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Overview of the Final Nursing Home Survey Guidelines Pharmacy Services & Unnecessary Medications Copyright 2006 American Society of Consultant Pharmacists Timeline for Pharmacy Tags • Reminder: Appendix N Deleted - Effective June 2004 • Pharmacy Services and Unnecessary Medications – – – – Released for 1st public comment period - October 2004 1st Comment period ended - January 2005 Expert panels reconvened - April 2005 Due to significant number of comments received during 1st comment period and subsequent revisions, a 2nd draft was released September 2005 – Expert panels reconvened again - December 2005/January 2006 – Final documents released - September 15, 2006 – Effective date/implementation scheduled for DECEMBER 18, 2006 c 2006 ASCP 2 Tags Combined • Unnecessary Medications – New Tag F329 = Old Tags F329, F330, F331 • Unnecessary Drugs • Pharmaceutical Services – New Tag F425 = Old Tags F425, F426, and F427 (b) (1) • Pharmaceutical Services, Procedures, Consultation – New Tag F428 = Old Tags F428, F429, F430 • DRR/MRR – New Tag F431 = Old Tags F427 (b) (2) and (3), F431, F432 • Control, Labeling, and Storage c 2006 ASCP 3 SOM Components • Appendix P: Survey Protocol for LTC – Task 5E Revised - Now evaluates not only the Medication Pass, but ALSO Pharmacy Services (F425), including Storage/Labeling/Controlled Medications (F431) • Appendix PP: Interpretive Guidelines for LTC – Regulations (Haven’t Changed) – Interpretive Guidelines, or Guidance to Surveyors – Investigative Protocol • New combined investigative protocol for Unnecessary Medications (F329) and Medication Regimen Review (F428) – Severity Guidance c 2006 ASCP 4 Online SOM Resources • CMS website with SOM: http://www.cms.hhs.gov/manuals/downloads/som107 _Appendicestoc.pdf • CMS website with Survey and Certification (S&C) Memos to States/Regions http://www.cms.hhs.gov/SurveyCertificationGenI nfo/PMSR/list.asp#TopOfPage • Nursing Facility Survey and Regulations Briefing Room on ASCP website: www.ascp.com/public/pr/nfsurvey or www.ascp.com/som c 2006 ASCP 5 Key Points • Regulations themselves have not changed - same as they are now • These new guidelines take a holistic approach to medication management, stressing the importance of the care process as a whole • Just because these Tags contain the majority of pharmacy-related content within Appendix PP, do not ignore other sections of Appendix PP that are impacted by or mention medication use AND, above all, do not forget to provide good pharmaceutical care c 2006 ASCP 6 F425 - Pharmaceutical Services Regulations • • The facility must: – Provide routine and emergency medications and biologicals to its residents, or obtain them under an agreement – Provide pharmaceutical services including procedures that assure the accurate acquiring, receiving, dispensing, and administering of all medications and biologicals to meet the needs of each resident – Employ or obtain the services of a licensed pharmacist who provides consultation on all aspects of the provision of pharmacy services in the facility The facility may: – Permit unlicensed personnel to administer medications if state law permits, but only under the general supervision of a licensed nurse. c 2006 ASCP 7 Pharmacy Services What does it say now? • Interpretive Guidelines – The facility is responsible for the timeliness of the services – A drug, whether prescribed on a routine, emergency, or as needed basis, must be provided in a timely manner; If failure to provide a prescribed drug in a timely manner causes the resident discomfort or endangers his or her health and safety, then this requirement is not met • Survey Procedures – During the surveyor’s observation of the drug pass, are all ordered medications available? c 2006 ASCP 8 New F425 - Overview • Provision of Medications – Timeliness/Availability to meets needs of each resident • Services of a Pharmacist – “The pharmacist is responsible for helping the facility obtain and maintain timely and appropriate pharmaceutical services that support residents’ healthcare needs, that are consistent with current standards of practice, and that meet state and federal requirements.” • Pharmaceutical Services Procedures – – – – Acquiring Receiving Dispensing Authorized personnel - Administering - Disposal - Labeling/Storage, incl. CSs c 2006 ASCP 9 F425 - Pharmaceutical Services Provision of Meds • Factors that may help determine timeliness and guide procedures for acquisition include: – Availability of meds to enable continuity of care for anticipated admission or transfer – Condition of resident (e.g., severity/instability of condition, current S+S, potential impact of a delay) – Category of medication (e.g., antibiotic, pain) – Availability of medications in emergency supply – Ordered start time c 2006 ASCP 10 F425 - Pharmaceutical Services Pharmacist Services • Consultant pharmacist’s responsibilities, in collaboration with the facility, MAY include: WE’LL START WITH A BIG ONE….. – Coordinate pharmaceutical services if and when multiple service providers are utilized, for example: • Multiple pharmacies • Infusion provider • Hospice • Prescription Drug Plan (PDP) c 2006 ASCP 11 F425 - Pharmaceutical Services Pharmacist Services – P+Ps - “Develop, implement, evaluate, and revise (as necessary)” – IV therapy procedures – E-Kits – Develop mechanisms for communicating, addressing, resolving issues related to pharmacy services – “Strive to assure” meds requested, received and administered in timely manner – Med pass review/feedback – ID team, QA+A Committee c 2006 ASCP 12 F425 - Pharmaceutical Services Pharmacist Services – MRR procedures (more on MRR in F428, but this is P+Ps) • Conducting MRR for each resident • Addressing expected time frames for conducting and reporting • Addressing irregularities • Documenting and reporting results • Addressing MRRs for residents: – anticipated to stay less than 30 days – who experience an acute change in condition as identified by facility staff c 2006 ASCP 13 F425 - Pharmaceutical Services Pharmacist Services • NOTE (in document): “Facility procedures should address… • how and when the need for a consultation will be communicated, • how the medication review will be handled in the pharmacist is off-site, • how the results or report of their findings will be communicated to the physician • expectations for the physician’s response and follow-up, and • how and where this information will be documented.” c 2006 ASCP 14 F425 - Pharmaceutical Services Pharmacist Services – Procedures/guidance regarding contacting prescriber about medication issue (e.g., info to gather) – Process for receiving, transcribing, recapitulating med orders – Medication packaging – Automated dispensing machines/delivery devices/cabinets – Medication references/resources – Staff education c 2006 ASCP 15 F425 - Pharmaceutical Services Acquisition • Acquisition – – – – – – – Emergency supply Contacting pharmacy (When, How, Who) Availability of needed meds/Timeliness Meds dispensed by PHYSICIAN Verification/clarification of orders Procedure when delivery of med delayed or NA Transport of meds from pharmacy to facility c 2006 ASCP 16 F425 - Pharmaceutical Services Receiving + Dispensing • Receiving – How receipt will occur and how it will be reconciled with order/requisition – How staff will be identified/authorized to receive and how access will be controlled until stored – Which staff will incorporate into resident-specific area • Dispensing – Delivery and receipt of medications from pharmacy – Labeling – Type of medication packaging c 2006 ASCP 17 F425 - Pharmaceutical Services Administering • Administering – Continuity of staff without unnecessary interruptions – Reporting of medication errors (How, To Whom) – Staff authorized to administer – 5+ “rights” – Defining schedules for administration to: • Maximize effectiveness • Avoid potential interactions • Recognize resident choices and activities c 2006 ASCP 18 F425 - Pharmaceutical Services Administering – General guidelines for monitoring (What, Frequency, Timing, Results) – Techniques and precautions for alternate routes – Documentation of administration – Providing medication and medication device information/references – Clarifying orders prior to administration – Reconciliation of orders - including who may transcribe orders and enter orders onto MAR c 2006 ASCP 19 F425 - Pharmaceutical Services Disposing • Disposing – Timely identification and removal of meds from current supply – Storage method for meds awaiting disposal, including control and accountability – Method and documentation of disposition c 2006 ASCP 20 F425 - Pharmaceutical Services Labeling, Storage, CSs • • • Labeling – Labeling of meds prepared by facility staff (e.g., IVs) – Requirements for non-pharmacy labels (e.g., OTC) – Label changes due to change in order/directions – Labeling of multi-dose vials (e.g., expiration dates) Storage – Location, security and authorized access to med storage areas, discontinued meds – Environmental conditions of storage areas Controlled Meds – Location, security and authorized access - including refrigerated CSs – Records of receipt and disposition for all controlled meds – Periodic reconciliation (e.g., Frequency, How, By Whom, Documentation) c 2006 ASCP 21 F425 - Pharmaceutical Services Authorized Personnel • Authorized Personnel – Assure only persons authorized by state/federal requirements are administering – Provide current info on meds being used in facility – Assure ongoing competency of all staff (inc. PRN) – Training on med administration-related devices/equipment (e.g, IV pumps, glucometers, nebulizers, syringes, etc) – Identifying pharmacy personnel authorized to access medications c 2006 ASCP 22 F425 - Pharmaceutical Services • This impacts dispensing pharmacies too! – Emergency supply (E-Kits) and 24/7 availability - ensuring timeliness – Procedures for clarifying orders – Procedures for contacting prescriber – Procedures when medication is not available or delivery is delayed – Procedures for transporting meds between pharmacy and facility – Defining schedules for administering medications (HOAs on medical records) – Reporting of medication errors c 2006 ASCP 23 F428 - MRR Regulations • The drug regimen of each resident