair Rozerem Aciphex Abilify Pregabalin Celecoxib Lidocaine Duloxetine Zolpidem CR Esomeprazole Escitalopram Eszopiclone Morphine ER Morphine ER Diclofenac Oxymorphone ER Quetiapine Modafinil Cyclobenzaprine ER Diclofenac Diclofenac/misoprostol Fluticasone/salmeterol Ramelteon Rabeprazole Aripiprazole Anticonvulsant Anti-inflammatory, NSAID Anesthetic Antidepressant, Non-TCA Hypnotic agent Anti-ulcer Antidepressant, Non-TCA Hypnotic agent Sustained-release narcotic Sustained-release narcotic Dermatological/Topical Sustained-release narcotic Anti-psychotic Central nervous system stimulant Muscle relaxant Dermatological/Topical Anti-inflammatory, NSAID Allergy/Asthma Hypnotic agent Anti-ulcer Anti-psychotic October 2013 November 2013 May 2012 June 2013 December 2019 May 2014 September 2011 January 2012 March 2010 November 2017 April 2014 September 2013 March 2012 April 2012 November 2023 October 2010 February, 2014 March 2011 March 2017 May 2013 October 2014 (If multiple patents, earliest date is listed) *Although Kadian’s patent has expired, there are no approved generics for this product on the market Note: Dates listed are subject to change and may not necessarily reflect dates that generics will be available References: 1) U.S. Food and Drug Administration, The Orange Book: Approved Drug Products with Therapeutic Equivalence Evaluations. Accessed online July 14, 2010. Available at: http://www.accessdata.fda.gov/scripts/cder/ob/default.cfm. 2) Drug Topics, “Going, Going, Gone” August 10, 2009. 3) The Pharmacist’s Letter, 2009; 25(10):251011. 27 Drug Delivery Methods Drug delivery refers to the manner in which medications enter the body. Due to advances in medicine, drugs may be administered in a variety of ways utilizing many different delivery systems, including orally (capsules, tablets, caplets, elixirs, syrups, emulsions or suspensions); sublingually (under the tongue); topically/transdermally (patches, ointments, creams, pastes, lotions, or gels ); rectally or vaginally (suppositories); ophthalmic (into the eye), otic (into the ear), nasally (into the nose); inhaled (through the lungs); subcutaneously (injection directly under the skin); intramuscularly (into the muscle); or intravenously (through the vein). In the workers’ compensation industry, commonly utilized medications may be grouped into the categories of solids, liquids, injectables and topicals. Solids Medications in this category include capsules, tablets, and lozenges. These can further be divided into: Immediate release: The drug immediately begins to release upon ingestion. and Neurontin® capsules. Examples are Vicodin® tablets Time-released: The medication dissolves slowly and releases over time upon ingestion. These medications are also known as Sustained Release (SR), Sustained Action (SA), Extended Release (ER, XR, or XL), Modified Release (MR) Controlled Release (CR), and Continuous Release (CR or Contin). The most common example is OxyContin® tablets. Buccal tablets: Utilized differently because they are not swallowed, but rather placed between the cheek and gum where they remain in place until they are dissolved and the medication is absorbed across the lining of the mouth. An example of this dosage form is Fentora®, a narcotic pain medication containing fentanyl. Lozenges: Medications also designed to be held in the mouth and dissolved slowly. An example of this is Actiq® (fentanyl), a narcotic pain medication approved for break-through cancer pain. Liquids Medications in this category are used on a much smaller scale than solid drugs, largely because of their bulky nature. They include: elixirs, emulsions, syrups, and suspensions. An example of a liquid is Lortab® elixir, a narcotic used for pain relief. Injectables Drugs in this category (also called parenterals) are liquid medications that are taken into the body or administered in a manner other than through the digestive tract or gastrointestinal system. They can be administered intravenously (IV), intramuscularly (IM), or subcutaneously (SC, SQ or subQ) An example of an injectable is Fentanyl. Topical Medications in this category