Former Conwy and Denbighshire NHS Trust Review of … · Review of Progress against Ionising...
Transcript of Former Conwy and Denbighshire NHS Trust Review of … · Review of Progress against Ionising...
FormerConwy and Denbighshire NHS Trust
Review of Progress against Ionising Radiation (Medical Exposure) Regulations 2000 and the Ionising Radiation (Medical Exposure) Amendment Regulations 2006 (IR(ME)R)
October 2007
Contents
1. Introduction and Context 1
2. Previous Audits and Inspections 3
3. Nuclear Medicine Department
i) Department Information
ii) Quality Of Patient Care
iii) Supporting Elements
iv) Summary Of Recommendation For Department
v) Summary Of Note Worthy Practice For Department
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4. Diagnostic Imaging Department
i) Department Information
ii) Quality Of Patient Care
iii) Supporting Elements
iv) Summary Of Recommendation For Department
v) Summary Of Note Worthy Practice For Department
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5. General Themes 27
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1. INTRODUCTION AND CONTEXT
On 30th and 31st October 2007 an assessment of the Nuclear Medicine and Diagnostic
Imaging Departments at Ysbyty Glan Clwyd Hospital was undertaken by Healthcare
Inspectorate Wales (HIW), the Health Protection Agency (HPA) and the Health and Safety
Executive (HSE). The visit was proactive and the department was required to complete a
self-assessment prior to the visit and the information provided therein was used to inform
discussions with key members of the departments.
The assessment involved a review of practice, including the administration of radioactive
medicinal products and standard operating procedures (SOPs). SOPs were also
considered in relation to the IR(ME) Regulations 2000. Practice in the external
radiopharmacy was excluded from the assessment, however, systems of work and written
procedures regarding the receipt of products from the radiopharmacy by the nuclear
medicine department were considered.
The Trust will be required to develop an action plan in response to the recommendations
in this report.
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2. PREVIOUS AUDITS AND INSPECTIONS
Nuclear Medicine
A previous pro-active IR(ME)R inspection of the department was undertaken on the 18th
November 2003, which was carried out by the IR(ME)R Inspectorate at the Department of
Health on behalf of the National Assembly for Wales. Recommendations made as a
consequence of the inspection were documented on the day of the visit and have since
been acted upon, however, no formal written report was forwarded to the Trust.
In addition, an Environmental Agency review and inspection of radioactive waste and work
environment was undertaken on the 17th July 2007. Although at the time of our visit no
report had been received by the Trust we were told that positive verbal feedback had been
given by the review team.
Diagnostic Imaging
A previous pro-active IR(ME)R inspection of the department was undertaken in 2001 by
the IR(ME)R Inspectorate at the Department of Health on behalf of the National Assembly
for Wales. Recommendations made as a consequence of the inspection were documented
on the day of the inspection and have since been acted upon, however, no formal written
report was forwarded to the Trust.
A Health and Safety Executive (HSE) inspection was undertaken in 2001 to ensure
compliance with IRR99. A further HSE follow-up inspection undertaken in 2006 confirmed
that recommendations had been acted upon.
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3. NUCLEAR MEDICINE DEPARTMENT
i) Departmental Information
Activity
During 2006-07, 1187 diagnostic nuclear medicine procedures were carried out by the
nuclear medicine department. No therapeutic nuclear medicine interventions are
administered at the department.
Equipment and Facilities
A detailed equipment inventory and local procedures for equipment testing are in place.
These procedures are noteworthy.
Quality of Environment
The department was clean, comfortable, generally well designed and maintained and was
self-contained. There are sufficient changing rooms and patient gowns for nuclear
medicine patients, although separate waiting areas for in-patients and out-patients are not
available.
Staff Providing Nuclear Medicine Services
There are 3, whole time equivalent (wte) consultants who are Administration of
Radioactive Substances Advisory Committee (ARSAC) certificate holders, who work within
the department, however, only some were significantly involved with nuclear medicine.