must be reviewed at least once a month by a licensed pharmacist • The pharmacist must report any irregularities to the attending physician and the director of nursing • And, these reports must be acted upon c 2006 ASCP 24 MRR What does it say currently? • It may be necessary to review more frequently (e.g., every week) depending on the resident’s condition and the drugs they are taking • Drug Therapy With High Potential for Less Severe Adverse Outcomes In Persons Over 65 (AKA: Beers list) • Review by the surveyor is not necessary for drug therapy given the first seven consecutive days upon admission/readmission, unless there is an immediate threat to health and safety c 2006 ASCP 25 MRR What does it say currently? • The director of nursing and the attending physician are not required to agree with the pharmacist’s report, • Nor are they required to provide a rationale for their acceptance or rejection of the report • They must, however, act upon the report • This may be accomplished by indicating acceptance or rejection of the report and signing their names • The facility is encouraged to provide the medical director with a copy of drug regimen review reports and to involve the medical director in reports that have not been acted upon c 2006 ASCP 26 F428 - MRR • What is MRR? – Definition in glossary: Thorough evaluation of the medication regimen of a resident, with the goal of promoting positive outcomes and minimizing adverse consequences associated with medications; The review includes preventing, identifying, reporting, and resolving medication-related problems (MRPs), medication errors, or other irregularities and collaborating with others members of the interdisciplinary team. – So, what are these “things” we’re preventing, identifying, reporting, and resolving…how are MRPs, med errors, and irregularities defined? c 2006 ASCP 27 F428 - MRR MRPs • A Medication-Related Problem (MRP) is: (NOTE HOW SIMILAR THESE ARE TO THE UNNECESSARY MED ‘CATEGORIES’ IN F-TAG 329) – Use of a medication without adequate indication for use – Use of a medication without identifiable evidence that safer alternatives or more clinically appropriate medications have been considered c 2006 ASCP 28 F428 - MRR MRPs – Use of an appropriate medication that is not reaching treatment goals for reasons such as timing or techniques of administration, dosing intervals, etc. – Use of a medication in an excessive dose (including duplicate therapy) or for excessive duration – Presence of an adverse consequence associated with medication(s) c 2006 ASCP 29 F428 - MRR MRPs – Use of a medication without adequate monitoring • Inadequate monitoring of response to med, or • Inadequate response to findings/results – Presence of or risk for medication errors – Presence of a clinical condition that might warrant initiation of medication – Medication interaction - “TOP 10 DIs in LTC” c 2006 ASCP 30 F428 - MRR Med Errors • A medication error isn’t actually defined in document, but NCCMERP definition is: “A medication error is any preventable event that may cause or lead to inappropriate medication use or patient harm while the medication is in the control of the health care professional, patient, or consumer. Such events may be related to professional practice, health care products, procedures, and systems, including prescribing; order communication; product labeling, packaging, and nomenclature; compounding; dispensing; distribution; administration; education; monitoring; and use.” Source: www.nccmerp.org c 2006 ASCP 31 F428 - MRR Irregularities • An irregularity is: “Any event that is inconsistent with usual, proper, accepted, or right approaches to providing pharmaceutical services (as defined by F425), or that impedes or interferes with achieving the intended outcomes of those services.” c 2006 ASCP 32 F428 - MRR • Given those definitions, important to note that document also states: “This guidance is not intended to imply that all adverse consequences related to medications are preventable, but rather to specify that a SYSTEM exists to assure that medication usage is evaluated on an ongoing basis…” c 2006 ASCP 33 F428 - MRR Frequency of Review • Monthly or more frequently, depending on: – the resident’s condition, and – the risks for adverse consequences related to current medications • This sounds alarming, but it is virtually the same as current survey guidelines • Remember, there was additional guidance related to this in F425 c 2006 ASCP 34 F428 - MRR Where to Conduct the Review • Generally within facility because important info may be attainable only by talking to staff, reviewing “paper” chart, observing/speaking with resident • BUT new technology (electronic health records) may permit the PHARMACIST to conduct some components of the review outside of the facility c 2006 ASCP 35 F428 - MRR Sources of Information • May include, but are not limited to: – – – – – – MARs Prescribers’ orders Progress, nursing, consultants’ notes RAI/MDS Lab reports Forms/reports reflecting behavioral monitoring and/or changes in condition – QM/QI reports – Attending physician, facility staff – Interviewing, assessing, and/or observing