Which agency is the least efficient .. DEA or IRS ?

IRS spent millions on audits that returned no revenue, report finds

https://www.foxbusiness.com/personal-finance/irs-spent-millions-on-audits-that-returned-no-revenue-report-finds

About half of large business returns audited were closed without change

The IRS is wasting time paying employees to audit returns that generate no additional revenue for the agency, a watchdog report released Thursday found.

Of the 10,755 returns that were analyzed – and closed – during fiscal years 2015 through 2018, a report by the Treasury Inspector General for Tax Administration found that 47.2 percent were closed with no change to the return. The agency estimated that – accounting for the costs of examining the returns – about $22.7 million was spent on these returns, which generated no additional revenue for the government.

These returns were examined in the IRS’ large business and international audit group, which is responsible for the tax administration of domestic and foreign businesses with assets exceeding $10 million.

Among these businesses with assets over $10 million, the no-change rate of returns examined ranged from 44 percent to 66 percent across all total asset amount ranges. Theoretically, there should be a lower no-change rate for categories of businesses and individuals with a higher risk of noncompliance, which TIGTA largely did not observe from the data.

The division’s closure rate was also 37 percent lower in fiscal 2018 when compared with fiscal 2015, according to the report, which was attributed to a decline in employees.

TIGTA suggested the division could better allocate its time and resources, spending less time on “no-change work.” It also said that due to the evolving nature of the business environment – including the implementation of the Tax Cuts and Jobs Act and an expanded use of virtual currency – the group needs to update its formula to better identify companies that are at higher risk of noncompliance.

In a response to the report, the IRS said it did not agree with the watchdog group’s monetary estimates based on the hours it assumed workers spent on no-change work. It also did not agree with some of the recommended policy changes.

The IRS estimates the average annual gross tax gap for tax years 2011 through 2013 is $411 billion, with the largest percentage stemming from under reporting

Former DEA task force agent ..” spills the beans” about the war on drugs

The Rapp Report: Chronic Pain Awareness

https://therappreportpodcast.podbean.com/e/e11-interview-with-former-dea-agent-and-law-enforcement-officer-russell-jones/

Russell Jones has been involved in the “War on Drugs” on various fronts for more than 40 years. For 10 of those years, Russell worked as a San Jose, California narcotics detective. Later he was assigned to a DEA-run task force. As a government intelligence agent, Russell worked in Latin America observing narcotics trafficking during the Nicaragua-Contra conflict. In academia, he conducted studies of the impact of drug abuse on the crime index, wrote training programs for identifying the psychological and physiological symptoms of narcotics use, and developed rehabilitation programs designed specifically for the court-mandated client. He has traveled throughout the former Soviet Union and China to study their drug problems and policies. In the field of drug rehabilitation, Russell implemented and taught courses for various California and Texas counties, as well as for privately run programs. Russell is a court-recognized expert (on both the federal and state levels) in the field of narcotics enforcement. His journey to the Soviet Union made it clear to Russell that the “War on Drugs” cannot be won. “Drugs were prevalent even behind the Iron Curtain,” he reports. “If a country, as controlling of its citizens as the Soviet Union was, still had such a large a problem – drug-dealing on Moscow street corners, meth labs in Leningrad – how could a free society such as ours handle the problem from a law-enforcement perspective?” Russell rightly attests that from the advent of drug prohibition in 1914 to the declaration of “War on Drugs” in 1970, to our present-day policies and tactics, the US government has not significantly reduced the use and abuse of drugs. Instead we have incarcerated millions, destroyed the lives of countless youths, while corrupting police, judges, and politicians. “We are taxing our population at over 69 billion dollars a year to support this ‘War on Drugs,'” he notes, “and the result is the enrichment of drug lords, foreign government officials, and our own government agencies that are involved in this folly.” Russell champions a three-pronged approach to reform: 1) treat addiction as a health problem – not a crime, 2) remove the profit motive from the drug trade, and 3) redirect a portion of the billions of dollars in enforcement costs that ending prohibition would save toward real, honest education about drugs. Education programs cut the use of nicotine, the most addictive drug known to humans, in half in a 20-year period and we didn’t have to arrest or imprison anyone to achieve that success.

Check out this video of one of Russell’s public speeches:

https://youtu.be/iEipEPru8dk

And check out Russell’s book:

https://www.amazon.com/Honorable-Intentions-odyssey-American-happening/dp/0578092131/ref=tmm_pap_swatch_0?_encoding=UTF8&qid=1479258037&sr=1-10

there is a group of ex-law enforcement and attorneys/judges  Law Enforcement Against Prohibition

Here is a interesting 14 minute video that they explain why they are against the war on drugs

Maybe the CDC opiate dosing guidelines revision will get “tabled”

Trump team weighs a CDC scrubbing to deflect mounting criticism

https://www.politico.com/news/2020/06/23/trump-cdc-overhaul-coronavirus-335039

With Trump under fire for his handling of the outbreak, his advisers are eyeing the federal bureaucracy for other culprits ahead of the election.

White House officials are putting a target on the Centers for Disease Control and Prevention, positioning the agency as a coronavirus scapegoat as cases surge in many states and the U.S. falls behind other nations that are taming the pandemic.

Trump administration aides in recent weeks have seriously discussed launching an in-depth evaluation of the agency to chart what they view as its missteps in responding to the pandemic including an early failure to deploy working test kits, according to four senior administration officials. Part of that audit would include examining more closely the state-by-state death toll to tally only the Americans who died from Covid-19 directly rather than other factors. About 120,000 people in the U.S. have died of the coronavirus so far, according to the CDC’s official count.

Aides have also discussed narrowing the mission of the agency or trying to embed more political appointees in it, according to interviews with 10 current and former senior administration officials and Republicans close to the White House. One official said the overall goal would be to make the CDC nimble and more responsive.

