Another chronic painer/advocate that wants to help

Hello,

Let me take this time to introduce myself and give a little background of who I am and what I believe. First, my name is Sarah Yerxa. I am a pain patient and advocate. I have been an advocate for different reasons for most of my life. I’m an event planner, a researcher and am good at proof reading(I had good English teachers).  I was a very active Jaycee until I aged out; holding every office except state president. Last move was I started a new chapter from scratch. The highest award received was the national award for speak-up-write-up. The crisis around us is affecting not only patients but doctors, families, caregivers and more. We all need to get the real facts out and share our knowledge with whomever will listen. So let me know if I can help you and I will try my best. I will not be afraid to share my ideas and thoughts. I want to thank Linda Cheek for allowing me to assist with sharing our thoughts and experiences to make life a better one for all. Oh and no need to dumb down medical terms. Again, I’m here for you and hope we will make a great team.

Do these Senators really mean what they say ?

https://www.finance.senate.gov/imo/media/doc/2019-04-02%20CEG%20RW%20to%20CVS%20Health%20Corporation%20(Insulin).pdf

 

This letter is signed by Senators Grassley & Wyden who are chair and co-chair of the Senate Committee On Finance

Within the letter they are quoted as “We want to ensure that patients are able to acquire prescription drugs necessary for them to enjoy a happy and healthy life, and ensure that those drugs are affordable”

Are they are really interested in ALL PATIENTS being able to get ALL THEIR NECESSARY PRESCRIPTION DRUGS ? Including those that help manage SUBJECTIVE DISEASES ?

this should make Walgreen’s employees a bunch of “happy campers”

Walgreens, which has already angered store managers by slashing their bonuses, plans more cost-cutting

https://www.pantagraph.com/business/walgreens-which-has-already-angered-store-managers-by-slashing-their/article_01f7bf03-4382-5754-8b40-e00d7c191c23.html

Walgreens reported what it called its most difficult quarter in years on Tuesday, saying it will aim to cut another $500 million in costs annually by 2022, hitting workers and managers who are already feeling the pinch and spurring a makeover in many of its stores.

The Deerfield-based pharmacy chain had already cut bonuses for store managers and others last year — in many cases by thousands of dollars each — outraging managers who said they relied on those annual payments.

Walgreens also made changes to other benefits, said James Kehoe, global chief financial officer and executive vice president. He said during a conference call with analysts Tuesday that “lower bonus accrual” helped offset inflation and investments in store workers.

“The estimated bonus payout for the year has been substantially reduced,” Kehoe said.

The $500 million in new cost-cutting announced Tuesday comes on top of December’s announcement of $1 billion in annual costs Walgreens pledged to cut within three years.

Walgreens may reduce its information technology spending by $500 million to $600 million, Kehoe said.

Despite that, the company did not announce any changes to its plans to move 1,800 employees to Chicago’s former main post office, Walgreens spokesman Brian Faith said after the call. The company confirmed plans in June to relocate employees to 200,000 square feet in the riverfront building, including digital and IT employees.

But the cutbacks will hit the Rite Aid chain, which Walgreens acquired in 2017. Walgreens said it would close more Rite Aid stores than it had initially planned — 750, up from 600. Walgreens spent more than $4 billion to acquire its former rival’s nearly 2,000 stores.

Faith declined to comment further after the call.

Along with the cost-dutting, Walgreens said it planned to revamp many of its stores, highlighting partnerships with other companies that it hopes will spur growth.

The store has already partnered with online beauty retailer Birchbox, which has shops inside Walgreens’ beauty departments. It’s also partnered with grocery chain Kroger to offer food pickup at some Walgreens stores, and it has partnered with LabCorp to provide lab testing in stores. It’s also working with Sprint to offer wireless services and advice on mobile services and products.

“Our stores have had a one-size-fits-all mindset since the Walgreens strategy was created in the U.S. in particular, so we are reformatting and reshaping our stores,” Alex Gourlay, Walgreens’ co-chief operating officer, said.

For investors, it was hard to find reason to cheer the results.