the resident • Ask yourself, how many of these do I use and should I be using more sources or different types of sources than I am now? c 2006 ASCP 36 F428 - MRR MRR Considerations • MRR considers factors, such as: – Has MD/staff documented objective findings, diagnoses, symptoms to support indication? – Has MD/staff identified and acted upon, or should they be notified about, resident’s allergies, potential interactions/averse consequences? – Is dose, frequency, route, duration consistent with resident’s condition, manufacturer’s recommendations, and applicable standards of practice? c 2006 ASCP 37 F428 - MRR MRR Considerations – Has MD/staff documented progress towards or maintenance of the goal(s) for medications therapy? – Has MD/staff obtained and acted upon lab results, diagnostic studies, or other measurements? – Do med errors exist or do circumstances exist that make errors likely to occur? c 2006 ASCP 38 F428 - MRR MRR Considerations – Has MD/staff noted and acted upon possible medication-related causes of recent or persistent changes in the resident’s condition?…think “Geriatric Syndromes” • • • • • • • • Anorexia and/or unplanned weight loss, or weight gain Behavioral changes, unusual behavior patterns Bowel function changes Confusion, cognitive decline, worsening of dementia Dehydration, fluid/electrolyte imbalance Depression, mood disturbance Dysphagia, swallowing difficulty Excessive sedation, insomnia, or sleep disturbance c 2006 ASCP 39 F428 - MRR MRR Considerations • • • • • • • • Falls, dizziness, impaired coordination GI bleeding Headaches, muscle pain, generalized aching/pain Rash, pruritis Seizure activity Spontaneous or unexplained bleeding, bruising Unexplained decline in functional status Urinary retention or incontinence c 2006 ASCP 40 F428 - MRR Notification of Findings • Pharmacist is expected to document either that no irregularity was identified or the nature of the irregularity(ies), if any were identified – If none, pharmacist would include a signed and dated statement to that effect • Different iterations of this requirement throughout the various drafts, but final focus is on the use of the word “report” as a verb rather than a noun c 2006 ASCP 41 F428 - MRR Notification of Findings • Timeliness of notification depends on potential for or presence of serious adverse consequences – Examples include: • Bleeding resident on anticoagulants • Possible allergic reactions to antibiotic • Collaborate with facility to identify the most effective means of notification/documentation • Notification/documentation may be done electronically c 2006 ASCP 42 F428 - MRR Notification of Findings • Pharmacist’s findings are part of clinical record – If not maintained within active clinical record, it must still be maintained within facility and readily available • Find balance between: – Encouraging/facilitating other HC professionals to utilize – Allowing facilities flexibility in determining a consistent location that suits their needs c 2006 ASCP 43 F428 - MRR Response to Findings • Physician either: – Accepts recommendation and acts, OR – Rejects the recommendation and provides a brief explanation, such as in a dated progress note • “It is not acceptable for a physician to document only that he/she disagrees with the report without providing some basis for disagreeing.” • For those direct care issues that do not require physician intervention, DON or designated nurse can address and document action taken c 2006 ASCP 44 F428 - MRR Lack of Action or Rejection • What about when MD does not act upon or rejects MRR report/recommendations and there is the potential for serious harm? – Facility and CP should contact Medical Director, OR – When attending and MD are same, follow established facility procedure to resolve the situation • No specific timeframe provided for when a report that is not acted upon officially becomes delinquent or “not acted upon” c 2006 ASCP 45 F428 - MRR Lack of Action or Rejection • What about continuing to document an issue that the physician has disregarded or rejected? – “Pharmacist does not need to document a continuing irregularity each month if it’s deemed to be clinically insignificant or there is evidence of valid clinical reason for rejection” – “In these situations, pharmacist need only reconsider annually whether to report again or make new recommendation.” c 2006 ASCP 46 F431- Storage, Labeling, Controlled Meds Regulations • The facility must employ or obtain the services of a licensed pharmacist who: – Establishes a system of records of receipt and disposition of all controlled medications in sufficient detail to enable an accurate reconciliation – Determines that medication records are in order and that an account of all controlled medications is maintained and periodically reconciled c 2006 ASCP 47 F431- Storage, Labeling, Controlled Meds Regulations • Labeling… – Medications and biologicals used in the facility must be labeled in accordance with currently accepted professional principles, and include the appropriate accessory and cautionary instructions and expiration date when applicable • Storage… – In accordance with state