Politically, Trump aides have also been looking for a person or entity outside China to blame for the coronavirus response and have grown furious with the CDC, including its public health guidance and actions on testing, making it a prime target. But some wonder whether the wonky-sounding CDC, which the administration directly oversees, could be an effective fall guy on top of Trump’s efforts to blame the World Health Organization.

“WHO is an easy one,” said one former administration official. “It is foreign body in Switzerland. CDC will be tough to create a boogeyman around for the average voter.”

The moves are among the White House’s efforts to deflect attacks on President Donald Trump and place blame elsewhere in the federal bureaucracy. Protecting the president is seen as increasingly important by political aides as the general election approaches in just over four months and criticism mounts from former Vice President Joe Biden, other Democrats and even former national security adviser John Bolton, who say the blame rests squarely on Trump.

The efforts risk backfiring if they blame career health experts at the CDC, whose warnings early in the crisis were dismissed by Trump and his top aides as fearmongering.

Juliette Kayyem, an Obama-era former Homeland Security official who aided the response to the 2009 H1N1 pandemic, said it can be valuable for agencies to revisit their performance after a crisis — but that there’s no reason to single out the CDC.

“When the history books are written about this crisis, is anyone actually going to believe that America’s abysmal performance and its high death rate was because of some bureaucratic impediment at the CDC?” Kayyem said. “The core of America’s problem is a White House that clearly was not pressed into action in January. And every flaw — from CDC and testing to FEMA and the stockpiles to the supply chain and the states — every systemic problem is rooted in White House malfeasance.”

The discussion is ongoing about the best way to revamp an agency White House aides view as distant from the West Wing — and filled with government career officials who do not respect or follow the Trump agenda.

No single plan for tweaking the CDC has gained traction inside the administration, and the time frame for any evaluation or audit remains unclear. One administration official said aides have discussed having someone inside the administration do the evaluation, or possibly bringing in an outside public health expert to lead it.

During a visit to the CDC last week, Health and Human Services Secretary Alex Azar spoke with CDC Director Robert Redfield and other senior officials about how to move forward with the need for reforms of the agency, a senior administration official said. But the official said discussions are in their early stages, and they strongly disputed the suggestion that any evaluation of the CDC would amount to a scapegoating exercise.

An HHS spokesperson said the department does not comment on internal deliberations, and the CDC referred questions to the White House.

After this story first published, a senior White House official said the CDC was not being maligned. “We found a few inconsistencies in CDC data based on data that we’re getting from hospitals,” the official said. “This is not about minimizing the role of CDC but ensuring that the American public gets accurate and verified data.”

The CDC, with a staff of 20,000 people, has long served as a model for public health agencies around the world, with a global stature held by few U.S. agencies.

But even before the pandemic, Trump administration health officials had discussed shrinking the CDC’s purview — stressing to Redfield after his 2018 arrival that he should consider reorganizing and refocusing the public health agency.

The CDC had taken on a growing range of research projects and areas of study over the past several years, they argued, a steady expansion that risked distracting from its primary mission as the nation’s leading authority on identifying and responding to infectious disease threats. The CDC later published a strategic framework that defined the agency’s “five core capabilities.”

In Trump’s proposed budget for fiscal year 2021, the administration proposed a roughly 19 percent cut to the agency’s discretionary budget. This year’s budget plan also proposed to refocus the CDC on “its core mission of preventing and controlling infectious diseases and other emerging health issues, such as opioids.”

The coronavirus crisis — and the CDC’s high-profile missteps — have only strengthened the case for an overhaul, said a former senior official who was involved in those discussions.

“The thing to do is take a hard look at the CDC and say what are the five things that they really need to do, and do it to the exclusion of everything else,” the former official said, adding that Redfield had agreed with the prepandemic concerns that the agency’s activities were too scattered. “People have been talking about back to basics, core mission.”

Redfield’s job is not in danger with an election so close, but officials from across the White House orbit have zeroed in on the CDC as a major problem within the coronavirus response. The vice president’s office has expressed concern about the accuracy of the coronavirus death toll, while parts of the Office of Management and Budget, such as the United States Digital Service, have been involved in reviewing the data at the state level.

As the nation’s top public health authority, the CDC has traditionally played a central role in crafting the federal government’s response to health crises and communicating with the public. But the agency has assumed a far lower profile amid the pandemic, after a series of slip-ups that drew the ire of White House officials and hampered the administration’s early response effort.

Initial coronavirus tests developed by the CDC in February proved faulty, delaying widespread plans to screen for the virus and allowing it to spread throughout the nation for weeks. An internal HHS investigation released last week found that the faulty test kits were likely contaminated at the CDC.

Messages from CDC officials early in the crisis, while in line with assessments from the scientific community, have embarrassed White House officials trying to contain the political fallout.

Nancy Messonnier, a top CDC official, surprised the White House in late February when she told reporters that a coronavirus outbreak was inevitable — contradicting top officials’ assertions at the time that the disease was largely contained.

In April, Redfield drew Trump’s attention after he warned that the country could face a brutal second wave of the disease come the fall — a statement he was forced to clarify the next day.

And more recently, the agency has come under scrutiny from the White House over guidelines for reopening schools and institutions that were initially seen as overly prescriptive, and from public health experts for conflating two different types of coronavirus tests in its overall testing numbers.

One administration official said the main problem with the CDC has been with the data it receives from states about the Covid-19 death toll — creating a larger problem clouding the U.S. response.

“In Pennsylvania, if you have coronavirus and you die from a gunshot wound, it gets classified as a coronavirus death,” the administration official said. “If the data drives the decision-making, you want to make sure you have good data. When you have different ways of counting things, it can lead to distortion. The audit was suggested as means to confirm that or disprove that.”