Walgreens’ operating income fell more than 23 percent, to $1.5 billion, the company said. The company said it had profit of $1.24 per share. Earnings, adjusted for one-time gains and costs, slipped 5 percent to $1.64 per share in the second quarter.

The nation’s largest drugstore chain now expects adjusted earnings per share growth to be flat this year, compared with a previous forecast for growth of 7 to 12 percent that it had reaffirmed in late December.

The results Tuesday did not meet Wall Street expectations. FactSet says analysts were expecting earnings of $1.72 per share.

“A number of the trends we had been expecting and preparing for impacted us significantly more quickly than we had anticipated,” Stefano Pessina, executive vice chairman and CEO, said.

Moving forward, the company will focus on going increasingly digital, “transforming and restructuring” its retail offerings, and making its pharmacies destinations for health care needs, Pessina said

Walgreens Boots Alliance runs more than 18,500 stores in 11 countries and, along with CVS Health Corp., is one of the two biggest chains in the U.S. drugstore market.

Walgreens shares have decreased 7 percent since the beginning of the year. The stock has risen roughly 1 percent in the last 12 months. In June of last year, Walgreens shares plummeted following news that Amazon was acquiring PillPack, an online pharmacy headquartered in Massachusetts that delivers medications in presorted doses.

Naloxone should be coprescribed to high-risk patients, say federal agencies

Naloxone should be coprescribed to high-risk patients, say federal agencies

https://www.pharmacytoday.org/article/S1042-0991(19)30239-7/fulltext

The U.S. Surgeon General wants naloxone to be in the hands of more people and has openly urged physicians to prescribe it. Now, federal agencies are following this lead with their own calls to action. The Department of Health and Human Services (HHS) recently announced a recommendation for clinicians to coprescribe naloxone to high-risk patients. This includes, but is not limited to, patients who are on relatively high doses of opioids or take other medications along with opioids, as well as patients with opioid use disorder.

The HHS recommendation comes on the heels of an FDA advisory panel’s vote late last year in favor of changing the label for opioids that should be coprescribed with naloxone.

But how much is known about the benefits of coprescribing naloxone, and what should pharmacists keep in mind?

State mandates

Several states, including Arizona, Florida, Rhode Island, Virginia, and Vermont, have laws mandating that clinicians coprescribe naloxone with opioids.

At the FDA advisory panel meeting last year, Jeffrey Bratberg, PharmD, clinical professor at the University of Rhode Island College of Pharmacy in Kingston, presented data based on Rhode Island’s recent mandate to coprescribe naloxone, which followed other measures the state already had in place to make naloxone more widely available.

“We are kind of the perfect storm here in Rhode Island to increase access to naloxone given everything else we have done leading up to coprescribing,” said Bratberg.

There is a standing order for naloxone in almost every pharmacy in the state as well as mandated insurance coverage for naloxone. “But it was really this [coprescribing] policy that has pushed up the amount of naloxone going out,” Bratberg said.

Since the coprescribing mandate in Rhode Island went into effect last summer, more naloxone has been dispensed from pharmacies in 5 months than in the past 2 years, according to Bratberg.

“We’d all love to follow the Surgeon General’s recommendation to carry this, but not everyone can if they have financial barriers [or] insurance coverage barriers, or they go to their pharmacy and it’s just not stocked due to stigma,” he said.

The main concern about making coprescribing a federal mandate—if that were a possibility—would be the potential increase to annual health care costs, a concern that was also brought up during the FDA meeting. In addition to coprescribing, the FDA meeting focused on other ways to make naloxone more widely available, such as creating a low-cost OTC naloxone product.

FDA said earlier this year that it would help make development of OTC naloxone easier for drug manufacturers. From an accessibility standpoint this sounds hopeful, but questions remain about the costs to patients if an OTC naloxone product is highly priced and if insurance coverage is no longer an option.

Destigmatizing

Most pharmacists are aware of the stigma associated with naloxone and why it might lead patients to abandon a naloxone prescription out of fear of being shamed. Providing education to patients about why they are at risk can help get past some of that.