There are 9 Specialist Registrars working in radiology on rotation throughout North Wales,
with a maximum of 3 in Conwy and Denbighshire NHS Trust at any one time. There are
4.8 wte radiographers with a post graduate qualification in nuclear medicine but only two
work in the exposure room at any one time. 1.1 wte Medical Technical Officers, 2 wte
physicists, 0.6 wte Radiopharmacists and 3 Radiation Protection Supervisors (RPS) staff
are working on site. Also the Trust has 1 wte nuclear medicine radiography student and 1
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medical physics student. There are 10 ARSAC certificate holders within the Trust, of
which 3 are working with the radiology department.
While evidence was provided to confirm that Computered Tomography (CT) training is
undertaken by the Nuclear Medicine radiographers such training was not formally
recorded. We identified that training records are not always completed at the time of
training, although training records are available. However medical staff training records
are very detailed and clearly laid out, and we consider this to be noteworthy practice.
We recommend that:
• All training, including CT, is formally recorded in training records; [See IR(ME) Regulation 4(4); 11 (1); 11(4)].
ii) Quality of Patient Care
Access to Nuclear Medicine services
The written procedures in place for access to Nuclear Medicine services are reviewed
every 3 years in line with the Trust’s review policy. However, we consider that they require
review for consistency and to ensure appropriate cross-referencing. There is also a need
to ensure that the use of terminology is correct and consistent (e.g. 'prior' and 'delegated'
authorisation) and also that consideration needs to be given as to whether every one of
the existing procedures accurately reflects practice ('if it doesn't happen in practice, take it
out').
The engagement of senior management within the Trust in the review and development of
written procedures is essential. It is important that employer responsibility is clearly
recognised and understood at Trust Board level and that consideration is given to the
process of establishing and reviewing them to ensure the involvement of the Clinical
Director in the ratification of procedures. Further, systems should be put in place to
ensure that all revisions and amendments to written procedures are clearly communicated
to staff.
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We recommend that:
• a review of written procedures is undertaken to ensure consistency, and appropriate
cross-referencing ;[See IR(ME) Regulation 4(2); Healthcare Standard 19].
• senior management are engaged in the review and development of all written
procedures; [See IR(ME) Regulation 4(2); Healthcare Standard 19].
• all revisions and amendments to written procedures are clearly communicated to staff;
[See IR(ME) Regulation 4(2); Healthcare Standard 19].
Referral Criteria
The Trust uses the Royal College of Radiologists referral guidelines.
We consider that a review of the entitlement procedure is required to ensure clarity and
accuracy. The Trust should issue a letter of entitlement to new (medical) referrers setting
out the scope of the services they provide, entitlement criteria and details of the referral
process.
The Accident and Emergency (A/E) referral form should be revised so that its layout and
format are similar to that already used for other referrals into the Diagnostic Imaging and
Nuclear Medicine Department, which is very clear and easy to use.
We recommend that:
• a review of entitlement procedures is undertaken; [IR(ME)R Schedule 1 (b)].
• the Trust issues a letter of entitlement to new (medical) referrers setting out the scope
of the services they provide, entitlement criteria and details of the referral process.
• Radiology- A&E need to complete the review of their referral form, adopting a similar
layout to those currently used in Diagnostic Imaging and Nuclear Medicine.
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Supply of sufficient relevant medical data
Requests for procedures are received via radiology request forms, paper or electronic, or
by referral letters, which are sent direct to the Consultant Radiologist. The nuclear
medicine practitioner or nuclear medicine authorising officer reviews all requests.
However, there is currently a lack of clarity in relation to the role of tertiary referrers and
this needs to be addressed within the policies and procedures.
All paper request forms are reviewed for completeness on receipt and any incomplete
requests are returned to the referrer with a letter explaining what additional information is
required. A ‘return log’ is completed by the radiographer who records the date the request
form was returned and to whom. This recognised as noteworthy practice.
We recommend that:
• The role of tertiary referrers needs to be clarifies within the written policies and
procedures.
The Justification Process
The department has a written procedure to identify those individuals entitled to act as
practitioners. However this procedure needs some clarification and updating in line with
IR(ME)R Amendment Regulations 2006 and the Medicine Administration of Radioactive
Substances ( MARS) Amendment Regulations 2006.