and federal laws/requirements, the facility must store all medications and biologicals in locked compartments under proper temperature controls and permit only authorized personnel to have access (to the keys) c 2006 ASCP 48 F431- Storage, Labeling, Controlled Meds Regulations • Controlled Meds… – The facility must provide separately locked, permanently affixed compartments for storage of controlled medications listed in Schedule II…and other medications subject to abuse, except when the facility uses single unit package medication distribution systems in which the quantity stored is minimal and a missing dose can be readily detected c 2006 ASCP 49 F431 - Labeling Now vs. New • Now: This section imposes currently accepted labeling requirements on facilities, even though the pharmacies will be immediately responsible for accomplishing the task • New: Same c 2006 ASCP 50 F431 - Labeling Now vs. New • Now: – Critical elements of the drug label in a long-term care facility are: • Name of the drug • Strength – The names of the resident and the physician do not have to be on the label of the package, but they must be identified with the package in such a manner as to assure that the drug is administered to the right patient – All drugs approved by the Food and Drug Administration must have expiration dates on the manufacturer’s container – Expiration dates must be on the labels of drugs used in long term care facilities unless State law stipulates otherwise c 2006 ASCP 51 F431 - Labeling Now vs. New • New: – Although medication packaging may vary, medication label at a minimum includes: • Names of the drug (generic and/or brand) • Strength • Expiration date, when applicable • And typically includes: – Resident’s name – Route of administration – Appropriate instructions/precautions c 2006 ASCP 52 F431 - Labeling New Key Points • As mentioned in F425, facility ensures labeling in response to order changes is accurate and consistent with state requirements (I.e., nurse cannot re-label or alter label) • For meds designed for multiple administrations “Multi-Dose” (e.g., inhalers, eye drops, etc), label is affixed in manner to promote administration to resident for whom it was prescribed – In other words, if there isn’t space for an entire label, still better have - at least - resident’s name on actual product container c 2006 ASCP 53 F431 - Labeling New Key Points • For compounded IV preparations, label contains: – – – – – – – – Name and volume of solution Resident’s name Infusion rate Name and quantity of ach additive Date of preparation Initials of compounder Date and time of administration Initials of person administering medication if different than compounder – Ancillary precautions, as applicable – Date after which mixture must not be used (i.e., expiration date) c 2006 ASCP 54 F431 - Labeling New Key Points • For OTCs in bulk containers (in states that permit), label contains: – Original manufacturer’s OR pharmacy-applied label indicating: • Medication name • Strength • Quantity • Accessory instructions • Lot number • Expiration date, when applicable • If resident-specific supply of OTC, label contains above plus resident’s name c 2006 ASCP 55 F431 - Access and Storage Now vs. New • Now: Compartments, in the context of these regulations, include but are not limited to drawers, cabinets, rooms, refrigerators, carts, and boxes • New: Basically the same • Now: The provisions for authorized personnel to have access to keys must be determined by the facility management in accordance with Federal, State, and local laws and facility practices • New: Basically the same, except it also mentions access in accordance with “standards of practice” c 2006 ASCP 56 F431 - Access and Storage Now vs. New • Now: Separately locked means that the key to the separately locked Schedule II drugs is not the same key that is used to gain access to the non-Schedule II drugs • New: Basically the same c 2006 ASCP 57 F431 - Access and Storage New Key Points • What about pharmacy technicians doing medication cart exchange or medication cart inspections? – As mentioned in F425, it does specifically address technicians who may be delegated access to medications by the facility’s pharmacist as a function of their jobs c 2006 ASCP 58 F431 - Access and Storage New Key Points • Access can be controlled by keys, security codes or cards, or other technology (e.g., fingerprints) • Med pass… – During a med pass, medications must be under the direct observation (vs. control) of the person administering the medications or locked in the med storage area/cart • Self-administration… – Important that the facility have procedures for the control and safe storage of medications for those residents who can selfadminister c 2006 ASCP 59 F431 - Access and Storage New Key Points • Temperature, light, humidity… – Important that facility implement procedures that address and monitor the safe storage and handling of medications in accordance with manufacturer specifications, state requirements, and standards of practice (e.g., USP) c 2006 ASCP 60 F431 - Controlled Medications Now vs. New • Now: A record of receipt and disposition of