Oxygen levels under face mask

During the 80’s and 90’s our independent pharmacy was the largest respiratory supplier in two counties.  We had a couple of hundred pts on home oxygen.. when a pt was on supplemental oxygen typically it was via nasal cannula at 2 LPM..   In those rare incidents where pts needed to put on a oxygen mask… it was necessary to bump up the oxygen flow to 5-6 LPM… so that the mask was flushed out between pt’s breaths of the CO2 the patient exhaled.  If this was not done, CO2 is heavier than air and if not this higher flow and re-breathing CO2 could settle in the bottom of the lungs and block the Alveoli which exchanges the Oxygen in the air we breathe and getting it into the pt’s artery system.

I suspect that if the oxygen level could have been measured at the bottom of this pt’s lungs… it would probably been LOWER …

The RAPP Report – my interview 06/24/2020

https://therappreportpodcast.podbean.com/e/e10-interview-with-pharmacist-steve/

The chronic pain community has a new venue where a number of chronic pain advocates and chronic pain pts themselves are having a place to talk about how chronic pain is impacting pts and how changes are coming down the pike – both good and bad.

Last night I had the privilege to be in the Rapp Report’s “hot seat” and ended up talking about 90 minutes about issues all over the spectrum of issues that are impacting the chronic pain community and other pts that are dealing with subjective diseases.

I am sure that they would welcome input from the community on a topic/subjective material that some/many would like to have someone on the show to discuss.  Here is their email  therappreport.podcast@gmail.com

and here is their facebook page  https://www.facebook.com/groups/247276683163131/

 

 

 

Pain Warriors Documentary Review

 

https://apurposeinpain.com/pain-warriors-documentary-review/

I was recently asked to review a new documentary called Pain Warriors. I think that it’s a really important film and want to do my part to help promote it. The mission of the film is to “tackle the other side of the OPIOID CRISIS ~ that of under treated pain patients and the slow death of compassion that surrounds them.” The film does a beautiful job of documenting the suffering of multiple chronic pain patients as well as following a Montana-based doctor who treated pain patients until being sanctioned by the board of medicine and losing his practice in 2015.

The film opens up by stating “100 million Americans live in daily pain that diminishes their ability to function. The opioid crisis has left patients with chronic pain undertreated, shunned, and disbelieved.” This is a huge problem that the media doesn’t focus on. The film does a wonderful job of showing the heartbreaking reality of chronic pain and the lack of access to adequate treatment. 

The first patient that the documentary focuses on is Sherri, who has multiple chronic illnesses and suffers with chronic pain. She states how she feels she’s at the end of her rope with her pain. Sherri speaks about how desperate she is when she reaches out to a patient advocate to help her. After feeling like she has nowhere else to turn, Sherri and her advocate go to the ER, where, after waiting many hours, she is finally treated for her pain. Her advocate eventually leaves, confident that Sherri is getting adequate treatment and she’ll be notified if any issues arise. Heartbreakingly, Sherri does not continue to receive the treatment that she needs and checks herself out of the hospital only to go on to commit suicide.

She wrote to her advocate, “Please use my life and death as an example of where empathy is sorely needed for misunderstood illness.” This film is dedicated to Sherri’s life.

Credit: painwarriorsmovie.com

It’s so heartbreaking to me that Sherri got to the point that she chose to take her own life. She lived with chronic pain for over 30 years and the experience in the ER only served to push her over the edge. I’ve experienced the lack of empathy that Sherri talks about from doctors, especially in the ER. Legitimate pain patients are so often made to feel like nothing more than drug seekers who are wasting the time of emergency medical services. The lack of empathy and understanding for pain patients is a huge problem in this country and I think this documentary does an excellent job of highlighting this sad truth.

The next patient that the documentary follows is Hunter, who is an adorable young boy that was diagnosed with cancer years earlier and was on chemotherapy and steroids for 4 years. He was 7 when his cancer went away but now he suffers from chronic pain all over his body. The film shows his suffering and the way that it’s impacted him and his family. It’s heartbreaking to see this beautiful little boy say, “I kind of just think about giving up, I don’t think anything’s going to help. It’s kind of just my reality, like this is my normal; I can’t really change it.”

 

Hunter – Credit: painwarriorsmovie.com

I have so much admiration for this strong little boy who has had to deal with chronic pain and illness for as long as he can remember. I can only pray that advances in medicine and treatment of chronic pain will one day allow him some relief from pain in his lifetime. 

The last chronic pain patient in the documentary is Karen, whose story is very near and dear to my heart. Karen suffered from the same chronic pain that I did for many years, from cerebrospinal fluid leaks. I know how brutal CSF leak pain is and how frustrating it can be to get the right diagnosis and care for this problem because so few doctors in this country know how to diagnose and treat it. 

Karen was treated many times for her CSF leaks, flying back and forth across the country for patches and surgeries. Her patches did not last, and her symptoms kept returning after multiple treatments and procedures. She suffered for years from relentless pain until things eventually got so bad that she took her own life. 

Karen’s husband, Bob, holding her photo – Credit: painwarriorsmovie.com

By the time I finished watching Karen’s story play out, I was in tears. I know the roller coaster of emotions that a CSF leak can cause and the hopelessness that one can feel after treatments fail, which happens far too often with this complicated condition. The fact that Karen got to the point with her pain that she chose to take her own life is so devastating to me. We desperately need more doctors to become educated on chronic CSF leaks so that patients don’t suffer in pain for years like Karen did.  

I suffered from chronic pain for over 16 years because of my undiagnosed cerebrospinal fluid leak so I can relate wholeheartedly to each of the pain patients in this film. I know the hopelessness and despair that chronic pain can cause. I myself have reached the point of not wanting to live anymore at times. I’ve witnessed the lack of empathy from so many doctors and have experienced the lack of adequate treatment for chronic pain firsthand. We need more doctors who truly care and aren’t afraid to treat chronic pain patients.

The film also follows one of these caring doctors, Dr. Ibsen, who opened up a practice in Montana and started seeing patients who had been dropped by their family doctors and lost access to their pain medication. He saw patients who had been on pain medications for 10 or more years and were suddenly cut off because of the opioid crisis. Dr. Ibsen speaks about what happens when chronic pain patients are cut off from their pain medications: “They become suicidal, depressed, go to bed, fail to go to work, can’t take care of their kids. I felt obligated to step in and support them in their wellbeing and function.” 