Written procedures identify the range of examinations that each practitioner or group of
practitioners can justify in accordance with each practitioners Administration of Radioactive
Substances Advisory Committee (ARSAC) licence. The written procedure does not entitle
persons other than consultant radiologists to justify examinations.
The written procedure does not include reference to locum or agency staff as this type of
staff are not employed within the department. Should this situation change within the
department, the procedure would need to address it.
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Justification
The Department has justification guidelines in place. However the role of the practitioner
is not made clear within the written procedures.
The practitioner directly justifies and authorises an examination, and then he/she will sign
the practitioner box. However if the examination is authorised by an operator, the
justification guidelines state the authorising operator is to sign in the box labelled ‘operator
initiating radiation exposure’ and insert the practitioners initials in the practitioner box.
We recommend that:
• the justification guidelines need to be more explicit in identifying who the practitioner is.
Special Attention
There is a written procedure in place that highlights that special attention is to be paid to
the justification where there is no direct health benefit to the individual, the urgency of the
exposure where pregnancy cannot be excluded and where the patient is breastfeeding.
Practical Aspects
Written procedures are in place that set out the scope of practice associated with each
operator or group of operators. The categories of practice assigned to each are indicated
in the operator matrix. Individuals entitled to act as an operator are identified by name and
grade.
The written procedure does not include reference to locum or agency staff as these are not
employed within the department. Should this situation change within the department, the
procedure would need to address it.
Local rules for the nuclear medicine department are in place.
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Preparation of Radioactive Medicinal Products (RMPs)
Written protocols are in place that set out the arrangements for every type of standard
practice for each piece of equipment. There is a written procedure for the review and
amendment of these written protocols and policies and procedures are reviewed every 3
years in line with the Trust’s review policy. However, we identified a need to review written
procedures for consistency and to ensure appropriate cross-referencing.
There is a written procedure in place relating to the requirement that special attention be
paid to the optimisation of medico-legal exposures, medical exposures involving high
doses, females in whom pregnancy cannot be excluded and females who are breast
feeding. This procedure does not cover paediatric examinations as these are conducted in
accordance with the ARSAC guidelines.
There is a written procedure concerning the preparation of Radioactive Medicinal Products
(RMPs) and this clearly identifies individual roles and responsibilities, which is mirrored in
the radiopharmacy operator matrix to ensure consistency. Documentation regarding the
preparation of RMPs is maintained via stock receipts, copies of requests and batch sheets,
which are recorded and filed. For each item received a request form is signed for prior to
a RMP being prepared. Worksheets are also checked and signed before and after
preparation and are again signed to document the release of the product. The individuals
who can authorise request forms, worksheets and release documentation are set out in
the operator matrix.
RMPs are prepared as patient doses in radiopharmacy and delivered in a syringe that is
shielded by an individual lead carrier. Each syringe is labelled with details of the following:
radioisotopes, format of radioisotope, patient name and ID number, and date and time of
administration. When ready RMPs are delivered to Gamma Camera room and stored in a
locked fridge until administration. Also each lead carrier is similarly labelled but with
patient’s initials instead of the name and ID number.
Personnel dose rates are monitored continuously and surface contamination monitoring is
undertaken daily and records of the results are kept.
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We recommend that:
• a review of the written procedures is needed to check for consistency and cross-
referencing, where appropriate; [See IR(ME)R Reg 4(2); Healthcare Standard 19].
Pre-administration
Radioactive Medical Products are administered within the Radioisotope room. Details
surrounding emergency situations were not discussed on the day of the inspection.
Each RMP preparation is carried from Radiopharmacy to the place of administration in
lead shielded containers by appropriately trained portering staff, Medical Physics staff,
Nuclear Medicine radiographers or radiopharmacy staff.
A patient information sheet is sent out to patients prior to them attending their examination.
On attendance at the appointments, the radiographer provides the patients with a full
verbal description of the examination including any possible side-effects. Advice is given
to patients as to how to reduce radiation dose to particular organs e.g. bladder. Information
given to patients in an emergency situation was not discussed on the day of the
inspection.