“I think it’s important to be very specific,” said Anita Jacobson, PharmD, clinical professor at the University of Rhode Island School of Pharmacy. Jacobson uses motivational interviewing when talking to patients about naloxone and their opioid prescriptions, and she makes sure to let them know specifically—based on other medications they are taking or underlying medical conditions they may have—why they are at risk and should have naloxone on hand.

Pharmacists and clinicians prescribing naloxone also have to be on the same page.

“It’s an easier conversation for a pharmacist to say, ‘Your provider thinks you should have this prescription, and I agree,’ versus the recommendation coming straight from the pharmacist,” said Bratberg.

In Rhode Island, Jacobson said, the coprescribing mandate has given pharmacists an opportunity to work more closely with physicians and other prescribers. Because many prescribers are scrambling to make sure they are compliant with the mandate, continuing education (CE) for these groups has been in demand. Prescribers in Rhode Island have requested that pharmacists provide the CE, whether it’s in a classroom or through a webinar.

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Bratberg has noticed something else since coprescribing was mandated in Rhode Island.

“Instead of a pharmacist dispensing an average of one naloxone [prescription] a week, now they are dispensing one every day, so that means it’s always in stock, it’s available, and this increased exposure destigmatizes it,” he said.

Now the CDC Seems to Be Pushing Fentanyl Myths in Its New Video

https://youtu.be/T2mhmLsd79E

https://www.cdc.gov/niosh/topics/fentanyl/risk.html

On March 27, the Centers for Disease Control, in collaboration with the Fredericksburg, Virginia Police and Fire Departments, released this video (above) to “help emergency responders understand the risks and what they can do to protect themselves from exposure to illicit drugs,” according to its description.

Introduced with a crime-drama soundtrack announcing a “real-life” scenario, police officers respond to an overdose call in a residential building. Needles and white powder are found in the bathroom. While the officers wait for a search warrant, with the suspects seated on the two beds, one officer begins experiencing distorted vision and dizziness. Eventually, the other decides to administer naloxone to his partner. The officer concludes that he must have been overdosing by merely being in the room with what is implied to be fentanyl, the bogeyman of opioids.

In the scenario, portrayed from body-camera footage, the CDC attributes the officer’s alleged overdose to “inhalation and touching eyes/nose/mouth,” “flushing drugs down the toilet [which] may have contaminated the towel” that one of the officers held, “respiratory protection donned incorrectly,” and “not changing gloves when contaminated.”

The sources of exposure alleged by the video fall in line with the broader narrative pushed by the Drug Enforcement Administration and other law enforcement sources that just one touch of fentanyl can be deadly—a myth that has been widely debunked by national organizations like American College of Medical Toxicology (ACMT) and American Academy of Clinical Toxicology (AACT) .

“If you rush, you’ll make small mistakes. And those could cost you,” says Officer Johnathan Piersol solemnly in the film. “For example, my respirator was hung up on my camera mount, and it didn’t create the proper seal.”

Drug journalist Zachary Siegel raised questions about the accuracy of the video’s implication that just sharing space with the drug could create immediate life-threatening health risks.

.@CDCgov: In this video, are you suggesting that illicit fentanyl was concentrated enough in the air of this rather spacious apartment with windows and A/C to cause officer’s to succumb to fentanyl exposure? https://t.co/Zhu3jTXfqI pic.twitter.com/xUA8DV8R67

Ironically, the CDC itself has published findings that contradict the messages communicated in the video.

“Symptoms of acute opioid intoxication resulting from incidental dermal contact with fentanyl … appears to be an unlikely occurrence,” wrote John Howard, MD and Jennifer Hornsby-Myers, MS for the CDC. Chronic low-level exposure could cause health problems, they noted, but people working with the substance in chemical manufacturing contexts are usually the ones at risk.

Siegel also pointed out that only law enforcement officers—not toxicologists—were interviewed.

the hospital ABSOLUTELY REFUSED TO TREAT ME PROPERLY WITH THE OPIATE RELATED MEDICATIONS I SO DESPERATELY NEEDED.

The CDC is winning, my friends! And why is that? Monetary payoffs — especially to hospitals to NOT prescribe necessary pain medications!!

