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EHR-Q TN Main Conclusions & Recommendations. Brussels, March 30 th 2012. W hy certification ?. Reasons for “Certification”. eHealth and more specifically Electronic Health Record systems have an enormous potential to improve quality, accessibility and efficiency of care, provided they are:
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EHR-QTNMain Conclusions &Recommendations Brussels, March 30th 2012
Why certification? Brussels, March 30, 2012
Reasons for “Certification” • eHealth and more specifically Electronic Health Record systems have an enormous potential to improve quality, accessibility and efficiency of care, provided they are: • reliable, trustworthy and of sufficient quality; • sharable and interoperable; • used appropriately. • Quality labelling and certification through professional third party assessment offers best chances for a comparable and reliable quality documentation of those systems. Brussels, March 30, 2012
But there is a quality issue Myers et al*. show that adverse events related to the use of EHR systems are mainly resulting from: • missing or incorrect data; • data displayed for the wrong patient; • chaos during system downtime; • system unavailable for use. Examples of reported incidents in healthcare where a medical information system was the cause or a significant factor: http://iig.umit.at/efmi/badinformatics.htm *Myers DB, Jones SL, Sittig DF, Review of Reported Clinical Information System Adverse Events in US Food and Drug Administration Databases, Applied Clinical Informatics 2011; 2: 63–74.
Some EHR quality “statements” • Patients are too important to just suppose that EHR systems are trustworthy. • Patient data should not be locked into one system or application. • Patients essential data should be made available anywhere anytime to health professionals authorised to access them. • Patient has the right to request confidentiality of some data to be handled while taking full responsibility for that option. • Patients’ data accesses should be audit-trailed. Brussels, March 30, 2012
A Norwegian statement… A recent Norwegian statement is an important one and based on a large experience in certifying “messages” (certifying all kind of standards based data exchange). The Norwegian Ministry of Health and Care Services stated that “EHR Quality will be difficult to reach unless certification of the EHR systems is made mandatory”. Brussels, March 30, 2012
Not all EHR systems are good enough • Selecting the most appropriate application from the correct vendor is a real challenge => importance of assessing the systems’ quality. • Comprehensive and correct use is another important factor => • Importance of training the users • Importance of assessing the users • Motivation for incentives for the users. Brussels, March 30, 2012
EHR Market: some considerations • Very fragmented as expected • May endanger quality of applications, though never proven. • Not the privilege of the suppliers: also large number of “important stakeholders”. • There is no one single nor homogeneous provision of healthcare in Europe, neither within one country • Each profession needs a “different” application. • Using the same application in several countries does not work. • There is some market “concentration” • Concentration of ownership • No concentration of applications, even when the same name is used in different countries Brussels, March 30, 2012
One of the project conclusions The only approach that may work seems to be to increase harmonisation within diversity, offering more and more “similar” (not identical), functions based on the same basic functional and quality specifications. Brussels, March 30, 2012
Roadmap towards a sustainable pan-European certification of EHR systems Brussels, March 30, 2012
Verification versus Validation • Verification = technical correctness of the software application or component of an application. Verification attempts to answer the question “is the software built right (rightly)?” => medical device directive ? • Validation = compliance of the application to the consumer’s / user’s functional expectations: is the application offering what it is expected to do? Validation attempts to answer the question “is the right software built?” => procurement and functional validation ! Brussels, March 30, 2012
Five areas for quality labelling and certification • Data exchange facilities (incl. IOP) • Functionality (incl. some aspects of IOP) • Administrative and billing facilities • Use related measurements and validation • Software development quality (out of scope, not specific for EHR systems) => Different expertise , different organisations Dublin, November 17-18
Actual Status of Quality Labelling and Certification Brussels, March 30, 2012
Procedure and kind of attestation most suitable procedure
Diversified reality • Two Tracks : “Authority driven” versus “Market Driven” • Public initiative / Supplier initiative • For the market driven approach: by an independent organisation or by an industrial organisation • Two Methods: third party assessment versus self-assessment • Two main Approaches: system functionality versus “Interoperability” testing • National or even Regional Certification versus Cross-Border Quality Labelling Brussels, March 30, 2012
Actual “National” Certification Brussels, March 30, 2012
Conditions enabling “national certification” Consortium listed the top 5 enablers for a country wide certification: • Stimulate the use of certified EHR systems by creating incentives (€). • Create a legal framework enabling to define quality criteria for the EHR. • Initiate a cooperative platform involving all stakeholders to define domain / profession specific quality criteria for the different EHR settings (GP, secondary care, …). • Stimulate the use of certified EHR systems by offering services (e.g. simplification of administrative procedures). • Initiate a cooperative platform involving all stakeholders to define overall quality criteria for the EHR. Brussels, March 30, 2012
