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Negotiating Roadblocks In Handling Medical Records of Drug Seeking Patients

OBJECTIVES. Identify regulatory influences Provide guidance for documenting behaviors and drug seeking diagnosisReview practices for sharing patient drug seeking information Identify practices for disclosing drug seeking behavior to law enforcement. . DISCLAIMER. The information provided in this presentation does not constitute legal advice and is intended to be used for guidance. Resources for questions include:Privacy OfficerRisk ManagerIf you require legal advice, please consult 24

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Negotiating Roadblocks In Handling Medical Records of Drug Seeking Patients

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    1. Negotiating Roadblocks In Handling Medical Records of Drug Seeking Patients

    2. OBJECTIVES Identify regulatory influences Provide guidance for documenting behaviors and drug seeking diagnosis Review practices for sharing patient drug seeking information Identify practices for disclosing drug seeking behavior to law enforcement

    3. DISCLAIMER The information provided in this presentation does not constitute legal advice and is intended to be used for guidance. Resources for questions include: Privacy Officer Risk Manager If you require legal advice, please consult with an attorney.

    4. DRUG SEEKING BEHAVIOR Refers to a patient's persistent, manipulative, and/or demanding behavior to obtain medication. It may include obtaining or attempting to obtain a prescription drug, procure or attempt to procure the administration of a prescription drug by fraud, deceit, willful misrepresentation, forgery, alteration of a prescription, willful concealment of a material fact, or use of a false name or address. Seeking excessive prescribed drugs is a crime when it involves fraud, forgery, deception or subterfuge.

    5. DRUG ABUSE Drug abuse means the use of a psychoactive substance for other than medicinal purposes which impairs the physical, mental, emotional, or social well-being of the user. 42 CFR, part 2, Subpart B 2.11.

    6. LAW ENFORCEMENT Law Enforcement Agency City, County, Indian Tribe, State, or Federal Law Enforcement Official/Officer Police Officer Sheriff’s Deputy Medical Examiner Parole or Corrections Officer 45 CFR § 164.501; WI §§ 165.83(1)(b); 175.46(1)(g); 967.02(5) An officer or employee of any agency or authority of the United States, a State, a territory, a political subdivision of a State or territory, or an Indian tribe, who is empowered by law to: 1) Investigate or conduct an official inquiry into a potential violation of law; or 2) Prosecute or otherwise conduct a criminal, civil, or administrative proceeding arising from an alleged violation of law An officer or employee of any agency or authority of the United States, a State, a territory, a political subdivision of a State or territory, or an Indian tribe, who is empowered by law to: 1) Investigate or conduct an official inquiry into a potential violation of law; or 2) Prosecute or otherwise conduct a criminal, civil, or administrative proceeding arising from an alleged violation of law An officer or employee of any agency or authority of the United States, a State, a territory, a political subdivision of a State or territory, or an Indian tribe, who is empowered by law to: 1) Investigate or conduct an official inquiry into a potential violation of law; or 2) Prosecute or otherwise conduct a criminal, civil, or administrative proceeding arising from an alleged violation of law An officer or employee of any agency or authority of the United States, a State, a territory, a political subdivision of a State or territory, or an Indian tribe, who is empowered by law to: 1) Investigate or conduct an official inquiry into a potential violation of law; or 2) Prosecute or otherwise conduct a criminal, civil, or administrative proceeding arising from an alleged violation of law An officer or employee of any agency or authority of the United States, a State, a territory, a political subdivision of a State or territory, or an Indian tribe, who is empowered by law to: 1) Investigate or conduct an official inquiry into a potential violation of law; or 2) Prosecute or otherwise conduct a criminal, civil, or administrative proceeding arising from an alleged violation of law An officer or employee of any agency or authority of the United States, a State, a territory, a political subdivision of a State or territory, or an Indian tribe, who is empowered by law to: 1) Investigate or conduct an official inquiry into a potential violation of law; or 2) Prosecute or otherwise conduct a criminal, civil, or administrative proceeding arising from an alleged violation of law An officer or employee of any agency or authority of the United States, a State, a territory, a political subdivision of a State or territory, or an Indian tribe, who is empowered by law to: 1) Investigate or conduct an official inquiry into a potential violation of law; or 2) Prosecute or otherwise conduct a criminal, civil, or administrative proceeding arising from an alleged violation of law An officer or employee of any agency or authority of the United States, a State, a territory, a political subdivision of a State or territory, or an Indian tribe, who is empowered by law to: 1) Investigate or conduct an official inquiry into a potential violation of law; or 2) Prosecute or otherwise conduct a criminal, civil, or administrative proceeding arising from an alleged violation of law

    7. WHAT’S HAPPENING Fifteen people have died of prescription drug overdoses in Portage County since Jan. 1, 2006 Milwaukee Journal Sentinel story – “Legal Drugs, Lethal Access”