Administration of the Radioactive Medical Product (RMP)
There is a written policy for the identification of patients, which clearly identifies who is
responsible for identifying the patient as the one requiring the treatment. The policy also
addresses situations where a person may not be able to identify themselves fully e.g.
young children, people with a mental impairment, unconscious or unknown patients.
There is a policy for the protection of women of child bearing age which identifies the age
range for females of whom an enquiry must be made in relation to whether there is a risk
of them being pregnant. The policy clearly identifies which person has the responsibility
for enquiring if a female patient is pregnant or breastfeeding. However, this policy does
not address situations whereby a person may not be able to respond to the enquiry e.g.
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mentally impaired or unconscious patients, nor does the policy respect the patient’s right to
dignity and confidentiality.
Patients’ informed consent is sought prior to diagnostic procedures and written information
is given to each patient or their representative as appropriate regarding the medical
exposure.
There is a policy in place regarding Diagnostic Reference Levels (DRLs). The DRLs are
based on ARSAC guidelines with a +/- 10% differential allowance and to support this a
procedure in place for exceeding DRLs for individuals. Administered activity is checked by
the superintendent Radiographer on a monthly basis to ensure that DRLs remain within
their limits.
There are policies in place concerning the clinical evaluation of all medical exposures,
assessment of patient dose and administered activity and a written procedure for the
recording of patient doses.
Appropriate materials are used to prevent the spread of contamination from the injection of
radioisotopes and radiopharmaceuticals. All doses are moved in clinical receivers on a
trolley. Staff are required to wash their hands after contact with any radioactive material or
patient. All areas are monitored for contamination at the end of each day. All staff that
have had contact with radioactive material are monitored for contamination after each
session.
We recommend that:
• the policy for the protection of women of child bearing age should be amended to take
account of situations whereby a person may not be able to respond to the enquiry.
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iii) Supporting Elements
IRMER Schedule 1 (e) requires written procedures for ensuring that quality assurance
programmes are undertaken, however there was no such procedure in place. The only
process for quality assurance was by an audit carried out prior to IR(ME)R and IRR99
inspections.
There is a written procedure concerning medical exposures made as part of research.
There is a policy and procedure concerning the internal/ external reporting of actual or
suspected incidents occurring within the Nuclear Medicine Department, regardless of type.
A specific procedure is also in place concerning individuals being exposed to a greater
than intended dose of ionising radiation. This procedure is consistent with the Trust
reporting policy. There is also a written procedure to ensure the probability and magnitude
of accidental or unintended doses to patients from radiological practices are reduced as far
as reasonably practicable. Untoward incidents are reported using the Trust’s IR1 book.
All incidents involving radiation are also formally investigated and reported to the Radiation
Protection Committee.
Some clinical audit has been undertaken and within the last year audits of Paediatric Dose
and Injection Competency have been carried out. The last management/Radio Pharmacy
Audit (RPA) of radiation protection identified difficulties in relation to formal training which
has since been addressed. It also identified that Risk Assessments needed to be updated,
which is still to be actioned.
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iv) Summary of Recommendations for Nuclear Medicine
We recommend that:
• procedures are written to ensure Quality Assurance programmes are followed; [IRMER
Schedule 1 (e)];
• All training, including CT, is formally recorded in training records; [See IR(ME)
Regulations 4(4);11(1);11(4)];
• a review of written procedures is undertaken to ensure consistency, and appropriate
cross-referencing; [See IR(ME) Regulation 4(2); Healthcare Standard 19];
• senior management are engaged in the review and development of all written
procedures; [See IR(ME) Regulation 4(2); Healthcare Standard 19];
• all revisions and amendments to written procedures are clearly communicated to staff;
[See IR(ME) Regulation 4(2); Healthcare Standard 19];
• a review of entitlement procedures is undertaken [IR(ME)R Schedule 1 (b)];
• the Trust issues a letter of entitlement to new (medical) referrers setting out the scope
of the services they provide, entitlement criteria and details of the referral process;
• radiology- A&E need to complete the review of their referral form, adopting a similar
layout to those currently used in Diagnostic Imaging and Nuclear Medicine;
• the role of tertiary referrers needs to be clarified within the written policies and
procedures;
• the justification guidelines need to be more explicit in identifying who the practitioner is;
• the policy for the protection of women of child bearing age should be amended to take
account of situations whereby a person may not be able to respond to the enquiry;
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• written procedures for ensuring Quality Assurance programmes are followed [IRMER
Schedule 1 (e)];
• risk assessment should be updated on a regular basis.
v) Summary Of Note Worthy Practice For Nuclear Medicine
§ Medical staff training records which are very detailed and clearly laid out.
