Update to Federal and State Controlled Substance Laws and
Guidelines
Tennessee Radiological Society
2020 Annual Scientific Meeting
February 22, 2020
Tyler Dougherty, PharmD
Assistant Professor of Pharmacy Practice
South College School of Pharmacy
I have no financial relationships to disclose and I will not discuss off label use or investigational use in my presentation.
Disclosure Information
• Compare and contrast chronic pain guidelines and their applications
• Discuss the role of co-prescribing naloxone in high risk patients
• Review the Tennessee buprenorphine treatment guidelines and challenges with medication-assisted treatment (MAT)
• Examine new and potential federal and state legislation affecting opioid prescribing
• Utilize the Tennessee Controlled Substance Monitoring Database in practice
Objectives
PRESCRIBING
OPIOIDS
NALOXONE
MAT
LEGISLATION
CSMD
CURRENT
LANDSCAPE
Outline
Current Landscape
• 70,237 drug overdose deaths in 2017• 47,600 overdose deaths related to opioids• 191,146,822 opioid prescriptions dispensed by retail
pharmacies• >17,000 people die annually from prescription opioid
overdose (46/day)• Largely remained unchanged
• Heroin overdose death rates have largely remained unchanged
• More than 28,000 deaths involving synthetic opioids in 2017• Almost a 50% relative change from 2016
National Landscape
Scholl L, Seth P, Kariisa M, et al. Drug and Opioid-Involved overdose Deaths – United States, 2013-2017. MMWR. 67 (51 & 52): 1419-1427. https://www.cdc.gov/mmwr/volumes/67/wr/pdfs/mm675152e1-H.pdf
National Landscape
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TN Overdose Deaths
Tennessee Drug Overdose Dashboard. TN Department of Health. https://www.tn.gov/health/health-program-areas/pdo/pdo/data-dashboard.html
• 1,818 total overdose deaths
• 1,304 deaths attributed to opioids
• Fentanyl deaths increased 70%• 43% of individuals who died from a drug overdose had a
controlled substance dispensed within the last 60 days
• Heroin deaths increased 20%
• 44% of opioid-related overdose deaths included a benzodiazepine
TN Landscape – 2018 Data
Controlled Substance Monitoring Database: 2019 Report to the 111th Tennessee General Assembly. March 1, 2019. https://www.tn.gov/content/dam/tn/health/healthprofboards/csmd/2019%20Comprehensive%20CSMD%20Annual%20Report.pdf
• From 2012-2018, number of MME dispensed has decreased 43%
• 2012-2018 number of opioid prescriptions for pain have decreased by 30%
• 2012-2018 number of patients receiving >120 MME/day has decreased 48%
• First year on record for decrease in NAS cases
• Stimulant prescribing continues to increase• 51% growth from 2010-2018
TN Landscape
Controlled Substance Monitoring Database: 2019 Report to the 111th Tennessee General Assembly. March 1, 2019. https://www.tn.gov/content/dam/tn/health/healthprofboards/csmd/2019%20Comprehensive%20CSMD%20Annual%20Report.pdf
Controlled Substance Monitoring Database: 2019 Report to the 111th Tennessee General Assembly. March 1, 2019. https://www.tn.gov/content/dam/tn/health/healthprofboards/csmd/2019%20Comprehensive%20CSMD%20Annual%20Report.pdf
TN Landscape
Miller AM, McDonald M (2019). Neonatal Abstinence Syndrome Surveillance Annual Report 2018. Tennessee Department of Health, Nashville, TN. https://www.tn.gov/content/dam/tn/health/documents/nas/NAS%20Annual%20Report%202018%20FINAL.pdf
TN Landscape
Controlled Substance Monitoring Database: 2019 Report to the 111th Tennessee General Assembly. March 1, 2019. https://www.tn.gov/content/dam/tn/health/healthprofboards/csmd/2019%20Comprehensive%20CSMD%20Annual%20Report.pdf
TN Landscape
PRESCRIBING
OPIOIDS
Chronic Pain Guidelines
• Assess risk factors prior to initiating opioids• Previous treatments• Co-morbidities• History (overdose, SUD)• CSMD
• Can use a therapeutic trial of opioids
• Requires informed consent and treatment agreement