I for one, know of this first hand! ! I just got a 7 level neck/thoracic fusion surgery yesterday & by last night the hospital ABSOLUTELY REFUSED TO TREAT ME PROPERLY WITH THE OPIATE RELATED MEDICATIONS I SO DESPERATELY NEEDED. It was the worst night of my life. If we don’t fight back, stand up, and let our voices be heard — we ARE going to lose this battle!

If you are in chronic pain, you MUST LET YOUR VOICE BE HEARD! Video Your Pain today! Don’t let the government win this fight! It is totally inhumane. We have to make them care! Videos ARE effective!

Safety concerns with the Centers for Disease Control opioid calculator

Safety concerns with the Centers for Disease Control opioid calculator

https://www.ncbi.nlm.nih.gov/pmc/articles/PMC5739114/

Morphine milligram equivalence (MME) and other comparable acronyms have been employed in federal pain guidelines and used by policy makers to limit opioid prescribing. On March 18, 2016, the Centers for Disease Control (CDC) released its Guideline for Prescribing Opioids for Chronic Pain. The guidelines provided 12 recommendations for “primary care clinicians prescribing opioids for chronic pain outside of active cancer treatment, palliative care, and end-of-life care”. One of the CDC recommendations states that clinicians “should avoid increasing dosage to ≥90 MME/day or carefully justify a decision to titrate dosage to ≥90 MME/day”.

There has been controversy regarding the methodology used to develop the CDC opioid prescribing guidelines,, including concern regarding the bias of the guideline committees due to its domination by the anti-opioid group, Physicians for Responsible Opioid Prescribing. The CDC used the Grading of Recommendations, Assessment, Development, and Evaluation (GRADE) framework for producing evidence-based recommendations; however, the guidelines deviated significantly from the established GRADE methodology without associated justification. There is a significant mismatch in the strength of the recommendations made in the guidelines and the supporting evidence. When considering that all recommendations were based on level 3 or 4 evidence yet eleven of the recommendations were assigned grade A, this is a major deviation from the National Clearing House guidelines on levels of evidence and grades of recommendations. The CDC guidelines excluded studies with observation periods of less than 1 year for basing their recommendations on the benefits and risks of opioids. According to the CDC guidelines, “No evidence shows a long-term benefit of opioids in pain and function versus no opioids for chronic pain with outcomes examined at least 1 year later”. This is inconsistent with current standards on analgesic study durations in chronic pain. The international harmonized standards adopted by the United States for approval of chronic pain interventions recommend 12 weeks for efficacy assessment. Tayeb et al conducted a review evaluating analgesic trial durations for opioids, antidepressants, anticonvulsants, nonsteroidal anti-inflammatory drugs, and behavioral therapy. The authors found that nearly all trials had active treatment durations of 12 weeks or less across 869 articles. Commenting on CDC’s recommendation on nonopioid therapies, Tayeb et al wrote, “if a one year minimum threshold for duration of active treatment were required to justify using any of the major typical therapies for chronic pain, then none of these nonopioid therapies could be recommended.”

CDC MME calculator

Along with the strategies employed by MME prescribing thresholds, the CDC provided a checklist for opioid prescribing, along with additional tools to guide clinicians on implementing the recommendations. These tools include the CDC’s “Opioid Guide App” for smartphone with the slogan “Managing Chronic Pain Is Complex, But Accessing Prescribing Guidance Has Never Been Easier”. The App includes an MME calculator requiring the user to enter different opioid(s) along with the daily dose to calculate the total MME daily dose. The App provides recommendations based on the calculated MME. For 50–89 MME/day, a message appears stating “For ≥50 MME/day, use extra precautions and reassess pain and function more frequently. Discuss reducing dose or tapering/discontinuing opioids if benefits do not outweigh harms”. For ≥90 MME, a message appears stating, “Caution: ≥90 MME may increase risk for overdose. Avoid or carefully justify doses >90 MME/day; consider referring to specialist and schedule reassessment at least every 3 months”. While we agree with the intended concept to improve safety, there are conspicuous flaws in the posted calculator that could significantly affect safety and incur increased risk of mortality and morbidity.