controlled drugs does not need to be proof of use sheets; The facility can use existing documentation such as the Medication Administration Record (MAR) to accomplish this record c 2006 ASCP 61 F431 - Controlled Medications Now vs. New • New: – Record of RECEIPT of ALL controlled medications with sufficient to allow reconciliation, specifying: • Name and strength of medication • Quantity • Date received • Resident’s name (unless using automated dispensing machine, etc) – Records of USAGE And DISPOSITION (destruction, waste, return, other disposal) of ALL controlled medications with sufficient detail to allow reconciliation, e.g., • MAR • Proof-of-use sheets • Declining inventory sheets – Emergency Kits…. • Don’t forget about controlled medications located in the emergency supply, if your state allows c 2006 ASCP 62 F431 - Controlled Medications Now vs. New • Now: Periodic reconciliations should be monthly • New: Periodic reconciliation of receipt, disposition, and inventory for ALL controlled medications (monthly or more frequently) – CP not required to perform reconciliation, but rather to evaluate and determine that the facility maintains an account of all controlled medications and completes reconciliation c 2006 ASCP 63 F431 - Controlled Medications Now vs. New • Now: If they reveal shortages: – Pharmacist and the director of nursing may need to initiate more frequent reconciliations – Facility may have to utilize proof of use sheets on all controlled drugs for all shifts – When the source of shortage is located and remedied, the facility may go back to periodic reconciliation by the pharmacist • New: If discrepancies in records are identified or loss has occurred: – CP and facility develop and implement recommendations for resolution – Review and revise monitoring procedures, as necessary (e.g., increasing the frequency of reconciliation) c 2006 ASCP 64 F329 - Unnecessary Meds Regulations • Each resident’s medication regimen must be free from unnecessary medications. An unnecessary medication is any medication when used: – – – – – In excessive doses (including duplicate therapy); or For excessive duration; or Without adequate monitoring; or Without adequate indications for its use; or In the presence of adverse consequences which indicate the dose should be reduced or discontinued; or – Any combinations of the reasons above c 2006 ASCP 65 F329 - Unnecessary Meds Regulations • Antipsychotics - Based on a comprehensive assessment of a resident, the facility must ensure that: – Residents who have not used antipsychotic drugs are not given these drugs unless antipsychotic drug therapy is necessary to treat a specific condition as diagnosed and documented in the clinical record; and – Residents who use antipsychotic drugs receive gradual dose reductions, and behavioral interventions, unless clinically contraindicated, in an effort to discontinue these drugs c 2006 ASCP 66 F329 - Unnecessary Meds General • Diagnosis alone may not warrant treatment with medication • PRN meds - important to evaluate and document: – Indication(s) – Specific circumstances for use – Frequency of administration • Orders from multiple prescribers can increase resident’s chances of receiving unnecessary meds • Although the guidelines generally emphasize the older adult resident, adverse consequences can occur at any age; therefore, these requirements apply to residents of all ages c 2006 ASCP 67 F329 - Unnecessary Meds Indication • Lots of opportunities for or circumstances that warrant evaluation of medication’s indication: – Admission or re-admission – Multiple prescribers – New medication order, especially if used as emergency measure – Psychiatric disorder or distressed behavior – Change in condition, decline in function, new symptom/condition c 2006 ASCP 68 F329 - Unnecessary Meds Indication • Considerations include whether…. – An appropriately detailed evaluation/assessment has occurred – Other causes of symptoms have been ruled out – Signs, symptoms are persistent or clinically significant enough to warrant medication use – Non-pharmacological interventions were considered – Particular medication is indicated to manage that symptom/condition c 2006 ASCP 69 F329 - Unnecessary Meds Indication • Considerations include whether…. – Intended or actual benefit justifies potential risks – Resident’s goals and preferences (inc. end-of-life needs) have been considered – Resident has allergies to the medication or the potential for interactions – Effectiveness and adverse consequences from previous and current therapy have been considered c 2006 ASCP 70 F329 - Unnecessary Meds Monitoring • TABLE of sample monitoring tools and sources/references • What is the purpose of monitoring? – To incorporate medication-related goals and monitoring parameters into the resident’s comprehensive care plan • In some cases, can refer to facility’s established protocols or P+Ps – To optimize med therapy (BENEFITS) while minimizing adverse consequences (RISKS) – To establish parameters for evaluating the ongoing need for the medications – To verify or differentiate the underlying diagnoses/causes of signs and symptoms c 2006 