    8. PRESCRIPTION DRUGS WITH HIGHEST POTENTIAL FOR ABUSE Oxycontin Valium Vicodin Percocet Xanax Dolophine

    9. PATIENT OR CRIMINAL To Health Care Provider– Patient With Patient Rights To Law Enforcement – Criminal Healthcare providers are NOT an arm of law enforcement! HOW PATIENT IS VIEWEDHOW PATIENT IS VIEWED

    10. REGULATORY INFLUENCES 45 CFR § 164.512(f)(5) HIPAA Privacy Rule WI § 146.82(2)(a)5 – Confidentiality of Patient Health Care Records WI § 51.30 – State Alcohol, Drug Abuse, Developmental Disabilities and Mental Health Act

    11. REGULATORY INFLUENCES WI § 450.11(7) – Prescription Drugs & Prescription Devices – Prohibited Acts WI § 961 – Uniform Controlled Substances Act

    12. IMPORTANT CAVEAT Report information that is required or permitted BUT Disclosure of other PHI – e.g. patient chart – goes under standard analysis

    13. DISCLOSURES vs. REPORTS Mandatory reports: figure out to whom and how much Permissive reports: figure out scope If no report required or permitted, follow general rule: no disclosure unless: authorized by patient OR permitted under interface of HIPAA and Wisconsin law.

    14. ENCOUNTER PRACTICES FOR VERIFICATION OF IDENTITY Verification of patient identity by a picture ID or other identifying information Suspicion patient is falsely presenting Red Flag Rules

    15. ENCOUNTER DOCUMENTATION If suspect patient is exhibiting drug seeking behavior, document Reason, objective and subjective Provision of appropriate medical screening examination and stabilizing treatment if patient is receiving treatment in ER or appearing to need emergency care in another setting

    16. ENCOUNTER DOCUMENTATION Results of positive blood or urine drug screen tests Review of past history of drug seeking behavior as documented from previous encounters Referral to patient’s primary provider or others

    17. ENCOUNTER DOCUMENTATION Clear communication with patient about behavior, treatment plan, medication needs, alternative treatment instead of medication, and education

    18. ENCOUNTER DOCUMENTATION Final diagnosis of drug seeking behavior should not be documented unless there are strong objective findings to support the diagnosis.

    19. ENCOUNTER DOCUMENTATION Place an alert on the record to heighten awareness of the patient’s drug seeking behavior to communicate to others in the organization. Limit access to those with a “need to know”

    20. DISCLOSURE TO PROVIDERS Permitted for treatment & payment purposes when direct patient-provider treatment relationship Limits on mental health and alcohol & drug abuse information

    21. DISCLOSURE TO PROVIDERS Notifying external health care providers and/or emergency departments of patient “making the rounds” Organizational decision based on risks and benefits

    22. DISCLOSURES BETWEEN HEALTH PLANS & PROVIDERS Health care providers to health plans Treatment Payment Health Care Operations Health plans to health care providers Payment and health care operations Provider decision to use the information

    23. DISCLOSURES TO LAW ENFORCEMENT Crimes on the premises Contact may be made with limited information Individual’s name Circumstantial information HIPAA and Wis. Stat. 51 permit reporting Wis. Stat. 146 unclear organization decision Anything more requires authorization by the patient or a court order Information provided to law enforcement limited to: Individual’s name Circumstantial information related to the crime (does not include providing copies of patient health records Anything more requires authorization by the patient or a court order Information provided to law enforcement limited to: Individual’s name Circumstantial information related to the crime (does not include providing copies of patient health records Anything more requires authorization by the patient or a court order

    24. DISCLOSURES TO LAW ENFORCEMENT Crimes on the premises Patient steals drugs from facility Patient steals prescription pad from facility Patient presents to retail pharmacy with an altered prescription Patient threatens harm to provider/staff

    25. DISCLOSURES TO LAW ENFORCEMENT Questionable reportable crimes on the premises Patient is a licensed healthcare provider – reporting to licensing board Patient is pregnant and behavior a potential threat to unborn child Patient has illegal drugs on his/her person

    26. DISCLOSURES TO LAW ENFORCEMENT Reportable crimes on the premises seek guidance Patient presents to provider with false or misrepresentation of name Patient presents to provider with another person’s name (identity theft) Patient denies care for condition by other providers; records indicate care episodes elsewhere

    27. DISCLOSURES TO LAW ENFORCEMENT Providers are required to report to law enforcement officials and/or the medical examiner, the death of any individual who has died under the following circumstances: unexplained, unusual, or suspicious circumstances, homicides, suicides, deaths due to poisoning, whether homicidal, suicidal, or accidental.

    28. DISCLOSURES TO LAW ENFORCEMENT Providers are required to disclose upon request patient PHI (health records) to medical examiners responsible for completing a medical certificate or investigating the death.

    29. INQUIRIES FROM LAW ENFORCEMENT WITH NO BACKUP If general patient: may disclose facility directory information to verified law enforcement asking for patient by name, unless opted out. If mental health/substance abuse/DD: can neither confirm nor deny.