In 2015, he was sanctioned by the medical board for taking on these patients and treating them with opiods. Although he was actually tapering them down on their medications, the board felt that he was overprescribing and suspended his license. By December 2015, his practice was closed. Dr. Ibsen is now practicing medicine in India.

Dr. Ibsen says of his pain patients, “we have to address this invisible public health crisis of chronic pain and get them the care that they need so that they can live the functional lifestyle that they are entitled to.”

Dr. Ibsen is right. Chronic pain and the lack of treatment and empathy for pain patients is a public health crisis that deserves so much more attention. The suffering of pain patients on the other side of the opioid crisis needs to be addressed. The Pain Warriors website states “addiction and overdose deaths are serious issues that warrant being faced head on. Equally important but not addressed in any depth, are the lives of abandoned pain patients and the doctors treating them, left with limited options. Legitimate, responsible patients are being denied treatments that in many cases, have been their only lifeline to some small moments of function and dignity in an otherwise bleak future.” This film does a beautiful job of highlighting and finally addressing this important issue.

I also think that this is a really great film for people who suffer from chronic pain to show to the people in their life who may not understand the impact of their pain. This documentary really shows the devastation that chronic pain can cause in a person’s life and just how it can affect a person.

My summary of this film really doesn’t do it justice; you have to see it for yourself. It highlights the heartbreaking reality of chronic pain and sheds light on the other side of the opioid crisis, the one that isn’t shared in the news and by the mainstream media. The increasing number of suicides in the pain community from the lack of access to adequate treatment needs to be addressed. We need to do a better job of raising awareness of this public health crisis. This documentary is a wonderful beginning. If you’d like to watch this amazing movie for yourself, you can find it here:

Amazon Prime

iTunes

Google Play

Watch the trailer

 

FDA advises consumers not to use hand sanitizer products manufactured by Eskbiochem

FDA advises consumers not to use hand sanitizer products manufactured by Eskbiochem

https://www.lawofcompoundingmedications.com/2020/06/fda-advises-consumers-not-to-use-hand.html

[6/19/2020] FDA advises consumers not to use any hand sanitizer manufactured by Eskbiochem SA de CV in Mexico, due to the potential presence of methanol (wood alcohol), a substance that can be toxic when absorbed through the skin or ingested. FDA has identified the following products manufactured by Eskbiochem:
  • All-Clean Hand Sanitizer (NDC: 74589-002-01)
  • Esk Biochem Hand Sanitizer (NDC: 74589-007-01)
  • CleanCare NoGerm Advanced Hand Sanitizer 75% Alcohol (NDC: 74589-008-04)
  • Lavar 70 Gel Hand Sanitizer (NDC: 74589-006-01)
  • The Good Gel Antibacterial Gel Hand Sanitizer (NDC: 74589-010-10)
  • CleanCare NoGerm Advanced Hand Sanitizer 80% Alcohol (NDC: 74589-005-03)
  • CleanCare NoGerm Advanced Hand Sanitizer 75% Alcohol (NDC: 74589-009-01)
  • CleanCare NoGerm Advanced Hand Sanitizer 80% Alcohol (NDC: 74589-003-01)
  • Saniderm Advanced Hand Sanitizer (NDC: 74589-001-01)
FDA tested samples of Lavar Gel and CleanCare No Germ. Lavar Gel contains 81 percent (v/v) methanol and no ethyl alcohol, and CleanCare No Germ contains 28 percent (v/v) methanol. Methanol is not an acceptable ingredient for hand sanitizers and should not be used due to its toxic effects.
Consumers who have been exposed to hand sanitizer containing methanol should seek immediate treatment, which is critical for potential reversal of toxic effects of methanol poisoning. Substantial methanol exposure can result in nausea, vomiting, headache, blurred vision, permanent blindness, seizures, coma, permanent damage to the nervous system or death. Although all persons using these products on their hands are at risk, young children who accidently ingest these products and adolescents and adults who drink these products as an alcohol (ethanol) substitute, are most at risk for methanol poisoning.
On June 17, 2020, FDA contacted Eskbiochem to recommend the company remove its hand sanitizer products from the market due to the risks associated with methanol poisoning. To date, the company has not taken action to remove these potentially dangerous products from the market. Therefore, FDA recommends consumers stop using these hand sanitizers and dispose of them immediately in appropriate hazardous waste containers. Do not flush or pour these products down the drain.
FDA reminds consumers to wash their hands often with soap and water for at least 20 seconds, especially after going to the bathroom; before eating; and after coughing, sneezing, or blowing one’s nose. If soap and water are not readily available, the Centers for Disease Control and Prevention (CDC) recommend consumers use an alcohol-based hand sanitizer that contains at least 60 percent ethanol.
FDA remains vigilant and will continue to take action when quality issues arise with hand sanitizers. Additionally, the agency is concerned with false and misleading claims for hand sanitizers, for example that they can provide prolonged protection such as 24-hours against viruses including COVID-19, since there is no evidence to support these claims.
To date, FDA is not aware of any reports of adverse events associated with these hand sanitizer products. FDA encourages health care professionals, consumers and patients to report adverse events or quality problems experienced with the use of hand sanitizers to FDA’s MedWatch Adverse Event Reporting program:
  • Complete and submit the report online; or
  • Download and complete the form, then submit it via fax at 1-800-FDA-0178.

Maximum Opioid Doses: A Pharmacological Abomination

Maximum Opioid Doses: A Pharmacological Abomination

https://www.acsh.org/news/2020/06/22/maximum-opioid-doses-pharmacological-abomination-14858

Despite irrefutable pharmacological evidence of the wide range in individuals’ metabolism of opioid drugs, states continue to impose “one-size-fits-none” laws. For example, Massachusetts, apparently not entirely at peace with the abolition of the Salem witch trials, became the first state to establish a seven-day limit on first-time opioid prescriptions. Others followed. It’s safe to say that no one is really paying attention to the science. So, here it is. Again.