• Use the lowest effective dose• 50 MME/day• 90 MME/day
CDC Chronic Pain Guidelines
CDC Checklist: https://www.cdc.gov/drugoverdose/pdf/pdo_checklist-a.pdf
• Avoid benzodiazepines with opioid
• Must use UDT at onset and at least annually
• Check PDMP at onset and every three months
• Follow up with patient:• Change of dose: 1-4 weeks
• Stable dose: every 3 months
• Acute pain: 3 days sufficient, 7 days rarely
CDC Chronic Pain Guidelines
CDC Checklist: https://www.cdc.gov/drugoverdose/pdf/pdo_checklist-a.pdf
Limitations to CDC Guidelines
• Inflexible application of recommended ceiling doses/durations as hard limits
• Abrupt opioid taper or cessation
• Limited coverage and access to multi-modal, comprehensive care
• OUD diagnosis difficulty and access barriers
• Payors applying dosage limits
Kurt Kroenke, Daniel P Alford, Charles Argoff, Bernard Canlas, Edward Covington, Joseph W Frank, Karl J Haake, Steven Hanling, W Michael Hooten, Stefan G Kertesz, Richard L Kravitz, Erin E Krebs, Steven P Stanos, Mark Sullivan, Challenges with Implementing the Centers for Disease Control and Prevention Opioid Guideline: A Consensus Panel Report, Pain Medicine, Volume 20, Issue 4, April 2019, Pages 724–735, https://doi.org/10.1093/pm/pny307
Limitations to CDC Guidelines
Petrosky E, Harpaz R, Fowler KA, et al. Chronic Pain Among Suicide Decedents, 2003 to 2014: Findings From the National Violent Death Reporting System. Ann Intern Med. [Epub ahead of print 11 September 2018]169:448–455. doi: 10.7326/M18-0830
Individualized, Integrative Treatment
U.S. Department of Health and Human Services (2019, May). Pain Management Best Practices Inter-Agency Task Force Report: Updates, Gaps, Inconsistencies, and Recommendations. Retrieved from U. S. Department of Health and Human Services website: https://www.hhs.gov/ash/advisory-committees/pain/reports/index.html
Tapering: Benefits vs Risk
Dowell D, Compton WM, Giroir BP. Patient-Centered Reduction or Discontinuation of Long-term Opioid Analgesics: The HHS Guide for Clinicians. JAMA. Published online October 10, 2019. doi:10.1001/jama.2019.16409.
• Can use a therapeutic trial of opioids
• Requires informed consent and treatment agreement
• Use the lowest effective dose, immediate release products
• Discuss and document the 5 A’s (analgesia, activities of daily living, adverse side effects, aberrant drug-taking behaviors and affects) at each visit
TN Chronic Pain Guidelines
Tennessee Chronic Pain Guidelines. https://www.tn.gov/content/dam/tn/health/healthprofboards/pain-management-clinic/ChronicPainGuidelines.pdf
TCA §63-1-164
“Informed consent”… at a minimum:(i) Adequate information to allow the patient or the patient's legal representative to understand:(a) The risks, effects, and characteristics of opioids, including the risks of physical dependency and addiction, misuse, and diversion;(b) What to expect when taking an opioid and how opioids should be used; and(c) Reasonable alternatives to opioids for treating or managing the patient's condition or symptoms and the benefits and risks of the alternative treatments;
A healthcare practitioner may treat a patient with more than a three-day supply of an opioid if the healthcare practitioner treats the patient with no more than one (1) prescription for an opioid per encounter and:(i) Personally conducts a thorough evaluation of the patient;(ii) Documents consideration of non-opioid and non-pharmacologic pain management strategies and why the strategies failed or were not attempted;(iii) Includes the ICD-10 code for the primary disease in the patient's chart, and on the prescription when a prescription is issued; and(iv) Obtains informed consent and documents the reason for treating with an opioid in the chart.
Acts 2018, ch. 1039, § 6; 2019, ch. 117, § 1; 2019, ch. 124, §§ 7-13.
