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Adopted Unanimously by the Board in 1994 and Recently
Revised
"No physician and surgeon shall be subject to disciplinary action by
the Board for prescribing or administering controlled substances in the
course of treatment of a person for intractable pain."
Business and Professions Code section
2241.5(c)
Preamble
In 1994, the Medical Board of California formally
adopted a policy statement titled, "Prescribing Controlled Substances
for Pain." The statement outlined the Board's proactive approach to
improving appropriate prescribing for effective pain management in
California, while preventing drug diversion and abuse. The policy
statement was the product of a year of research, hearings and
discussions. California physicians and surgeons are encouraged to
consult the policy statement and these guidelines, which can be found at
www.medbd.ca.gov or obtained from the Medical Board of California.
In May 2002, as a result of AB 487, a task force was
established to review the 1994 Guidelines and to assist the Division of
Medical Quality to "develop standards to assure the competent review in
cases concerning the management, including, but not limited to, the
under treatment, under medication, and over medication of a patient's
pain." The task force expanded the scope of the Guidelines, from
intractable pain patients to all patients with pain.
Inappropriate prescribing of controlled substances,
including opioids, can lead to drug abuse or diversion and can also lead
to ineffective management of pain, unnecessary suffering of patients,
and increased health costs. The Medical Board recognizes that some
physicians do not treat pain appropriately due to a lack of knowledge or
concern about pain, and others may fail to treat pain properly due to
fear of discipline by the Medical Board. These Guidelines are intended
to improve effective pain management in California, by avoiding under
treatment, over treatment, or other inappropriate treatment of a
patient's pain and by clarifying the principles of professional practice
that are endorsed by the Medical Board so that physicians have a higher
level of comfort in using controlled substances, including opioids, in
the treatment of pain. These Guidelines are intended to promote improved
pain management for all forms of pain and for all patients in pain.
A High Priority
The Board strongly urges physicians and surgeons to
view effective pain management as a high priority in all patients,
including children, the elderly, and patients who are terminally ill.
Pain should be assessed and treated promptly, effectively and for as
long as pain persists. The medical management of pain should be based on
up-to-date knowledge about pain, pain assessment and pain treatment.
Pain treatment may involve the use of several medications and
non-pharmacological treatment modalities, often in combination. For some
types of pain, the use of medications is emphasized and should be
pursued vigorously; for other types, the use of medications is better
de-emphasized in favor of other therapeutic modalities. Physicians and
surgeons should have sufficient knowledge or utilize consultations to
make such judgments for their patients.
Medications, in particular opioid analgesics, are
considered the cornerstone of treatment for pain associated with trauma,
surgery, medical procedures, or cancer. A number of medical
organizations have developed guidelines for acute and chronic pain
management. Links to these references may be found on the Medical Board
of California's Web site at
www.medbd.ca.gov.
The prescribing of opioid analgesics for patients
with pain, may also be beneficial, especially when efforts to alleviate
the pain with other modalities have been unsuccessful.
Intractable pain is defined by law in California as:
"a pain state in which the cause of the pain cannot be removed or
otherwise treated and which in the generally accepted course of medical
practice no relief or cure of the cause of the pain is possible or none
has been found after reasonable efforts including, but not limited to,
evaluation by the attending physician and surgeon and one or more
physicians and surgeons specializing in the treatment of the area,
system, or organ of the body perceived as the source of the pain."
(Section 2241.5(b) of the California Business and Professions Code)
Physicians and surgeons who prescribe opioids either
for acute or persistent pain should not fear disciplinary or other
action from California law enforcement or regulatory agencies for the
mere fact of having prescribed opioids. The appropriate use of opioids
in the treatment of intractable pain has long been recognized in
California's Intractable Pain Treatment Act, which provides that "No
physician and surgeon shall be subject to disciplinary action by the
Medical Board for prescribing or administering controlled substances in
the course of treatment of a person for intractable pain." (Section
2241.5(c) of the California Business and Professions Code)
The Medical Board expects physicians and surgeons to
follow the standard of care in managing pain patients.
Guidelines
-
History/Physical Examination
A medical history and physical examination must be accomplished.
This includes an assessment of the pain, physical and psychological
function; a substance abuse history; history of prior pain treatment;
an assessment of underlying or coexisting diseases or conditions; and
documentation of the presence of a recognized medical indication for
the use of a controlled substance.
- Annotation One: The prescribing of controlled substances
for pain may require referral to one or more consulting physicians.
- Annotation Two: The complexity of the history and
physical examination may vary based on the practice location. In the
emergency department, the operating room, at night or on the
weekends, the physician and surgeon may not always be able to verify
the patient's history and past medical treatment. In continuing care
situations for chronic pain management, the physician and surgeon
should have a more extensive evaluation of the history, past
treatment, diagnostic tests and physical exam.
-
Treatment Plan, Objectives
The treatment plan should state objectives by which the treatment
plan can be evaluated, such as pain relief and/or improved physical
and psychosocial function, and indicate if any further diagnostic
evaluations or other treatments are planned. The physician and surgeon
should tailor pharmacological therapy to the individual medical needs
of each patient. Multiple treatment modalities and/or a rehabilitation
program may be necessary if the pain is complex or is associated with
physical and psychosocial impairment.
- Annotation One: Physicians and surgeons may use control
of pain, increase in function, and improved quality of life as
criteria to evaluate the treatment plan.
- Annotation Two: When the patient is requesting opioid
medications for their pain and inconsistencies are identified in the
history, presentation, behaviors or physical findings, physicians
and surgeons who make a clinical decision to withhold opioid
medications should document the basis for their decision.
-
Informed Consent
The physician and surgeon should discuss the risks and benefits of
the use of controlled substances and other treatment modalities with
the patient, caregiver or guardian.