§ The Imaging Department’s referral form, which is clear and easy to use.
§ A ‘returns log’ that is completed by the radiographer to record the date and who any
incomplete referrals are sent to.
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4. DIAGNOSTIC IMAGING DEPARTMENT
i) Department Information
Activity
During 2006-07 approximately 76,000 radiography procedures were carried out.
Fluoroscopy, Computed Tomography (CT) and Magnetic Resonance (MR) scanning,
interventional radiology, mammography, ultra sound scanning and dental procedures are
also carried out within the department.
Physicians provide cardiology interventions with radiographer support from the imaging
department. Physicians are part of a separate management system and structure within
the Trust compared to the main imaging department.
Equipment and facilities
A detailed equipment inventory and local procedures for equipment testing are in place.
The equipment inventory is very clear and comprehensive, which is noteworthy practice.
Quality of environment
The main imaging department is located in the old part of the hospital site that has a
particular problem with asbestos, which prohibits the creation of larger waiting areas.
Although there are separate waiting areas for in and out patients, there is an inadequate
supply of patient gowns available, which has been identified as an ongoing problem.
Patients have access to hand washing facilities following an intervention but no showering
facilities are available.
We recommend that:
• a review into the availability of patient gowns is undertaken to ensure adequate
numbers are available.
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Staff providing Diagnostic Imaging and interventional services
There are 7.8 whole time equivalent (wte) Consultant Radiologists that work within the
department. These include 2 Consultants who specialise in Mammography and 2 who
carry out interventional work, although all consultants participate in CT and MR scans.
There are 53.8 wte Radiographers and 5 Radiation Protection Supervisors (RPS). The
department also takes 3-4 students per year on rotation from the University of Wales,
Bangor, who rotate through all imaging areas.
The department has no long-term vacancies i.e. over 3 months.
All staff have appropriate skills and qualifications and receive the necessary training, which
is recorded within well kept staff training records.
All staff undertake a mandatory 1 day induction programme, with the exception of
consultant medical staff for whom no formal induction programme is in place. Junior
Doctors within which radiology has a 15-minute presentation slot, in addition they all
receive radiology guidelines and are directed to the website for additional details.
We recommend that:
• formal arrangements for induction for the consultant medical staff need to be
considered.
ii) Quality of Patient Care
Access to Diagnostic Imaging and interventional services
There are written procedures in place for access to Diagnostic Imaging and interventional
services which are reviewed every 3 years in line with the Trusts review policy. However
we consider they should be reviewed for consistency and to ensure appropriate cross-
referencing.
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The engagement of senior management in the review and development of written
procedures is essential. It is important that employer responsibility is clearly recognised
and understood at Trust Board level and that consideration is given to the process of
establishing and reviewing them to ensure the involvement of the Clinical Director in the
ratification of procedures. Further, systems should be put in place to ensure that all
revisions and amendments to written procedures are clearly communicated to staff.
Definitions of Entitlement within the policies and procedures need to be reviewed and
brought up to date. Staff were not aware the IR(ME)R Amendment Regulations which
were implemented in November 2006.
We recommend that:
• a review of all written procedures is undertaken to check for consistency and cross-
referencing, where appropriate; [IRMER Reg 4(2); Healthcare Standard 19];
• senior management are engaged in the revision and amendments of all written
procedures; [IRMER Reg 4(2); Healthcare Standard 19];
• the trust need to ensure that staff are made aware of the IR(ME) Amendment
Regulations; implemented in November 2006.