The case with methadone

A major flaw with the CDC calculator is the methadone to morphine conversion, as the conversion is neither linear nor bidirectional due to the unique and complex pharmacokinetics of methadone. Methadone’s unique additional mechanism of N-methyl-d-aspartate antagonism is thought to attenuate developed tolerance as the dose of other opioids is increased. Fudin et al pointed out significant swings at dose interval breaks and developed a mathematical model, The Fudin Factor©, that eliminates peaks and troughs with methadone dose conversions. The CDC calculator does not account for these significant swings and can be dangerous when used by clinicians inexperienced with methadone dosing. Table 1 demonstrates an example of the abrupt upsurge at dose interval breaks calculated by the CDC Opioid Guideline Mobile App.

Table 1

Methadone MME as calculated by the CDC Opioid Guideline Mobile App

Guideline resources: CDC Opioid Guideline Mobile App


Methadone daily dose (mg) Morphine milligram equivalent (mg)
20 80
21 168
40 320
41 410

Abbreviations: MME, morphine milligram equivalence; CDC, Centers for Disease Control.

Methadone conversion is very complex, and if built into a calculator, extensive warnings are in order. Accordingly, a balance between two different equations should be embedded in the software background, such that the conversion remains conservative in either direction when converting to or from methadone. Considering that methadone contributed to nearly one in three prescription opioid overdose deaths despite accounting for less than 2% of the prescription opioid sales examining opioid prescriptions and deaths from 1999–2010, it begs the question of whether or not many, if not most of these deaths, could be attributable to inaccurate dosing during opioid rotation when switching to or from methadone.

The case with tapentadol

Another flaw of the CDC calculator is the proposed MME for tapentadol. According to the CDC calculator, tapentadol 100 mg has an MME of 40. Tapentadol is a centrally acting analgesic with dual mechanisms, mu-receptor agonism and norepinephrine reuptake inhibition. Because of its dual mechanisms, the equianalgesic dosing found in clinical trials should not be used to predict nonanalgesic effects such as respiratory depression.

Tapentadol’s package insert does not list an MME or equianalgesic dose conversion because no study to date has been powered to appropriately assess conversion. In clinical trials, tapentadol extended-release (ER) (100–250 mg bid) had comparable analgesic effect to oxycodone controlled release (CR) (25–50 mg bid) in moderate to severe osteoarthritis pain, low back pain, and pain related to diabetic peripheral neuropathy. The key phrase here is “analgesic effect”, which by definition, cannot be used to attribute nonanalgesic effects such as respiratory depression.

Tapentadol is 18 times less potent than morphine for mu-opioid receptor activation, but only 2–3 times less potent in providing analgesia. The disparity between tapentadol’s affinity and analgesic potency is presumably due to its activity on norepinephrine reuptake inhibition, which is involved in descending pain modulation. Tapentadol’s activity on norepinephrine targets neuropathic pain, and it accordingly carries US Food and Drug Administration approval for treatment of pain related to diabetic peripheral neuropathy. Therefore, patients with neuropathic pain are likely to require a lower “MME” when prescribed tapentadol relative to other traditional opioids.

Based on mu-receptor potency, tapentadol’s MME for non-analgesic effects related to opioid receptor activation, such as respiratory depression, would be less than equianalgesic doses determined through clinical trials; therefore, applying this equianalgesic dose conversion when switching from tapentadol to a traditional opioid agonist (eg, morphine, hydrocodone, oxycodone) will yield higher opioid receptor activation and increased respiratory depression. For this reason, the CDC calculator MME for tapentadol represents a major safety issue if used when converting to or from tapentadol. Based on the CDC’s calculator’s, a patient on a tapentadol daily dose of 200 mg will have a calculated MME of 80 mg. Therefore, if this patient is converted to a daily dose of 80 mg of morphine, she/he will have higher opioid effects relative to their previous dose of tapentadol, and subsequently, would be placed at increased risk for opioid overdose.