- Annotation: A written consent or pain agreement for
chronic use is not required but may make it easier for the physician
and surgeon to document patient education, the treatment plan, and
the informed consent. Patient, guardian, and caregiver attitudes
about medicines may influence the patient's use of medications for
relief from pain.
-
Periodic Review
The physician and surgeon should periodically review the course of
pain treatment of the patient and any new information about the
etiology of the pain or the patient's state of health. Continuation or
modification of controlled substances for pain management therapy
depends on the physician's evaluation of progress toward treatment
objectives. If the patient's progress is unsatisfactory, the physician
and surgeon should assess the appropriateness of continued use of the
current treatment plan and consider the use of other therapeutic
modalities.
- Annotation One: Patients with pain who are managed with
controlled substances should be seen monthly, quarterly, or
semiannually as required by the standard of care.
- Annotation Two: Satisfactory response to treatment may be
indicated by the patient's decreased pain, increased level of
function, or improved quality of life. Information from family
members or other caregivers should be considered in determining the
patient's response to treatment.
-
Consultation
The physician and surgeon should consider referring the patient as
necessary for additional evaluation and treatment in order to achieve
treatment objectives. Complex pain problems may require consultation
with a pain medicine specialist.
In addition, physicians should give special attention to those pain
patients who are at risk for misusing their medications including
those whose living arrangements pose a risk for medication misuse or
diversion. The management of pain in patients with a history of
substance abuse requires extra care, monitoring, documentation and
consultation with addiction medicine specialists, and may entail the
use of agreements between the provider and the patient that specify
the rules for medication use and consequences for misuse.
- Annotation One: Coordination of care in prescribing
chronic analgesics is of paramount importance.
- Annotation Two: In situations where there is dual
diagnosis of opioid dependence and intractable pain, both of which
are being treated with controlled substances, protections apply to
physicians and surgeons who prescribe controlled substances for
intractable pain provided the physician complies with the
requirements of the general standard of care and California Business
and Professions Code section 2241.5.
-
Records
The physician and surgeon should keep accurate and complete
records according to items above, including the medical history and
physical examination, other evaluations and consultations, treatment
plan objectives, informed consent, treatments, medications, rationale
for changes in the treatment plan or medications, agreements with the
patient, and periodic reviews of the treatment plan.
- Annotation One: Documentation of the periodic reviews
should be done at least annually or more frequently as warranted.
- Annotation Two: Pain levels, levels of function, and
quality of life should be documented. Medical documentation should
include both subjective complaints of patient and caregiver, and
objective findings by the physician.
-
Compliance with Controlled Substances Laws and
Regulations
To prescribe controlled substances, the physician and surgeon must
be appropriately licensed in California, have a valid controlled
substances registration and comply with federal and state regulations
for issuing controlled substances prescriptions. Physicians and
surgeons are referred to the Physicians Manual of the U.S. Drug
Enforcement Administration and the Medical Board's Guidebook to Laws
Governing the Practice of Medicine by Physicians and Surgeons for
specific rules governing issuance of controlled substances
prescriptions.
- Annotation One: There is not a minimum or maximum number
of medications which can be prescribed to the patient under either
federal or California law.
- Annotation Two: Physicians and surgeons who supervise
Physician Assistants (PA's) or Nurse Practitioners (NP's) should
carefully review the respective supervision requirements.
Additional information on PA supervision
requirements is available at
www.physicianassistant.ca.gov.
PA's are able to obtain their own DEA number to use when writing
prescriptions for drug orders for controlled substances. Current law
permits physician assistants to write and sign prescription drug
orders when authorized to do so by their supervising physician for
Schedule II-IV. Further, a PA may only administer, provide or transmit
a drug order for Schedule II through Schedule V controlled substances
with the advanced approval by a supervising physician for a specific
patient. To ensure that a PA's actions involving the prescribing,
administration, or dispensing of drugs is in strict accordance with
the directions of the physician, every time a PA administers or
dispenses a drug or transmits a drug order, the physician supervisor
must sign and date the patient's medical record or drug chart within
seven days. (Section 1399.545(f) of the California Code of
Regulations)
NP's are allowed to furnish Schedule III-V controlled substances under
written protocols.
Postscript
While it is lawful under both federal and California
law to prescribe controlled substances for the treatment of pain, there
are limitations on the prescribing of controlled substances to or for
patients for the treatment of chemical dependency (see Sections
11215-11222 of the California Health and Safety Code). The California
Intractable Pain Treatment Act (CIPTA) does not apply to those persons
being treated by the physician and surgeon only for chemical dependency
because of use of drugs or controlled substances (Section 2241.5(d)).
The CIPTA does not authorize a physician and surgeon to prescribe,
dispense, or administer controlled substances to a person the
practitioner knows to be using the prescribed drugs or controlled
substances for non-therapeutic purposes (Section 2241.5(e)). At the same
time, California law permits the prescribing, furnishing, or
administering of controlled substances to or for a patient who is
suffering from disease, ailments, injury, or infirmities attendant on
old age, other than addiction (Section 11210 of the California Health
and Safety Code) and the CIPTA does apply to "a practitioner who is
prescribing controlled substances for intractable pain, and as long as
that practitioner is not also treating the patient for chemical
dependency."
The Medical Board emphasizes the above issues, both
to ensure physicians and surgeons know that a patient in pain who is
also chemically dependent should not be deprived of appropriate pain
relief, and to recognize the special issues and difficulties associated
with patients who suffer both from drug addiction and pain. The Medical
Board expects that the acute pain from trauma or surgery will be
addressed regardless of the patient's current or prior history of
substance abuse. This postscript should not be interpreted as a
deterrent for appropriate treatment of pain. |