Referral criteria
The Trust uses the Royal College of Radiologists referral guidelines. While version 6 of
the guidelines have been adopted by the Trust only version 5 was available on the Trust’s
website. This has resulted in two different versions of referral criteria being used and the
situation needs to be rectified.
The Trust should issue a letter of entitlement to new (medical) referrers setting out the
scope of the services they provide, entitlement criteria and details of the referral process.
We consider that a review of the entitlement procedure is required to ensure clarity and
accuracy. Open evenings for referrers are held by the Diagnostic Imaging Department to
explain the new referral form this is seen as good practice.
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The role of tertiary referrers is confusing. It is unclear if whether they are entitled to refer
in the same way as other medical referrers e.g. using the appropriate referral form.
The A&E referral form should be revised so that its layout and format are similar to that
already used for other referrals into the Diagnostic Imaging and Nuclear Medicine
Department, which is very clear and easy to use.
We recommend that:
• a review of entitlement procedures is undertaken; [IRMER Schedule 1(b)];
• the Trust issues a letter of entitlement to new (medical) referrers setting out the scope
of the services they provide, entitlement criteria and details of the referral process;
• the role of tertiary referrers focusing on entitlement needs to be clarified;
• the A&E referral form should be reviewed adopting a similar layout to those currently
used in Diagnostic Imaging and Nuclear Medicine.
Supply of sufficient relevant medical data
Requests for procedures are received via request forms, paper or electronic or referral
letters. All electronic requests are controlled by the ‘Trust Order Comms’ system.
All forms are reviewed for completeness on receipt and any incomplete requests are
returned to the referrer with a letter explaining what information is required. A ‘return log’
is completed by the radiographer who records the date the request form was returned and
to whom. This is noteworthy practice.
Justification Process
The department has a written procedure to identify those individuals entitled to act as
practitioners. The written procedure identifies the individual by name and professional
grade and entitles consultant radiologists and appropriately trained radiographers to act as
a practitioner. Written procedures identify the range of examinations that each practitioner
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or group of practitioners can justify dependent upon each practitioners training and
qualification. Dates when staff obtained a qualification need incorporating into
examination specific written procedures to ensure there is clarity on the range of
examination that can be justified by individual practitioners. Clarification is also required in
relation to the role of radiologists / Specialist Registrars (SpRs) in interventional work.
We recommend that:
• all written procedures are revised to ensure the appropriate use of terminology,
especially the words ‘justification’ and ‘authorisation’. Words such as ‘normally’ or
‘usually’ should be removed from these procedures; [IRMER Reg 6 Schedule 1(b)];
• the date of when staff obtained a qualification need incorporating into examination
specific written procedures;
• the role of radiologists / Specialist Registrars (SpRs) is provided in interventional work
is clarified.
Justification
The department has justification guidelines in place, although most medical exposures are
justified directly by practitioners (radiographers or radiologists) rather than those
individuals acting as operators. Both the practitioner and authoriser initial the request form
to ensure clear recording of justification and authorisation.
There is a written procedure in place stating that special attention should be given to the
justification of, medico-legal exposures, situations where there is no direct health benefit to
the individual and the urgency of the exposure where pregnancy cannot be excluded.
Practical Aspects
Written procedures are in place that set out the scope of practice associated with each
operator or group of operators. The categories of practice assigned to each are indicated
in the operator matrix. Individuals entitled to act as an operator are identified by name and
grade.
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Diagnostic Imaging or intervential Examination
There is a written procedure in place relating to the identification of patients. This
procedure clearly identifies which person has the responsibility for identification and
addresses situations where the person is unable to identify them self fully. It also covers
situations where more than one operator is directly involved in the medical exposure.
However, it does not set out the role of the assistant practitioners.
A clear procedure is in place in relation to making enquires of females of childbearing age
to establish whether there is a risk of them being pregnant. This identifies who is
responsible for making the enquiry and covers situations where an individual cannot
respond to the question, or where more than one operator is involved. It also highlights
issues of dignity and confidentiality.
Patients consent is actively sought prior to a procedure taking place and written
information and instructions are given to each patient or patient’s representative regarding
the medical exposure.