Impact of “national” certification Consortium listed the top 5 good reasons to adopt country wide EHR certification: • Assure compliance to national rules and standards. • Increase quality of the products through coherent and pre-tested functionality. • Leverage exchange of health (care) related data and interoperability of systems. • Improve patient safety in care. • Have a reliable data source for secondary use. Brussels, March 30, 2012
Actual “cross border” quality labelling • There is no “authority driven” cross-border certification. • The three “private” initiatives are indeed border-independent: • EuroRec: independent, focus on EHR systems (functional and exchange as function) • I.H.E.: industry driven, focus on testing the exchange and the technical interoperability • Continua Health Alliance: industry driven, focus on devices content portability Brussels, March 30, 2012
Quality Requirements applicable to Quality Labelling and Certification Brussels, March 30, 2012
Stakeholders & Functional Diagram - Applicable standards <= ISO/IEC 17011 ISO/IEC 17020 => ISO/IEC 17025 => Brussels, March 30, 2012
Applicable standards [1] General requirements for accreditation bodies accrediting conformity assessment bodies (ISO/IEC 17011:2004) - Quality management systems – Fundamentals and vocabulary (9000:2000) [2] Conformity assessment – Vocabulary and general principles (ISO/IEC 17000:200) [3] International vocabulary of basic and general terms in metrology (VIM:1993) [4] General requirements for bodies operating product certification systems (ISO/IEC Guide 65) [5] General requirements for the competence of testing and calibration laboratories (ISO/IEC 17025:2005) Brussels, March 30, 2012
Recommendations (about the process) Brussels, March 30, 2012
Recommendations (about the process) Brussels, March 30, 2012
Towards more generalised and systematic Quality Labelling and Certification Brussels, March 30, 2012
Prerequisite “ If quality labelling and certification of EHR systems is to become generalised, then it needs endorsement at the highest competent levels e.g. by the EU Commission, the responsible Member States Ministries, the Healthcare Providers Organisations and the specialised industry.” Brussels, March 30, 2012
Roll-out approaches • Mandatory • Easier to implement a long term strategy • Only possible when the use of EHR is made mandatory • Voluntary • Slower take-up • Important efforts in consensus building • Incentivised • The best of two worlds with patient empowerment • Incentives are not for free Brussels, March 30, 2012
Improve the European Dimension • Healthcare still a national competence. • Dual approach only realistic one: • Extend the National Certification (deepening) • Incremental upgrade of cross-border initiatives • Recognition of national certificates. • European “incentives” for using certified systems. Brussels, March 30, 2012
Recommendations Brussels, March 30, 2012
Recommendations • Legal and regulatory framework • Create and harmonise the legal and regulatory framework stimulating national or regional authorities to enforce the use of quality labelled and certified applications. • Clarify the role of Directive 2007/47/EC regarding software development aspects, EHR functional aspects and Data-Exchange related issues • Involvement of stakeholders • Certification bodies should be accredited and compliant to international standards, more precisely ISO 17020. • Favour cooperation between all service providers active in different areas of quality labelling and certification of EHR systems: administrative data exchange, clinical data exchange and system functionality. • Create an advisory platform involving all stakeholders to agree on content and feasibility of requirements. Brussels, March 30, 2012
Recommendations (2) • Technical Framework • It is highly recommended to strengthen the European scale pioneering initiatives (EuroRec / I.H.E) in order to keep certification on the agenda and invest in maintenance and expansion of the actual descriptive statements and profiles. • Address the issue of personnel shortage in health informatics in general and more specifically in health informatics quality assessment. • Quality labelling and certification process • Third party assessment is the most suitable procedure for the still immature market of EHR systems • It is strongly recommended to start “small”, to evaluate effectiveness and to increase focus step by step • The incentivised model seems the most promising, surely for self-employed healthcare professionals Brussels, March 30, 2012
Recommendations: cross-border • Strengthen national certification in order to improve average quality and to enable in a second step the Trans-European harmonisation, improving comparability and portability of content. • Promote equivalence of certificates across Europe by validating at European level both the functional descriptive statements of EuroRec and the IHE profiles. • Consider the possibility to create a cross-border “Register of Quality Labelled or Certified Clinical Software”, offering information about the products (complete EHR systems as well a software modules) and documentation about the certification process. Brussels, March 30, 2012
What could the future bring? Brussels, March 30, 2012
Certification • Authority driven national certification will progress progressively: • because quality now becomes an issue • because the authorities want to influence the products • There is nevertheless a risk that these efforts aren’t • coordinated and comparable • re-usable outside country of certification Brussels, March 30, 2012
Conclusions • Market driven QL should be supported, independent and freely accessible. • Functional certification should be comparable and documented in the same way across borders by using an EHR functional descriptive language. Comparable national certification facilitates interoperability. • One-stop shopping regarding both data exchange and functionality quality labelling could boost the quality labelling and certification activities. Brussels, March 30, 2012