ASCP 71 F329 - Unnecessary Meds Monitoring • What are the steps or components of monitoring? – Identify the essential information and how it will be obtained and reported – Determine the frequency and duration of monitoring – Define the methods for communicating, analyzing, and acting upon relevant information – Re-evaluate and update monitoring approaches • Using QUANTITATIVE and QUALITATIVE monitoring parameters facilitates consistent and objective collection of info by facility c 2006 ASCP 72 F329 - Unnecessary Meds Dose/Duplicate Therapy • Lab tests (i.e., serum medication concentrations) are only rough guide – Significant adverse consequences can occur even with lab results are within therapeutic range – Lab results alone warrant evaluation, but do not necessarily warrant dose adjustment • Route of administration influences absorption and ultimately the dose c 2006 ASCP 73 F329 - Unnecessary Meds Dose/Duplicate Therapy • Duplicate therapy… – Use of 2 or more medications from same class OR Use of medications from different therapeutic categories that have similar effects or properties • Acetaminophen-containing products • Multiple laxatives • Multiple benzodiazepines • Anticholinergic effects – Documentation is necessary to clarify rationale for, benefits of, and monitoring of duplicate therapy c 2006 ASCP 74 F329 - Unnecessary Meds Duration • Some meds needed for extended periods, others shorter-term – Acute conditions • Cough/Cold • Nausea/Vomiting • Acute Pain • Psychiatric/Behavioral Symptoms – PPIs/H2 blockers used for prophylaxis during acute phase of medical illness • If stop date according to facility P+P, discontinuation should occur - otherwise document clinical rationale • Clinical rationale for continued use of a medication may have been demonstrated in clinical record, or staff/prescriber may present clinical rationale c 2006 ASCP 75 F329 - Unnecessary Meds Tapering/GDR • Tapering of any medication may be indicated when, for example: – the resident’s clinical condition has improved/stabilized – the underlying causes have resolved – non-pharmacological interventions have been effective • Goal of GDR: – Evaluate the continued need for the medication, and – Determine whether the resident is being maintained on the lowest effective dose c 2006 ASCP 76 F329 - Unnecessary Meds Tapering/GDR • Opportunities for evaluation of medication, in regards to duration/dose: – CP’s MRR – MD’s visit or signing of orders – During quarterly MDS review • What to evaluate: – Resident’s target symptoms and the effect of the medication on symptoms (e.g., severity, frequency) – Changes in resident’s function during previous quarter (e.g., MDS) – Whether resident experienced any medication-related adverse consequences during previous quarter c 2006 ASCP 77 F329 - Unnecessary Meds GDR/Tapering for Antipsychotics • Now: – The length of time before an antipsychotic dose reduction is attempted should be consistent with the condition being treated – Frequency of GDR: twice a year (for residents with organic mental syndrome) – GDR is clinically contraindicated if two previous attempts within the last year led to a return of symptoms or return to the previous dose was necessary OR MD provides clinical rationale OR the patient has a specific DX and meets criteria listed in guidelines c 2006 ASCP 78 F329 - Unnecessary Meds GDR/Tapering for Antipsychotics GDR and behavior monitoring now applies to antipsychotics no matter what the indication - behavioral symptoms related to dementia OR psychiatric disorder! • No more exemption for psychiatric “special conditions” as mentioned in current guidelines c 2006 ASCP 79 F329 - Unnecessary Meds GDR/Tapering for Antipsychotics • New: – Within 1st year after admission on antipsychotic or after initiation: • GDR in 2 separate quarters, with at least one month between attempts – After 1st year, • GDR annually – GDR is clinically contraindicated if: • Resident’s target symptoms returned or worsened after MOST RECENT GDR attempt WITHIN facility, AND • MD has documented clinical rationale c 2006 ASCP 80 F329 - Unnecessary Meds Tapering for Sedatives/Hypnotics • Now: – Begin tapering after 10 days of continuous daily use – Frequency: three times within 6 months – Tapering is clinically contraindicated if three attempts within the last 6 months led to a decline c 2006 ASCP 81 F329 - Unnecessary Meds Tapering for Sedatives/Hypnotics • New: – As long as resident is on sedative/hypnotic that is used ROUTINELY during the previous quarter, taper at least QUARTERLY – Tapering is clinically contraindicated FOR REMAINDER OF THAT YEAR if: • Failed tapering attempts during previous 3 quarters, AND • MD has documented clinical rationale – Sedatives/Hypnotics now include… • New agents (non-benzodiazepine) • Sedating antidepressants (e.g., trazodone) • Sedatig antihistamines (e.g, hydroxyzine) c 2006 ASCP 82 F329 - Unnecessary Meds Tapering for Psychopharmacological Meds • Now ONLY APPLIES TO BENZODIAZEPINES: – Begin taper after 4 months of continuous daily use – Frequency: twice a year – Tapering is clinically contraindicated if two previous attempts within the last year led to