Informed Consent
Tennessee Chronic Pain Guidelines. https://www.tn.gov/content/dam/tn/health/healthprofboards/pain-management-clinic/ChronicPainGuidelines.pdf
• Primary Care Providers are encouraged to treat patients requiring <120 MME/day
• If patient requires >120 MME/day, must consult with pain medicine specialist
• If patient requires >120 MME/day for more than 6 months, must consult with a pain medicine specialist annually
TN Chronic Pain Guidelines
Tennessee Chronic Pain Guidelines. https://www.tn.gov/content/dam/tn/health/healthprofboards/pain-management-clinic/ChronicPainGuidelines.pdf
• Assess risk for abuse• ORT
• SOAPP-R
• Establish treatment goals• 3 item PEG Assessment Scale
• Avoid benzodiazepines with opioid
• Must use UDT at onset and at least twice yearly
• Check CSMD at least twice yearly per law
• Cannot use telemedicine
TN Chronic Pain Guidelines
Tennessee Chronic Pain Guidelines. https://www.tn.gov/content/dam/tn/health/healthprofboards/pain-management-clinic/ChronicPainGuidelines.pdf
• Pain present for <90 days
• Can be spontaneous, surgical, or injury-related
• Use multi-modal care:• Nonpharmacologic therapies
• NSAIDs for 2-4 weeks
• Education
• If pain persists, can try three days or less of opioids (tramadol, if not contraindicated)
• Avoid extended-release formulations in acute setting
• Evaluate for OUD and check CSMD
TN Chronic Pain Guidelines – Acute Pain
Tennessee Chronic Pain Guidelines. https://www.tn.gov/content/dam/tn/health/healthprofboards/pain-management-clinic/ChronicPainGuidelines.pdf
• Walmart: 7 day supply with up to 50 MME/day limit for opioids for acute pain• Requiring e-prescribing for opioids in 2020
• CVS/Caremark: 7 day supply with up to 90 MME/day limit for opioid prescriptions for acute pain• PA required for: day supply increase, MME increase, or ER
therapy
https://www.caremark.com/portal/asset/Opioid_Reference_Guide.pdfhttps://corporate.walmart.com/newsroom/2018/05/07/walmart-introduces-additional-measures-to-help-curb-opioid-abuse-and-misuse
Discrepancies Across Corporations
• Express Scripts: “Initial fill days’ supply rule for adults initiating opioid therapy are limited to a 7-days’ supply for members’ first 4 fills, requiring a prior authorization to exceed 28-days’ supply in a 60-day period”
• TennCare: “up to 15 days in a 180-day period at a maximum dosage of 60 MME per day. After the first-fill prescription (less than or equal to 5 days), a member can receive up to an additional 10 days of opioid treatment with prior authorization.”
https://lab.express-scripts.com/lab/insights/drug-safety-and-abuse/our-focus-opioid-recovery-and-abuse-preventionhttps://oig.hhs.gov/oas/reports/region4/41800124_Factsheet.pdf
Discrepancies Across Corporations
• “Red Flags”• Distance between doctor, pharmacy, and residence
• Multiple pharmacies being used
• “Cocktails”
• Pre-printed/stamped pads
• OBRA’ 90 Requirements• Duplicate therapies
• Drug-disease contraindications
• Counseling requirements
• Insurance
Why does the Pharmacist call?
“A prescription for a controlled substance to be effective must be issued for a legitimate medical purpose by an individual practitioner acting in the usual course of his professional practice. The responsibility for the proper prescribing and dispensing of controlled substances is upon the prescribing practitioner, but a corresponding responsibility rests with the pharmacist who fills the prescription. An order purporting to be a prescription issued not in the usual course of professional treatment or in legitimate and authorized research is not a prescription within the meaning and intent of Section 309 of the Act (21 U.S.C. §829) and the person knowingly filling such a purported prescription, as well as the person issuing it, shall be subject to the penalties provided for violations of the provisions of law relating to controlled substances (21 C.F.R. §1306.04(a)).”
Corresponding Responsibility Doctrine
Food and Drugs, 21 C.F.R. § 1306.04. https://www.deadiversion.usdoj.gov/21cfr/cfr/1306/1306_04.htm
NALOXONE
Co-Prescribing Naloxone
Davis C. Legal interventions to reduce overdose mortality: naloxone access and overdose good Samaritan laws. The Network for Public Health Law. December 2018. https://www.networkforphl.org/_asset/qz5pvn/legal-interventions-to-reduce-overdose.pdf
Current State Naloxone Access
Abouk R, Pacula RL, Powell D. Association Between State Laws Facilitating Pharmacy Distribution of Naloxone and Risk of Fatal Overdose. JAMA Intern Med. 2019; 179: 805-11.