    30. INQUIRIES WITHOUT BACKUP (CONTINUED) Doesn't matter if: Patient is allegedly an illegal alien Patient gave a false name Patient is suspected of committing a crime (unless imminent danger) Patient is suspected of involvement in a car crash Information is somehow already out there

    31. NON-REPORTABLE PATIENT BEHAVIOR Patient presents altered prescription to external pharmacy (crime on premise of external pharmacy) Patient violates terms of established “pain contract”

    32. ORGANIZATION DOCUMENTATION Guidance or policy & procedure Provides direction and awareness to workforce Informs workforce what to disclose Addresses disclosures not involving PHI Prevents over and under reporting

    33. ORGANIZATIONAL TRAINING Registration staff Health Information Management staff Treatment staff Ambulance workforce

    34. Scenario 1 Patient steals drugs from mental health facility. Report ? Disclose?

    35. Answer to Scenario 1 Provider may report as a "crime on the premises." WI § 450.11(7)(a)

    36. Scenario 2 Patient steals a prescription pad from mental health facility. Report ? Disclose?

    37. Answer to Scenario 2 Provider may report as a "crime on the premises." WI § 450.11(7)(a)

    38. Scenario 3 Patient presents to the pharmacy with an altered/forged prescription. Report ? Disclose?

    39. Answer to Scenario 3 Pharmacist may report as a crime on the pharmacy premise and may provide a copy of the altered prescription based on the organization’s policy for doing so. WI § 450.11(7)(a)

    40. Scenario 4 Provider notified that patient presented to pharmacy with an altered/ forged prescription. Report ? Disclose?

    41. Answer to Scenario 4 Pharmacist may report as a crime on the pharmacy premise and may provide a copy of the altered prescription based on the organization’s policy for doing so. WI § 450.11(7)(a)

    42. Scenario 5 Patient presents to provider with false or misrepresentation of name. Report ? Disclose?

    43. Answer to Scenario 5 Provider may report as a crime on the premise. Refer to Local Privacy Officer, Risk Manager, administrative leader, or administrator-on-call or System Privacy Officer/Risk Manager. Legal Counsel review as needed. WI § 450.11(7)(a)

    44. Scenario 6 Patient presents to provider with another person’s name (identity theft). Report ? Disclose?

    45. Answer to Scenario 6 Provider may report as a crime on the premise. Refer to Local Privacy Officer, Risk Manager, administrative leader, or administrator-on-call or System Privacy Officer/Risk Manager. Legal Counsel review as needed. WI § 450.11(7)(a); 18 USC § 1028(a)(7); WI § 943.201; WI § 943.203

    46. Scenario 7 Patient is a licensed health care provider and commits drug seeking crime. Report ? Disclose?

    47. Answer to Scenario 7 Yes. Refer to scenarios above or regulations; questionable report to state licensing board and to be determined by administration/ leadership. Refer to System Privacy Officer/Risk Manager and Legal Counsel prior to reporting to licensing board. WI §§ 450.11(7)(a), 146.82(2)(a)5, 440.042(2)

    48. Scenario 8 Patient denies care for the condition by other providers; access to external records (integrated record system/ regional health information network) indicates similar care episodes elsewhere. Report ? Disclose?

    49. Answer to Scenario 8 Questionable as crime on premise. Provider. Refer to Local Privacy Officer, Risk Manager, administrative leader, or administrator-on-call or System Privacy Officer/Risk Manager. Legal Counsel review as needed. WI § 450.11(7)(a)

    50. Scenario 9 Patient has illegal drugs on his/her person. Report ? Disclose?

    51. Answer to Scenario 9 Questionable. Organization must develop policy for process/disposal. To be determined by organization policy. Multiple

    52. Scenario 10 Patient is pregnant and drug seeking behavior a potential threat (abuse/harm) to unborn child. Report ? Disclose?

    53. Answer to Scenario 10 Questionable. Refer to System Privacy Officer/Risk Manager and Legal Counsel. WI § 48.981(3)(a)1 WI § 146.82(2)(a)11

    54. Scenario 11 Patient threatens harm to provider/staff in drug seeking behavior. Report ? Disclose?

    55. Answer to Scenario 11 Questionable. Based on perceived severity of threat of harm, immediately reportable by the provider, staff member, security, etc. Dangerous Patient Standard (Schuster vs. Altenberg)

    56. Scenario 12 Law enforcement officials request a copy of an altered/forged prescription presented to the Pharmacy (not the original prescription). Report ? Disclose?

    57. Answer to Scenario 12

    58. Scenario 13 Patient violates terms of established/ known “pain contract.” Report ? Disclose?

    59. Answer to Scenario 13

    60. Scenario 14 Provider contacted by patient’s health plan regarding multiple prescriptions prescribed by and filled by other providers. Report ? Disclose?

    61. Answer to Scenario 14 No. Provider must make a decision as to how the information shall be used or retained as part of the patient’s health record. Not necessarily an indication of drug seeking behavior.

    62. PRESENTERS Sarah Coyne, JD Quarles & Brady sarah.coyne@quarles.com Chrisann Lemery, MS, RHIA, FAHIMA WEA Trust clemery@weatrust.com

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