We do commend CDC for not including buprenorphine in their online Opioid Guide App. Buprenorphine is a partial agonist at the mu-receptor and has antagonist activity at the kappa receptor. This results in a plateau effect of carbon dioxide accumulation as the dose increases and it is associated with a decreased incidence of opioid-induced respiratory depression. Additionally, buprenorphine has a significantly higher affinity for the mu-receptor compared to traditional pure mu agonists such that it will prevent their binding. This can represent a potentially dangerous situation when converting from buprenorphine to a pure mu agonist such as oxycodone. If a patient was not appropriately tapered off buprenorphine prior to oxycodone initiation, it could be expected to provide minimal analgesic effects, as buprenorphine inhibits oxycodone binding with the receptor. This could result in an unanticipated overdose if not appropriately considered when dosing oxycodone.

Ethical considerations

Recently, a considerable amount of attention has been paid to the CDC’s role in dealing with the public health crisis of chronic pain. To say the least, the organization’s conduct has eroded both public and clinician confidence, as well as violating accepted policy. First, CDC’s process of developing an opioid guideline has been criticized as unscientific and lacking transparency, as well as for being written by a group “stacked” with members of a zealous anti-opioid group. The creation of this guideline was clearly inconsistent with the Institute of Medicine’s recommended standards for the creation of clinical practice guidelines. More recently, Schatman and Ziegler noted that such manipulation of data is contributing to the tragic climate of opiophobia and oligoanalgesia, thereby resulting in needless suffering among patients with chronic pain. These transgressions are compounded by the CDC’s promotion of a flawed App for opioid conversion, which may have the potential to cause more overdoses than careful manual conversion when transitioning therapy between opioids!

Conclusion

MME dosing was designed in an attempt to examine opioids with similar analgesic effects and should not be used to determine an exact mathematical dosing conversion. The pharmacology and unique properties of each opioid and patient individuality must be considered when a therapeutic opioid conversion is contemplated. Conversion should not simply rely on a mathematical formula embedded within the CDC calculator software. Furthermore, the current calculation for methadone employed by the calculator could allow for potentially dangerous conversions. This is especially problematic considering this calculator is intended to target nonspecialist, general practitioners. We expect a higher level of scientific accuracy and integrity from an agency entrusted to protect citizens’ health and welfare.

It use to be when a healthcare professional was going to move a pt from one opiate to another.. they would use these conversion programs and take the recommended dose and CUT IT IN HALF to start… and then start titrating the pt’s dose UP OR DOWN to optimize the pt’s pain management and quality of life from the starting point.

No one, who knew what they were doing… would take the suggested dose from the conversion program and accept it as a black/white absolute RIGHT DOSE for the pt.

It was almost as if those who produced these opiate dosing guidelines had little/no experience in actually treating chronic pain pts ?

Here is one that I have always used as a reference and there is a couple of the foot notes on this program… and most/all of these various conversion programs have same/similar warnings.  https://globalrph.com/medcalcs/opioid-pain-management-converter-advanced/

Please review these important points:

Published equianalgesic ratios are considered crude estimates at best and therefore it is imperative that careful consideration is given to individualizing the dose of the selected opioid. Dosage titration of the new opioid should be completed slowly and with frequent monitoring.
Factors that must be addressed during the conversion process include: Age of the patient or presence of coexisting conditions. Use additional caution with elderly patients (65 years and older), and in patients with liver, renal, or pulmonary disease.
Conversion ratios in many equianalgesic dosing tables do not apply to repeated doses of opioids.
The amount of residual drug in the patient’s system must be accounted for. Example: fentanyl will continue to be released from the skin 12 to 36 hours after removal of the patch. Residual effects from discontinued long-acting formulations should also be assessed before converting a patient to a new opioid.
Review the concept of incomplete cross-tolerance:
D. McAuley: “Incomplete cross-tolerance relates to tolerance to a currently administered opiate that does not extend completely to other opioids. This will tend to lower the required dose of the second opioid. This incomplete cross-tolerance exists between all of the opioids and the estimated difference between any two opiates could vary widely. This points out the inherent dangers of using an equianalgesic table and the importance of viewing the tabulated data as approximations. Many experts recommend – depending on age and prior side effects – reducing the dose of the new opiate by 33 to 50 percent to account for this incomplete cross-tolerance. (Example: a patient is receiving 200mg of oral morphine daily (chronic dosing), however, because of side effects a switch is made to oral hydromorphone 25 – 35mg daily – (this represents a 33 to 50 percent reduction in dose compared to the calculated 50mg conversion dose produced via the equianalgesic calculator). This new regimen can then be re-titrated to patient response. In all cases, repeated comprehensive assessments of pain are necessary in order to successfully control the pain while minimizing side-effects.”
The use of high but ineffective doses of a previous opioid may result in overestimation of the converted opioid.
Ideally, methadone conversions (especially patients who were previously receiving high doses of an opioid) should only be attempted in cooperation with a pain specialist or a specialist in palliative medicine.