The American Medical Association was two years late to the party when it issued its first statement (1) about the inappropriate use of CDC Guidelines to establish, among other things, laws that define a dose and duration limits for opioid analgesics. No one was listening. Since then things have gotten worse, not better, for pain patients. For example

Fortunately, the AMA has given it another shot. A June 16th, 17-page letter from AMA Executive Vice President and CEO Dr. James L. Madara to Dr. Deborah Dowell, the Chief Medical Officer National Center for Injury Prevention and Control (part of the CDC) has some real oomph to it (emphasis mine.)

The AMA emphasizes that simply focusing on recommendations concerning opioid prescriptions is far from sufficient to have a meaningful impact on the nation’s overdose and death epidemic.

 

Clearly, the AMA has stepped it up but whether this will make a real difference or will simply give bureaucrats a higher quality document to ignore is unknown.

States Continue to Ignore Science

When I first wrote about the scientific folly of legally setting fixed, maximum doses for opioids (or any other drug, for that matter) there were 33 states with some kind of legislation in place (or in planning stages). Now there are that 34 – approximately 34 too many – with some sort of legislation to limit opioid prescriptions. In March 2016 the state of Massachusetts, apparently not entirely at peace with the abolition of the Salem witch trials, became the first state to establish a seven-day limit on first-time opioid prescriptions. Thirty-three more followed with ghoulish variations of the law.

Pharmacy Benefits Managers Kick Pain Patients When They’re Down

Madara points out that prescription drug providers (PBMs) have stuck their balance sheets where they’re not welcome.

  • “Walmart’s policy includes a 50MME or 7-day hard threshold for opioid prescribing.
  • CVS Caremark’s policy has multiple restrictions, including a 7-day hard threshold for opioid prescribing •
  • OptumRx’s policy is aligned with 2016 Guidelines”

Drug stores telling doctors how much medicine the can prescribe? Madness.

Two Year, Zero Progress

It’s been nearly two years since I clearly spelled out why fixed limits were scientifically nonsensical; differences in people, drugs, and the absence of a sensible conversion table for MMEs. More than 10,000 of you read it, but apparently, no one with either the power or interest to do anything about it. (It’s WAY over the head of Andrew Kolodny, but for $725 per hour I’d be happy to (try to) explain it to him.

So, here is an abridged version of “Opioid Policies Based On Morphine Milligram Equivalents Are Automatically Flawed.” In case anyone out there is paying attention.

If you were a professional wrestling fan in the 1960s it would be hard to forget William “Haystacks” Calhoun. Calhoun, always a crowd favorite, had a signature move called “The Big Splash,” where he bounced off the ropes and hurled himself on top of his opponent, who was lying helplessly in the middle of the ring. Match over. Calhoun, who died in 1989 at age 55, was 6’4″ and weighed 601 pounds (1).

At the other end of the scale (literally) is Peter Dinklage, who played Tyrion Lannister in Game of Thrones. Dinklage is 4’5″ tall and weighs 110 pounds.

Would Haystacks Calhoun (L) and Peter Dinklage (R) both take two tablets of aspirin? Photos: Deskgraam.net, Digital Spy

Let’s suppose that both Dinklage and Calhoun have headaches. The recommended adult dose for Bayer Aspirin is two 325 mg tablets every four hours. Will this dose be suitable for both men? A website called Omni Calculator makes it possible to estimate the volume of blood in a person based on gender, height, and weight.

According to the calculator, Haystacks had 12,019 mL (12.7 quarts) of blood in his body while Dinklage has 3,105 mL (3.3 quarts). All things being equal, the concentration of aspirin in Dinklage’s blood would be four-times that in Calhoun’s from the same two aspirin tablets. Is Dinklage taking too much aspirin or is Calhoun taking too little? It is impossible to say, but it is all but certain that the ideal dose for each man will be different.

Why do I bring this up? Because pain patients in the US are getting a “big splash” thanks to a terrible policy that is based on terrible science. Maximum daily doses, recommended by the CDC in 2016 have been enacted as law. The maximum dose is based on a ridiculous concept called morphine milligram equivalents (MME) – the ratio of the “power” of the drug compared to that of morphine. This may sound reasonable (assuming that you think that the government should be allowed to dictate to physicians the amount of only one class of drugs – opioid – that they are allowed to prescribe. While MME values are touted as useful predictors of the total “opioid load” that a patient can receive, they are nothing of the sort. And MME-based policies don’t just fail because of differences in the size of patients; they fail for multiple reasons.

Flawed science,  meaningless results

Below is a chart published by the CDC, a “guide” (2) for physicians who prescribe pain drugs. It is a god-awful mess but is used nonetheless.

Morphine is normalized to 1.0 and the conversion factor reflects the relative potency of other opioid drugs. So, if the daily MME is 90 (3) then a patient may receive no more than 90 mg of morphine, 90 mg of hydrocodone, 60 mg of oxycodone, or 30 mg of oxymorphone per day.

Although the conversion table seems to be straightforward enough, it is based on an assumption that all opioids behave similarly in the body. But this assumption could not be less accurate. Once the profound differences in the properties of the drugs and the difference between individuals who take them are taken into account it becomes clear that the CDC chart flawed and the MME is little more than a random number.

Table 1. MME equivalents. Source: CDC

Not all opioids are created equal, especially in the body

Anyone with even a passing knowledge of pharmacology would immediately be skeptical of the chart. Let’s take, for example, the two drugs at the bottom. Although Table 1 tells us that oxymorphone is twice as “strong” as oxycodone it does not take into account a number of critical properties that paint a more complete picture of the fate of the drug once swallowed. In other words, there is no information about pharmacokinetics –  the effect of the body on the drug.