• States have various levels of naloxone access laws
• Naloxone access has implications for fatal and non-fatal opioid overdoses
Impact of NALs on Fatal Opioid Overdose
Type of NAL Δ Fatal OD Rate 95% CI P-Value
Direct Authority* -0.387 -0.119 to -0.656 0.007
Indirect Authority 0.121 -0.014 to 0.257 0.09
Weak NAL 0.094 -0.040 to 0.227 0.17
*Opioid related ER visits increased 15% relative other states
Does Which State You Live in Matter?
• Vermont mandated when opioids prescribed >90 MEE/day OR with a concomitant benzodiazepine
• Virginia mandated when opioids prescribed >120 MME/day or concomitant benzodiazepine
• Tennessee currently has a statewide pharmacy practice agreement• Naloxone can be dispensed to patients at risk of
overdose, to a family member or friend
• Pharmacist is required to complete training course
• Good Samaritan Law
Vermont Department of Health. Rule governing the prescribing of opioids for pain. http://www.healthvermont.gov/sites/default/files/documents/pdf/REG_ opioids-prescribing-for-pain.pdf. Published March 2019. Accessed April 28, 2019Virginia Department of Health Professions, Board of Medicine. Board of Medicine regulations on opioid prescribing and buprenorphine. https://www.dhp.virginia.gov/medicine/newsletters/ OpioidPrescribingBuprenorphine03142017.pdf. Published 2017. Accessed April28, 2019.
Co-Prescribing Naloxone
Consider in patients who:
• >50 MME opioid dose with:• Co-morbidities making the patient more
susceptible to overdose
• Concomitant benzodiazepine use
• History of SUD
• Polypharmacy
• Good Samaritan or family member
Co-Prescribing Naloxone
MAT
Medication Assisted Treatment
• Enacted in 2000 with intent of allowing addicts to be treated for addiction in office-based settings (outside of OTPs)
• Only permitted drugs are buprenorphine SL and buprenorphine-naloxone tablets/films
• Treatment must be by a “qualifying physician”
• Qualifying physician may not treat more than 100 patients and must obtain special DEA number• CARA 2016 increased the number of patients
• Special DEA Identification number (DATA 2000 Waiver ID or “X” number)
Drug Addiction Treatment Act (DATA)
DEA Requirements for DATA Waived Physicians. https://www.deadiversion.usdoj.gov/pubs/docs/dwp_buprenorphine.htm
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Patients Receiving Buprenorphine in TN
Tennessee Drug Overdose Dashboard. TN Department of Health. https://www.tn.gov/health/health-program-areas/pdo/pdo/data-dashboard.html
• Buprenorphine products may only be prescribed for a use recognized by the FDA
• Buprenorphine without naloxone shall only be prescribed for patients who are:• Pregnant
• Nursing*
• Documented allergy to naloxone (< 5%)
• Licensed physicians are the only healthcare provider authorized to prescribe for MAT
TN Buprenorphine Guidelines
Tennessee Nonresidential Buprenorphine Treatment Guidelines. TN Department of Mental Health and Substance Abuse Services. 2018. https://www.tn.gov/content/dam/tn/health/documents/2018%20Buprenorphine%20Tx%20Guidelines.PDF
Name Dosage Form Strength (mg) Manufacturer
Zubsolv SL Tablet 0.7/0.18, 1.4/0.36, 2.9/0.71, 5.7/1.4,
8.6/2.1, 11.4/2.9 mg
Orexo
Bunavail(Buprenorphine/Naloxone
Buccal Film 2.1/0.3, 4.2/0.7, 6.3/1.0 mg
BioDelivery Sciences International
Suboxone (Buprenorphine/Naloxone
SL Film 2.0/0.5, 4.0/1.0, 8.0/2.0, 12.0/3.0 mg
Indivior, Sandoz, Mylan, Dr. Reddy’s
Suboxone (Buprenorphine/Naloxone)
SL Tablet 2.0/0.5, 8.0/2.0 mg Actavis, Amneal, Ethypharm, TEVA
Subutex (Buprenorphine/Naloxone)
SL Tablet 2, 8 mg Actavis, Barr, Mylan, Sun, Rhodes
Sublocade SQ Injection (monthly)
100 mg/0.5ml, 300 mg/1.5ml
Indivior
Probuphine Implant (6 months)
74.2 mg (4 implants) Braeburn
Buprenorphine Approved for OUD
• Insurance coverage• SUPPORT ACT
• Accessible providers• 83,000 MDs nation wide with DATA waiver• 1,900 MDs in TN with DATA waiver
• Accessible pharmacies• Choosing to stock MAT• Buprenorphine without rx?*
• Continuity of care• ER discharge• Confidentiality: HHS 42 CFR Part 2
• Diversion: brand street value
*Roy PJ, Stein MD. Offering Emergency Buprenorphine Without a Prescription. JAMA. 322(6): 501-502. 13 August 2019.