contact the skin surface and penetrate by three potential pathways. a). Through the sweat ducts b). Through the hair follicles and sebaceous or oil glands c). Directly across the outer most layer of the skin called the stratum corneum. The two most commonly used topicals in the workers’ compensation industry are patches and gels. Include drugs in some form of membrane. An example of this is Duragesic® (fentanyl) patches and Lidoderm® (lidocaine) patches both used for pain. Patches -Adhesive pads: Gels-Solid jelly like materials: Can range from soft to hard. By weight, gels are mostly liquid but they are thicker in the container and liquefy upon contact with the skin. An example is Voltaren® Gel, a non-steroidal anti-inflammatory analgesic for pain. Reference: Cross, S E Roberts, m s curr.-Delivery, 2004, 1.81-92, www.fda.gov, and Drugs Facts and Comparison 28 2010 Pipeline Drugs Pipeline drugs are medications that a pharmaceutical company has under development or testing. The development of drugs involves various phases that can be grouped into three stages: (a) Pre-clinical trials, (b) Clinical trials and (c) Marketing or post-approval. The drugs listed in the table below are all in the clinical trial stage and are awaiting approval by the Food and Drug Administration (FDA). Drug Manufacturer Indication Therapeutic Category Estimated Launch Date Abstral (Fentanyl) Orexo AB Breakthrough Cancer Pain Opioid Analgesic Unknown Retigabine GlaxoSmithKline Antiepileptic Broad Spectrum Anticonvulsant 3rd Quarter 2010 Naproxcinod NicOx S.A. Osteoarthritis New NSAID-CINODS Unknown Contrave (Bupropion SR/ Naltrexone SR) Orexigen Therapeutics, Inc. Obesity CNS Inhibitor 4th Quarter 2010 Civanex Cream (Zucapsaicin) Winston Laboratories, Inc. Osteoarthritis Topical Analgesic Unknown Eladur (Bupivicaine Patch) King Pharmaceuticals, Inc. Chronic Low Back Pain Topical Patch Unknown Xarelto (Rivaroxaban) Johnson & Johnson Ortho-McNeil Thrombo-Embolism Oral Anticoagulant 3rd Quarter 2010 JZP-6 Oral Solution (Sodium Oxybate) Jazz Phamaceuticals, Inc. Fibromyalgia CNS Depressant Unknown Sativex (TetrahydrocannaBinol -THC) and Cannabinol -CBD) Otsuka Pharmaceuticals Severe NeuropathicRelated Cancer Pain Cannabis Extract Sublingual Spray Unknown DM-1796 (Gabapentin Extended Release) Abbott Products, Inc. Neurological Pain Anticonvulsant Unknown Horizant ER Gabapentin (Enacarbil) GSK Moderate to Severe Restless Leg Syndrome Anticonvulsant Unknown Zenvia (Dextromethorphan and Quinidine Sulfate Avanir Pharmaceuticals, Inc. Diabetic Peripheral Neuropathy Pain CNS Inhibitor 4th Quarter 2010 NP-1 (Ketamine and Amitriptyline Cream) EpiCept Corporation Post Herpetic Neuralgia Topical Analgesic Unknown Reference: www.drugs.com/new-drug-applications Formulary: FDA Pipeline Preview, June 2010 29 Coventry Workers’ Comp Services, a division of Coventry Health Care, Inc. (NYSE: CVH), is the leading provider of cost and care management solutions for property and casualty insurance carriers, (workers’ compensation and auto insurers), third-party administrators and selfinsured employers. We design best-in-class products and services to help our partners restore the health and productivity of injured workers and insureds as quickly and as cost effectively as possible. We accomplish this by developing and maintaining consultative, trusting partnerships with our clients and stakeholders, built on a foundation of innovative and customized solutions that support the claims management process. First Script understands the unique requirements of pharmacy benefits management and durable medical equipment programs. We offer not only an extensive pharmacy network, but also a fully integrated first fill program that provides complete control of pharmacy services through out the life of a claim. First Script also goes beyond traditional durable medical equipment programs to offer a national network of local providers for all types of workers’ compensation claimant products and services. First Script 155 N. Rosemont Blvd., Suite 201 Tucson, Arizona 85711 www.coventrywcs.com Solutions to restore health and productivity.