Bioavailability

One of the many pharmacokinetic properties required to establish how a drug will fare within the body is called bioavailability – a critical determinant for whether a drug will be effective if taken orally.  Bioavailability is a measure of the how well a pill will be absorbed in the gut and subsequently enter the bloodstream. For example, if a drug has a bioavailability of 100% then all of that drug that was swallowed will end up in the blood (4).

Figure 1. (Left) The MME conversion factor used by the CDC for oxycodone and oxymorphone. Values are normalized so that morphine is 1.0. According to the table, a dose of oxymorphone is “worth” three times more than that of morphine and two-times that of oxycodone. PO means orally. IR means immediate release. Source: CDC. (Right). The bioavailability of common opioid drugs. Note that oxycodone is 6-8.7 times more bioavailable than oxymorphone. Source: Pruskowski, et.al., Opioid Pharmacokinetics #307. Journal of Palliative Medicine, 19(6), 668–670(2016). doi:10.1089/jpm.2016.0024

Conversely, when a drug has poor bioavailability, for example, 10%, then most of the drug will either pass through the intestinal tract unchanged or be absorbed but then rapidly metabolized. Furthermore, drugs with low bioavailability have a greater variation from one individual to the next, making the pharmacology of a drug like oxymorphone even less predictable. The difference in bioavailability between oxycodone and oxymorphone is stark (Figure 1) even though chemically they differ only by a single carbon (Figure 2).

Figure 2. Oxycodone and Oxymorphone – Chemically, nearly identical. Pharmacologically, very different. The red circles indicate the only structural difference between the two – one methyl group.

Half-life and metabolism

Although critical, bioavailability is far from the only measure of an oral drug’s effect on people or animals. Table 2 shows three of the most common pharmacokinetic properties of oxycodone and oxymorphone. Although poor bioavailability – one of the most daunting obstacles on the long and difficult trip from the lab to the pharmacy – has led to the demise of countless experimental drugs in clinical trials there are plenty of other obstacles. Two of these are the crucial parameters half-life and metabolism.

Table 2. Three pharmacokinetic parameters of oxymorphone (right) and oxycodone (left). Source: Ref. (a). Ref. (b).

Table 2 clearly shows that oxycodone and oxymorphone, although putatively similar, behave very differently in humans. Oxymorphone, even though it is twice as potent as oxycodone (Table 1), is metabolized much faster; its half-life (5) is 1.3 hours, while oxycodone, although less potent, stays in the blood much longer (its half-life is 4.5 hours). Additionally, there are differences which liver enzymes carry out the metabolism. Oxymorphone is primarily metabolized by a liver enzyme called uridine 5′-diphospho-glucurosyltranferase (UGT) while oxycodone is primarily metabolized by two different cytochrome P450 enzymes called 3A4 and 2D6. The difference in metabolizing enzymes itself is a substantial concern when comparing two different drugs, but it becomes even more so when other drugs are part of the picture.

The only certainty is uncertainty

So, which drug is better for a pain patient? Do the MME values really reflect the drugs’ relative ability to relieve pain? Do half-life and bioavailability matter? Does the fact that different types of enzymes are involved in metabolism make a difference? The answer to all of these questions is “who knows?” All we are told is that patients cannot be prescribed more than 60 mg of oxycodone or 30 mg of oxymorphone per day.

Bear in mind that we have examined only two of the eight drugs on the CDC chart and only three of many pharmacokinetic properties of each drug. When other drugs and other pharmacokinetic properties are added to the mix It becomes patently obvious that the simple CDC chart provides us with numbers that are probably more artifactual than real. The chart tells us little about which opioid drug might the best for a single person or its optimal dose, let alone a diverse population. More on that below.

Polypharmacy: Drug-drug interactions

The primary site of drug metabolism is the liver. Within the liver, there are different families of metabolizing enzymes. By far, the most important class in humans is the CYP450 family (6) of enzymes. There are about 60 members in this class and these account for about 75% of the metabolic processes that occur within our bodies. Two of the most important subtypes (also called isozymes) of this family are called CYP3A4 and CYP2D6. The two are responsible for metabolizing many common drugs, especially opioids.

Table 2 shows that even two very similar drugs will behave differently when taken alone, but when other common drugs are taken, the variability of opioid blood levels becomes even greater; opioid-metabolizing enzymes can be profoundly affected by other drugs.  As a result, these enzymes can be inhibited (less metabolism) or induced (more metabolism), each of which will have a pronounced effect on the blood levels of an opioid. Figure 3 provides a summary of common drugs that alter opioid blood levels (7)

Figure 3. Drug-drug interactions of selected opioids with some common drugs. Source: J. Pruskowski and R. Arnold, Opioid Pharmacokinetics #307, Journal of Palliative Medicine Vol. 19, No. 6 (2016). doi.org/10.1089/jpm.2016.0024

Some highlights from Figure 3 include:

  • Of the six opioids listed, five of them are metabolized by both 3A4 and 2D6. Morphine is not metabolized by 3A4.
  • The 3A4 isozyme is inhibited by many drugs, including antibiotics, antifungals, antidepressants. blood pressure drugs, and HIV antivirals. The presence of any of these drugs will either result in higher than expected opioid blood levels, an increased half-life of the opioid, or both. Inhibitors of 3A4 can increase blood levels of the opioid (except for morphine – it is not metabolized by 3A4), sometimes causing dangerously elevated levels of the opioid.
  • The 3A4 isozyme is also induced by other common drugs, such as anti-inflammatory steroids, HIV antivirals, anti-seizure drugs, and a tuberculosis drug. The presence of any of these drugs will either result in lower than expected opioid blood levels, a decreased half-life, or both. This can result in opioid levels that are inadequate for pain relief.
  • The 2D6 isozyme is inhibited by many of the same drugs that also inhibit 3A4 but also others, including those for allergies, malaria, and schizophrenia.
  • But the 2D6 isozyme is not induced by any of these commonly used drugs.