Challenges with MAT
LEGISLATION
Federal and State Legislation
SUPPORT ACTTitle/Section Regulation
Title I – Medicaid Provisions to Address Opioid Crisis
State Medicaid programs establish DUR requirements for at-risk beneficiaries
Title II – Medicare Provisions to Address Opioid Crisis
Initial examination for new Medicare enrollees must include an OUD screening and
prescription history review
Title VI – Medicare Opioid Safety Education Act
CMS must provide Medicare beneficiaries with education resources about opioid use
and pain management, and covered nonopioid treatments
Title VI – Opioid Addiction Action Plan CMS must develop an action plan on changes to Medicare/Medicaid programs to enhance treatment/prevention OUD and coverage of
MAT
Title VI – Combatting Opioid Abuse for Care in Hospitals
CMS must publish guidance for hospitals on pain management and SUD. Recommend
quality measures for OUD, reduction in opioid use in surgical setting, and pain-management
strategies
The SUPPORT for Patients and Communities Act (H.R. 6). American Society of Addiction Medicine. https://www.asam.org/advocacy/the-support-for-patients-and-communities-act-(h.r.-6)
SUPPORT Act
• Encourage increased training on addiction/pain in medical school and residency
• New DATA 2000 waiver pathway for recent medical school graduates who have completed DATA 2000 waiver training elements
• Established loan repayment program for SUD providers in high-need areas
• Board-certified physicians in addiction medicine or addiction psychiatry can immediately treat up to 100 patients (in stead of only 30)
Teach It
The SUPPORT for Patients and Communities Act (H.R. 6). American Society of Addiction Medicine. https://www.asam.org/advocacy/the-support-for-patients-and-communities-act-(h.r.-6)
• Authorizes $10M grant for hospitals to develop protocols on discharging patients who presented with opioid overdose
• Protocols should include:• Provision of an overdose medication at discharge
• Connection with peer-support specialists
• Referral to treatment and other services that best fit the needs of the patient
Standardize It
The SUPPORT for Patients and Communities Act (H.R. 6). American Society of Addiction Medicine. https://www.asam.org/advocacy/the-support-for-patients-and-communities-act-(h.r.-6)
• Creates an outpatient OUD treatment demo in Medicare• Increases reimbursement and accountability metrics
• Focuses on care coordination using bio-psycho-social model
• Medicare will begin covering OTP’s (01/01/20)• Bundles payments for holistic services and methadone
coverage
• Starting October 2020, Medicaid must cover OUD treatment medication
• Starting January 1, 2021, C-II-V controlled substances must be e-prescribed for Medicare patients
Cover It
The SUPPORT for Patients and Communities Act (H.R. 6). American Society of Addiction Medicine. https://www.asam.org/advocacy/the-support-for-patients-and-communities-act-(h.r.-6)
• Enacted in 1975 to address concerns about patient information used in non-treatment settings
• Part 2 programs are federally assisted: methadone and buprenorphine OTP’s
• Part 2 prohibits disclosure of patient records from federally assisted programs that could identify the patient as having or had SUD• Patient can consent to release of info• Consent must include name of patient, name of entity
disclosing and receiving info, amount/kind of info
• The Protecting Jessica Grubb’s Legacy Act
Disclosure of Substance Use Disorder Patient Records: How do I exchange part 2 data? The Office of the National Coordinator for Health Information Technology and SAMHSA. https://www.samhsa.gov/sites/default/files/how-do-i-exchange-part2.pdf
42 CFR Part 2 – Protecting Jessica Grubb’s Legacy Act. http://opiodcrisisstg.wpengine.com/wp-content/uploads/2017/09/42-CFR-Part-2-One-Pager.pdf
HHS 42 CFR Part 2: Confidentiality
• SAMSHA is proposing revision to help facilitate better coordination of care for SUD
• Non-OTP providers will be able to query a central registry to determine if patient is receiving treatment
• OTP’s will be able to enroll in state PDMP and report to PDMP C II-V that are prescribed or dispensed
• Continue to prohibit law enforcement use of SUD records in prosecution
HHS 42 CFR Part 2 Proposed Rule Fact Sheet. U.S. Department of Health and Human Services. 22 August 2019: https://www.hhs.gov/about/news/2019/08/22/hhs-42-cfr-part-2-proposed-rule-fact-sheet.html
HHS 42 CFR Part 2: Proposed Rule Change
• Allows for partial filling of C-II’s• Requested by the patient or practitioner
• Total quantity dispensed in all partial fills cannot exceed total quantity prescribed
• Once a partial fill occurs, the remaining portion may be filled within 30 days of the date on the Rx• If not, the prescriber should be notified
• No further quantity can be dispensed after 30 days without a new Rx
CARA 2016: Partial Fills
Comprehensive Addiction and Recovery Act 2016. 21 USC 829; 21 CFR 1306.13
According to TNTogether legislation, what is missing on this prescription?