a decline • No mention of tapering of other pharmaceutical classes mentioned in new guidelines c 2006 ASCP 83 F329 - Unnecessary Meds Tapering for Psychopharmacological Meds • New: – Psychopharmacological meds now grouped together, so more than just benzodiazepines – Psychopharm defined as “any medication used for managing behavior, stabilizing mood, or treating psychiatric disorders” – What classes might this include or impact? According to Table 1…. • Anticonvulsants • Antidepressants • Anxiolytics - including buspirone, antidepressants • Cognitive Enhancers c 2006 ASCP 84 F329 - Unnecessary Meds Tapering for Psychopharmacological Meds • New: (SAME AS ANTIPSYCHOTICS) – Within 1st year after admission on psychopharm or after initiation: • Taper in 2 separate quarters, with at least one month between attempts – After 1st year, • Taper annually – Tapering is clinically contraindicated if: • Resident’s target symptoms returned or worsened after MOST RECENT tapering attempt WITHIN facility, AND • MD has documented clinical rationale c 2006 ASCP 85 F329 - Unnecessary Meds Behavior Monitoring • So, which med classes mention behavior monitoring? According to Table 1… – Antipsychotics • Before initiating or increasing for enduring condition, target behaviors must be clearly and specifically identified and monitored objectively and qualitatively – Anxiolytics • When used for delirium, dementia, and other cognitive disorders with associated behaviors, behaviors to be quantitatively and objectively documented c 2006 ASCP 86 F329 - Unnecessary Meds Adverse Consequences • Any medication can cause adverse consequences • Considerations include… – Following relevant clinical guidelines and/or manufacturer’s specifications for use, dose, duration, monitoring – Defining appropriate indications for use – Determining that the resident • Has NKA to the medication • Is not taking other medications, products, food that would be incompatible • Has no condition, history, or sensitivities that would preclude use of that medication c 2006 ASCP 87 Role of Beers Criteria • Beers Criteria is not listed and titled as such (like they are in current guidelines)- But, Beers criteria medications are incorporated into pieces of the document (e.g., TABLES 1+2) • New Beers criteria, as of 2003: – Fink DM, Cooper JW, Wade WE. Updating the beers criteria for potentially inappropriate medication use in older adults. Arch Intern Med 2003;163:2716-24. – Article in May 2004 edition of The Consultant Pharmacist c 2006 ASCP 88 F329 - TABLE 1: Medication Issues of Particular Relevance • Alphabetically lists examples of some categories of and/or specific medications that have the potential to cause clinically significant adverse consequences, have limited indications for use, require specific monitoring. or warrant consideration of risks vs. benefits • Medications mentioned are not meant to be absolutely contraindicated for every resident, but that the medication has the potential to be unnecessary • While Table 1 is 36 pages long, it does not include all categories nor all medications within a category c 2006 ASCP 89 F329 - TABLE 1: Medication Issues of Particular Relevance • Current (“old”) guidelines include daily dose recommendations for psychotropic medications • Previous drafts of revised guidance did NOT include dose examples • But, final document includes Daily Dose Thresholds for: – Antipsychotics – Anxiolytics – Sedatives/Hypnotics c 2006 ASCP 90 F329 - TABLE 2: Anticholinergic Meds • Examples of medications with anticholinergic properties… – Antihistamines (H-1 blockers) – Antivertigo meds (e.g., meclizine, scopolamine) – Respiratory meds (ipratropium, tiotropium) – GI meds • Antispasmodics (dicyclomine, hyoscyamine, etc) • Antidiarrheals (e.g., diphenoxylate/atropine) • Anti-ulcer agents (e.g., cimetidine, ranitidine • Phenothiazine antiemetics (e.g., promethazine, prochlorperazine) c 2006 ASCP 91 F329 - TABLE 2: Anticholinergic Meds • Examples of medications with anticholinergic properties… – Antidepressants (TCAs) – Muscle relaxants (e.g., cyclobenzaprine, etc) – Urinary antispasmodics (oxybutynin, tolterodine, etc) – Antiparkinson meds (benztropine, etc) – Antipsychotic meds (conventional) – Cardiovascular (e.g., furosemide, digoxin, nifedipine) c 2006 ASCP 92 F329 - TABLE 2: Anticholinergic Meds • Examples of anticholinergic effects: – – – – – – – – – – – Slowed digestive motility Constipation Decreased sweating Dry mouth, skin Elevated BP Blurred vision Delirium Confusion/disorientation Difficult urination Drowsiness Dizziness c 2006 ASCP 93 SOM - Key Messages • Increased responsibility of facility, prescribers, consultant pharmacist, and dispensing pharmacy regarding medication management, including between monthly pharmacist visits • Policies and Procedures will be the key, and actually use them! • CP as coordinator/evaluator of pharmaceutical services • Tapering/GDRs have changed significantly - it’s more about how the medication is being used rather than in which class it is categorized • Check your state regs/rules too! • Care Process…looking at patient and medication regimen holistically c 2006 ASCP 94