Diagnostic Reference Levels (DRL) are in place for each room and these are set locally.
There is also a written procedure in place for the review of DRLs if they are consistently
exceeded.
A written procedure for the clinical evaluation of all medical exposures and recording of
factors relevant to the patient dose is in place, which establishes how the making and
recording of clinical evaluations is the responsibility of the evaluating operator. In addition
there is also a written procedure for the assessment of patient doses.
We recommend that:
• Written procedures need to reflect the role of assistant practitioners; [IR(ME)R Reg
4(2) and Schedule 1].
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Research
Research is undertaken within the department and a written procedure is place concerning
medical exposures made as part of research.
The department has a good system in place for research trails and this is noteworthy.
Optimisation
Written protocols are in place for every type of standard practice for each piece of
equipment. However there is a need to review written procedures for consistency and to
ensure appropriate cross-referencing, as previously mentioned on page 15 of this report.
iii) Supporting Elements
A Medical Physics Expert establishes and reviews DRLs, quality assures radiographic
equipment and investigates all radiation incidents.
There is a written procedure concerning the internal and external reporting of actual or
suspected incidents.
Monthly multidisciplinary clinical audits are undertaken.
iv) Summary of Recommendations for Diagnostic Imaging
We recommend that:
• a review into the availability of patient gowns is undertaken and ensures adequate
number are available;
• formal induction arrangements for Consultant medical staff need to be considered;
• a review of all written procedures is undertaken to check for consistency and cross-
referencing, where appropriate; [IRMER Reg 4(2); Healthcare Standard 19];
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• senior management are engaged in the revision and amendments of all written
procedures; [IRMER Reg 4(2); Healthcare Standard 19];
• the trust need to ensure that staff are made aware of the IR(ME) Amendment
Regulations, implemented in November 2006;
• the Trust issues a letter of entitlement to new (medical) referrers setting out the scope
of the services they provide, entitlement criteria and details of the referral process;
• a review of entitlement procedures is undertaken; [IR(ME)R Schedule 1 (b)];
• the role of tertiary referrers, focusing on entitlement, needs to be clarified.
• A&E need to complete the review of their referral form, adapting a similar layout to
those currently used in Diagnostic Imaging and Nuclear Medicine;
• all written procedures are revised to ensure the appropriate use of terminology,
especially the words ‘justification’ and ‘authorisation’. Words such as ‘normally’ or
‘usually’ should be removed from these procedures; [IRMER Reg 6 Schedule 1(b)];
• the date of when staff obtained a qualification need incorporating into examination
specific written procedures;
• the clarification of role of radiologists / Specialist Registrars (SpRs) is provided in
interventional work;
• written procedures need to reflect the role of assistant practitioners [IRMER Reg 4(2) and Schedule 1].
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v) Summary of Noteworthy Practice for Diagnostic Imaging
§ A very clear and comprehensive equipment inventory is in operation, which is
deemed as good working practice.
§ The Imaging Departments referral form, which is clear and easy to use.
§ The use of the Diagnostic open evenings.
§ The completion of the ‘returns log’ by the radiographer/clerical officer to show what
date incomplete request forms were returned, the reasons why and to whom, and
then signatures to show procedure was adhered to.
§ Procedure 10, page 4 has a good clear statement when referring to a possible
Pregnancy. paragraph beginning: ‘If the examination of the pelvis………..’.
§ The department has a good system in place for research trials.
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5. GENERAL THEMES
• Procedures in place try to identify every eventuality rather than describing the norm
and then capturing the exceptions.
• Custom and practice is generally good but is not always captured in policies and
procedures.
• Quality control regarding review and ratification of policies is needed. Need a little
more clarity regarding responsibility at Board level.
• Approach to training seems to be more positive than many areas within the Trust.
• Communication between departments within radiology i.e. between nuclear
medicine and the ‘general department seems to be lacking, following discussions
on the days of the assessment. Amendments to the IRMER Regulations need to be
circulated between both departments.
• Staff seem enthusiastic, motivated and happy to be working within a supportive
team.