Public Chapter 124 Amended: effective 4/9/2019
MME Conversion
• PC 978 established a task force to define minimum disciplinary action by TN licensing boards for prescribers who treat patients with opioids
• If the licensing board/agency finds “that the healthcare practitioner engaged in a significant deviation or pattern of deviation from sound medical judgement”, then:• Minimum disciplinary action must be imposed on the
practitioner
• The minimum disciplinary action is binding on each board/agency
Minimum Disciplinary Action: Opioid Prescribing
The minimum discipline that the board or committee assesses shall include the following:
a) Reprimand
b) Successful completion of a board/committee approved intensive CE course on opioid
c) Restriction against prescribing opioids for at least six months, and until completion of CE
d) One or more Type A civil penalties
e) Must notify all collaborative practitioners (PA, NP, etc)
f) Restricted from collaborating with NP’s or PA’s during restriction
0880-02-.25. General Rules and Regulations Governing the Practice of Medicine. Minimum Discipline for Opioid Prescribing. https://publications.tnsosfiles.com/rules_filings/05-17-19.pdf
What is Minimum Discipline?
Minimum discipline the board assesses shall include the following:a. Probationb. Successful completion of practice monitoring
program including: quarterly reports of non-opioid prescribing practices, medical record keeping, pain management, opioid practices, additional CE
c. Restriction against opioid prescribing for 2x the amount that was assessed originally (not less than 1 year)
d. One or more Type A civil penaltiese. Notification to collaborating providers
What about Repeat Offenders?
0880-02-.25. General Rules and Regulations Governing the Practice of Medicine. Minimum Discipline for Opioid Prescribing. https://publications.tnsosfiles.com/rules_filings/05-17-19.pdf
TN CSMD Requirements
CSMD
• Must check CSMD before prescribing opioid or benzodiazepine as a new episode of treatment• Do not have to check when prescribing 3 days or less
• Must check every 6 months when controlled substance remains apart of treatment plan
• Best practice is to check regularly with each prescription
• Can authorize up to two delegates (“extenders”) to check for you
• Include access to your collaborating practitioners
Controlled Substance Monitoring Database (CSMD) and Prescription Safety Act: Frequently Asked Questions. https://www.tn.gov/health/health-program-areas/health-professional-boards/csmd-board/csmd-board/faq.html
Tennessee CSMD
Controlled Substance Monitoring Database: 2019 Report to the 111th Tennessee General Assembly. March 1, 2019. https://www.tn.gov/content/dam/tn/health/healthprofboards/csmd/2019%20Comprehensive%20CSMD%20Annual%20Report.pdf
Tennessee CSMD
Practitioner Self Lookup
Slide courtesy of Dr. Todd Bess, Tennessee Controlled Substance Monitoring Database.
Practitioner Self Lookup with Option for APRN/PA
Slide courtesy of Dr. Todd Bess, Tennessee Controlled Substance Monitoring Database.
Practitioner vs. Peer Report
Slide courtesy of Dr. Todd Bess, Tennessee Controlled Substance Monitoring Database.
Multi-State Lookup
Slide courtesy of Dr. Todd Bess, Tennessee Controlled Substance Monitoring Database.
• Number of overdose deaths continue to rise, yet the number of opioid prescriptions are decreasing
• Co-prescribing naloxone should be prescribed for high-risk patients
• Access to MAT is a problem but the SUPPORT Act will help
• Clean up of TN Together created functional changes aligning state and federal law, while also attempting to balance safety and access
• CSMD has clinical utility for patient management but also for comparing own prescribing history
Summary
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