The clinical impact of drugs that inhibit 3A4 becomes apparent in a case study of a cancer patient who was being treated with fentanyl patches for pain. While hospitalized, the patient suffered a near-fatal overdose of fentanyl at a dose that would not normally be problematic; he was also taking an antibiotic to treat a bacterial infection (erythromycin) and an anti-fungal drug (itraconazole) to treat the fungal infection caused by the erythromycin. Both drugs are potent inhibitors of 3A4, which led to elevated levels of fentanyl, resulting in impaired breathing. Once the 50 microgram patch was replaced by a 25 microgram patch the breathing difficulties resolved.

Other studies (8,9) have demonstrated that concomitant use of an anti-fungal drug increased the blood levels of oxycodone four-fold, while a drug for tuberculosis greatly decreased oxycodone levels.

Genetics: Abundant differences in human metabolism of opioids

Perhaps the most important factor in determining the optimal dose of an opioid is the profound difference in the genetic makeup of individuals; some people may metabolize opioids 100-times that of others simply because of the impact of genetics on CYP function. Table 3 shows the range of variation of the rate of metabolism of four CYP enzymes.

Table 3. The range of individual variation of the rates of metabolism for four CYP isozymes. Note that the first two, 3A4 and 2D6, are the primary opioid metabolizing enzymes, as shown in Table 2.

References:

(a) Pharmacogenomics of Cytochrome P450 3A4: Recent Progress Toward the “Missing Heritability” Problem. K. Kleinand Ulrich and M. Zanger Front Genet. 2013; 4: 12. (2013) doi:  10.3389/fgene.2013.00012

(b) Hart SN, Wang S, Nakamoto K, Wesselman C, Li Y, and Zhong XB (2008) Genetic polymorphisms in cytochrome P450 oxidoreductase influence microsomal P450-catalyzed drug metabolism. Pharmacogenet Genomics 18:11-24.

(c) Westlind A, Lofberg L, Tindberg N, Andersson TB, and Ingelman-Sundberg M (1999) Interindividual differences in hepatic expression of CYP3A4: relationship to genetic polymorphism in the 5′- upstream regulatory region. Biochem Biophys Res Commun 259:201-205.

Given the wide range of CYP activity variability from individual to individual, it should come as no surprise that this difference profoundly affects opioid users, especially since CYP3A4 and CP2D6 are responsible for much of metabolism of these drugs. It is this genetic variability that is responsible for both poor metabolizers and rapid metabolizers of opioids.

For example, if the innate rate of metabolism by CYP34A of Patient A is 100-fold greater than that of Patient B, it will be impossible to define a standard dose, such as in Table 1, which would be therapeutically appropriate for either A, B, or both. Patient A will appear to have developed a tolerance for the opioid while Patient B will be far more sensitive to the drugs. Thus it is almost a given that any standardized dose will be too low for Patients like A and too high for Patients like B.

Problems and more problems:

This article is a cursory summary, not a comprehensive review of all the factors that combine to make opioid dosing anything but simple. Yet, the following are obvious:

  • Some opioid drugs will be absorbed and pass to the bloodstream very well and some will do so very poorly.
  • Even opioids that appear to be structurally and functionally similar will be metabolized at very different rates.
  • Other drugs can drastically alter the physiological response of a pain patient to a given opioid; the second drug may increase a person’s response to the opioid or it may decrease it.
  • Even under ideal conditions – two people taking the same opioid drug at the same dose, at the same interval, and taking no other drug – huge variations of innate metabolism from one individual to another will necessarily result in a wide range in clinical response to that drug.

Conclusion

The CDC MME chart, in fact, the entire concept of morphine milligram equivalents may be convenient for bureaucrats but because of differences in the absorption of different drugs into the bloodstream, half-life of different drugs, the impact of one or more other drugs on opioid levels, and large differences of the rate of metabolism caused by genetic factors, is not only devoid of scientific utility, but actually causes far more harm than help by creating “guidelines” that are based upon a false premise. When a policy is based on deeply flawed science, the policy itself will automatically be fatally flawed. It cannot be any other way.

HHS refers to Section 1557 of the Affordable Care Act, which protects patients from discrimination on the basis of “color, race, age, national origin, sex or disability

The Assault on LGBTQ+ Health Access

https://grassrootsrph.wordpress.com/2020/06/21/the-assault-on-lgbtq-health-access/

Estimates predict that 1.4 million adults in the United States identify as transgender. Today we unpack a recent rule proposal that could jeopardize these individuals’ access to healthcare and how the most accessible healthcare professional, the pharmacist, can advocate against this systemic discrimination.

On Monday, June 15, 2020, the Supreme Court of the United States made a monumental ruling that impacted LGBTQ+ rights in our country. In Bostock v. Clayton County, the Court decided that employers could not discriminate against LGBTQ+ workers. Specifically, it said that Title VII of the Civil Rights Act of 1964, which barred employment descrimination on the basis of “race, color, religion, sex, or national origin,” includes a prohibition of discrimination based on sexual orientation and gender identity. This is a major decision coming from the court because it makes clear that so many policies that have been enacted by the majority of states, and have been advocated for by the Trump Administration and Republican Members of Congress, are illegal. In fact, before the ruling, if you lived in one of these 27 states, employers could legally discriminate against you on the basis of sexual orientation or gender identity in employment, housing, and public accommodations. This ruling was the first Supreme Court Decision concerning any sort of protections for transgender Americans, and by establishing legal precedent, we hope that all attempts to deny members of the LGBTQ+ community access to equal opportunities are shut down. 

