FDASIA WG Regulations Sub-Group Report Out HIT Policy Committee FDASIA WG May 30 2013 .

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Transcript of FDASIA WG Regulations Sub-Group Report Out HIT Policy Committee FDASIA WG May 30 2013 .

FDASIA WGRegulations Sub-Group Report Out

HIT Policy Committee FDASIA WG

May 30 2013

www.jgoldman.info

Breakout Topics

• Clarification of “regulation”– FDA vs non FDA– Written vs. applied

• Notion of scope of “safety”• Review of published literature for regulatory

duplication and ambiguity– Deliverables will be:

• prioritized list of ambiguities and duplication requiring resolution• Potential new issues that need to be avoided• Proposed solutions – Will assess recommendations / work

products from other groups to guide our recommendations

Examples to help clarify regulatory recommendations

• EHR-medical device data representation/gaps– Hazards cross FDA regulated and other spaces

• Data time stamping• Technology complexity is not necessarily

aligned with severity of risk – PCA example• Interoperability• Need for surveillance of HIT systems

– Data logging / black box recording as a basis for improving system safety

Experiment

Experiment: Simulator is set to create transient desaturation99%->70%->99%

2 sec averaging time

8 sec averaging time

Pulse Ox is set to: 16 sec averaging time

What is the real O2saturation?Which value will be recorded in EHR?Averaging time should be included in EHR data

Julian M. Goldman, MD / MGH

Photos of pulse ox screens when they display the lowest saturation

Monitor

GE Monitor Recorded Low SpO2 Alarm Event “84%”

No evidence of low SpO2 in EHR

Example:Low pulse oximetry value created an alarm. Low sat data is not recorded by EHRAlarm event is not captured in EHRWHY? Configuration? Intended performance? What if caused by performance issue with IT h/w (“Cisco router”)

Julian M. Goldman, MD / MGH

Sources of variation in EHR documentation d/t Data Sampling

Patient’s “actual” SpO2 minimum = 70%

Pulse Oximeter Displayed SpO2 at 8-second averaging time SPO2= 75

60 Seconds

Example of possible EHR sample points for 1-minute recording

Based on this example,EHR May record SpO2 as:98%92%80%75%Etc.

Device Clock Time Errors:Undermine system integrity and can create

emergent hazards

Clock time may originate in medical device, be consumed by other systems.

Medical Devices

EM R

EMR timestamp error

Blood gasanalyzer in OR

Consolidated 4 Hospital Summary (Draft)Device Type

Count StdDev Offset Average Offset Maximum Offset

Medical Devices (Excl. Workstations & Wall

Clocks) 1324 1:32:34 0:33:26 16:42:10

All devices

1732 1:22:12 0:25:58 16:42:10

Networked Devices that Auto-Sync 291 0:02:16 0:00:53 0:31:16

Stand-alone Devices 950 1:46:38 0:46:06 16:42:10

Hospital A 52 0:31:11 0:30:25 1:52:00

Hospital B 495 1:41:23 0:32:55 16:42:10

Hospital C 468 0:47:12 0:17:10 13:39:28

Hospital D 717 1:27:24 0:26:35 13:18:47

Draft – unpublished data

Incorrect dates

Device Location Device Location (Room) Device Type Manufacturer/

ModelDate Picture

Taken Date on Device Device Offset(DAYS)

General Unit Patient Tower Bladder Scanner BVI 3000 11/7/2011 1/8/2012 62D

Adult ER Emergency Department Bladder Scanner

Verathon Medical/ BVI

940011/22/2011 11/2/2011 -20D

Adult ER Emergency Department Bladder Scanner

Verathon Medical/ BVI

940011/22/2011 11/16/2011 -6D

OR Hallway 1 Imaging System Volcano S5 Cart Monitor 7/8/2011 7/7/2011 1D

Neuro Angio Neuro Angio Radiology Display *N/A* 11/21/2011 11/18/2011 -3D

PACU PACU Ultrasound Sonosite M-Turbo 11/29/2011 1/1/1970 42 years

NICU NICU Ventilator Drager/ Evita XL 11/29/2011 11/1/2016 5 years

Draft – unpublished data

Device Clock Time Errors:Undermine system integrity and can create

emergent hazards

Treatment errors, barriers to analysis of adverse events

Is this an example of an “interop problem” that should be solved in the proposed framework?

Patient-Controlled Analgesia (PCA)system safety concerns

PCA Pump(With patient button)

Nurse call Patient

• Patients can call to request more analgesia, but, cannot call for help when over-medicated.

• Over-medication can cause respiratory and cardiac arrest• Comprehensive monitoring is not typically used due to high

false/nuisance alarm rate• How can we improve safety of this system?• Solution: Smarter alarms with sensor fusion + capability to stop

medication infusion prior to injury

PCA Safety Issues continuehttp://ppahs.wordpress.com/2012/02/01/guest-post-yes-real-time-monitoring-would-have-saved-leah-2/This is the story of an 11 year old who died from narcotic-induced respiratory depression."Ten years after my daughter's death, nothing has changed in the codes of monitoring post-op patients continuously, until they leave the hospital. Alive."

http://www.apsf.org/newsletters/html/2010/spring/12_coalition.htmThis is a statement from a multi-hospital coalition frustrated by ongoing adverse patient events:"A closed-loop system, which stops or pauses opioid dosing if respiratory depression is detected, is desirable. Systems are most ideally centrally monitored. In any case, alarms should be audible or otherwise available to the primary caregiver, and a mechanism for prompt response should be in place."

http://ppahs.wordpress.com/about/"Carly Ann Pritchard ... suffered an ankle injury and then underwent surgery to reduce lingering pain from her ankle injury. Unfortunately, although she survived surgery, she suffered brain damage because of an accidental overdose from a morphine-filled pain pump - after surgery. A California appeals court recently upheld a jury's award of about $9.9 million in damages."

Newsletter

• “A particularly attractive feature may be the ability to automatically terminate or reduce PCA (or PCEA) infusions when monitoring technology suggests the presence of opioid-induced respiratory depression. To facilitate such capabilities, we strongly endorse the efforts to develop international standards for device interoperability and device-device communication.

• It is critical that any monitoring system be linked to a reliable process to summon a competent health care professional to the patient's bedside in a timely manner.”

Risk to patient of adding these capabilities is very low, although technology is sophisticated

Reporting … PCA as example

• Injury due to pump failure -> FDA report• Injury due to HIT-related contribution (body

weight error, allergy data lost, etc.) no report?• Injury due to INABILITY integrate devices and

HIT systems to prevent error – not reported

Interoperability

• Key enabler of HIT-based healthcare transformation

• Un-disciplined system integration has been introducing new hazards.

“Reporting”Leverage HIT for Surveillance

• IT’s strength is surveillance• Can we reduce pre-market regulatory burden

by improving surveillance of system– medical device + HIT components

• Single point of reporting adverse events and means to resolve issues – especially that cross regulated and “non regulated” spaces

Data Logger or Clinical Black Box Recorder

• Data Log supports Analysis and Playback for two complementary purposes:– Analysis of device / system interactions (debugging)– Analysis of adverse events involving patients

(clinical)• The log may include:

– Commands– Button presses– Information about the status of devices– Device connections and disconnections

Planes, Trains, Automobiles …

Proposed Next Steps wrt safety and regulatory framework

• Develop use cases to tease out Regulatory Framework requirements– Include high and low acuity– Usage venues: mHealth etc.

• Identify common needs across use cases (these or others)