The authors make no claims of the accuracy of the information contained herein; and these suggested doses and/or guidelines are not a substitute for clinical judgment. Neither GlobalRPh Inc. nor any other party involved in the preparation of this document shall be liable for any special, consequential, or exemplary damages resulting in whole or part from any user’s use of or reliance upon this material.

Imagine if you would, a prescriber would use a test or testing equipment that was known to provide INACCURATE results and knowing that the results were INACCURATE and proceeded to develop a plan of treatment for the pt with these test results ?

Imagine if you would, that the prescriber had never thoroughly read the instructions or footnotes on the test or testing equipment, but stilled used the results from as the basis of developing a plan of treatment for a pt ?

Would the prescriber be guility of  MALPRACTICE ?

But isn’t this what all too many prescriber are doing when reducing pts opiate therapy down to the perceived MME limits within the CDC guidelines ?

Here is a few sentences out of the CDC opiate dosing guidelines that few seems to believe that they should observe or adhere to:

Here is four quotes from the CDC opiates guidelines:

https://www.cdc.gov/mmwr/volumes/65/rr/rr6501e1.htm

“The guideline is intended to ensure that clinicians and patients consider safer and more effective treatment, improve patient outcomes such as reduced pain and improved function.”

“Clinicians should consider the circumstances and unique needs of each patient when providing care.”

“Clinical decision making should be based on a relationship between the clinician and patient, and an understanding of the patient’s clinical situation, functioning, and life context.”

“This guideline provides recommendations for primary care clinicians who are prescribing opioids for chronic pain outside of active cancer treatment, palliative care, and end-of-life care.”

 

Doctors hope to fight substance abuse by limiting opioid prescriptions, but it may cause another crisis for those with chronic pain.

Doctors hope to fight substance abuse by limiting opioid prescriptions, but it may cause another crisis for those with chronic pain.

Kate Snow speaks with a patient struggling to manage her pain with less than half of her old prescription for opioid pills and patch tonight on NBC Nightly News with Lester Holt.

https://www.facebook.com/C50Advocacy/

AG’s “come out” to support the CDC guidelines “effectiveness” – more MEDICAL OPINIONS from ATTORNEYS ?



I find this article very interesting, if you notice all the references/foot notes have to deal with mostly only one conclusion about substance abuse/addiction.

There is not one mention if the CDC really had statue authority of even being able to generate/publish such opiate dosing guidelines.

I suppose that could be because that was not part of their mission/goal of writing this letter.

Does this just prove that anyone wanting to write a letter to justify a predetermined conclusion can find ample reference material to prove their point.

I would bet that someone could write a short article on a person being admitted to a hospital or has died after eating peanuts – it could be determine to be severely allergic to PEANUTS, however a large number of people could eat peanuts and never have a adverse reaction.

Likewise, someone could be charged with driving under the influence if they have taken a opiate, muscle relaxant, or benzo especially if they are naive to the medication.

Likewise, if the pt was prescribed a opiate post surgery and took a dose at a later date for a severe headache, pulled muscle  or some other very painful issue – this would be considered MISUSE – for taking the medication for some health issue that the medication was not prescribed for them.. even though it was originally prescribed for them.

 

Please share

Please share – Our very own C-50 Maria Higginbotham, from WA state – who was featured in the HWR report and many media articles and now will be on NBC Nightly News Tuesday, April 2, 2019. Thank you Maria for continuing to fight while being dangerously and inhumanely tapered. You are such a great example to all of us. Hoping Jan Shoop and I can perhaps meet up with you next week!!

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