While this is great news, this win is sandwiched by a concerted effort by the Trump Administration to revoke health care protections for members of the transgender community. On Friday, June 12, the Trump Administration released rules cutting health care protections for members of the transgender community. The new rule essentially enables healthcare providers, medical facilities and health insurance providers to discriminate against transgender patients and removes any ability for patients to fight back. This is particularly concerning because studies have shown these individuals are already at a significantly higher risk of being discriminated against by a healthcare provider during their lifetime (70% will face this discrimination). While disturbing  in and of itself, what is worse about this rule is that it is being released while the nation is in the midst of a national conversation about the impacts of systemic racism in all elements of society, including healthcare, in the aftermath of the numerous murders of members of minority populations by police officers. 

The Fight For Equity in Healthcare

The Trump Administration has called their rule “The Nondiscrimination in Health Programs and Activities”, however, this does not align with the language of this rule, which in fact promotes discrimination in healthcare.

HHS refers to Section 1557 of the Affordable Care Act, which protects patients from discrimination on the basis of “color, race, age, national origin, sex or disability” in any “health program or activity” that receives financial assistance from the federal government.

The Obama Administration used this language to prohibit discrimination based on sexual orienation, pregnancy, and gender identity. Based on the original rule as written by the Obama administration, healthcare providers and insurers were required to provide medically appropriate treatment for members of the transgender community. 

The Trump administration’s argument is that in sex is binary and the sex assigned at birth is necessary for healthcare. They also go on to argue that providing healthcare to members of the transgender community may be confusing for providers. The argument here grossly mischaracterizes the healthcare needs of these individuals and undermines the commitment to lifelong learning that providers embark on when pursuing careers in health care. 

The new HHS rule also goes further and affects regulations pertaining to transgender health access, including cost-sharing, health plan marketing, and benefits. 

What about the Supreme Court Ruling?

Despite the decision from the Supreme Court, the Trump Administration moved ahead on Friday and finalized the rules with HHS publishing the proposed rule in the Federal Register, with a “start date” of August 18. This regressive and almost certainly non-coincidental move is especially boldfaced given the decision from the Supreme Court, which ruled broadly that laws that explicitly prevent discrimination on the basis of sex or gender also prevent discrimination on the basis of sexual orientation and gender identity. The legal argument here is the exact same, even if the context is employment versus healthcare. The distinction is technical at best and on very flimsy ground. If the legal precedent holds, then the word “sex” in Section 1557 of the Affordable Care Act includes sexual orientation and gender identity. While HHS can reject any charge of discrimination by arguing that they “respect the dignity of every human being,” their actions speak louder than their words. We all know exactly what they are trying to do. 

What Can Pharmacists Do In the Meantime? 

As equity takes center stage in the broader discussion of healthcare access, it is encouraging to see all healthcare practitioners focusing on how to eliminate disparities in healthcare. Over the last few months in the aftermath of countless episodes of police violence, we’ve seen more research being highlighted out about racial disparities in healthcare and some language from professional organizations highlighting a commitment to learn more about social injustices and challenges related to health care. We must do the same thing when it comes to healthcare disparities faced by the LGBTQ+ community. Pharmacists and other healthcare professionals need to take time to learn how to use inclusive terminology in order to make LGBTQ+ patients feel comfortable when discussing their healthcare needs, and provide better health access for our LGBTQ+ patients. Resources and webinars from organizations like The Fenway Institute, Southeast AIDS Education and Training Center, the LGBT Training Curricula for Behavior Health and Primary Care Practitioners from SAMHSA and the National LGBT Health Education Center are great places to start. You can also take a look at the Healthcare Equality Index by the Human Rights Campaign

Other steps pharmacists, students, and other healthcare professionals can take: 

  1. Revise health intake forms to be inclusive of a variety of sexual orientations and gender identities 
  2. Ask technology vendors to include sexual orientations and gender identities as a part of a patient’s EHR
  3. Allow patients to enter their own information into a database to give patients control over how they give this information to providers 
  4. Develop and display non-discrimination policies that include sexual orientations and gender identities
  5. Train all staff to respectfully interact with all patients, and ask all patients what their preferred names and pronouns are. 
  6. Create a welcoming environment within patient consultation rooms
  7. When asking about sexual and social histories, talk to all patients in an open, non-judgemental way 
  8. Ask open-ended questions when talking about appearance or sexual behavior, such as “Are you in a relationship?” instead of “Do you have a boyfriend/girlfriend”
  9. Advocate for Professional Pharmacy Organizations to adopt policy opposing any local, state, or federal attempt to legalize healthcare discriminations based on sexual orientation and gender identity, and actively lobby against proposed rules that do
  10. Advocate for the inclusion content on providing care to members of the LGBTQ+ community in the curriculum of Doctor of Pharmacy programs

If our profession is serious about removing disparities in healthcare, we need to start with educating ourselves where there are gaps. We can do the work today to teach ourselves how to take better care of our patients, and then advocate for structural changes to better promote health access for all of our current and future patients.

This Supreme Court ruling may just muddy the waters every more, but what is interesting is that TESTOSTERONE is a controlled substance, whereas female hormones are not..  This could present pharmacists with another dilemma… when one subset of this group of pts need a control substance med to make the transition and the other subset medications needed is not. 

Since the vast majority within this pt group are not handicapped the chronic pain community might find some assistance in getting adequate therapy in regards to controlled substances because this group tends to be more politically active to cause change and can be more VISIBLE because their activity is not impaired by having a disability.

 

My way of thinking… a true story

I ran across this story that I had clipped out of a pharmacy magazine from some 30+ yrs ago. 

Unfortunately, It is a true story and what reminded me of this story is that I have been on a closed pharmacy FB page and someone started a discussion about filling/not filling high dose opiates for pts.

There were a few Pharmacist that take the side of the chronic painer, but the vast majority would not come off their lofty pedestal and they were not going to budge.

At least one made the statement… ” I don’t have to fill anything… if I don’t want to”

I have posted this article in the thread on that FB page… will be interesting to see where things go.

I wonder what would happen if pts printed this article out and as they left the pharmacy without their necessary medication handed them a copy of this article ?

This happened before there was a Americans with Disability Act and a time when addiction was not really considered a mental health disease and more of a choice.