Clinicians must achieve and maintain competence to assess and treat pain to improve function.This includes understanding current, evidence-based practices and using other resources and tools related to opioid prescribing. In some situations, consultation with a specialist is appropriate. Not all pain requires opioid treatment, and clinicians should not prescribe opioids when non-opioid medication is both effective and appropriate for the level of pain and function of the patient.
Because of the potential harmful effects of controlled substances, all clinicians prescribing them must employ Universal Precautionsunless unable to do so as a result of a genuine "medical emergency" as defined in Section 2 of this rule.Universal Precautionsis a standardized approach to the assessment and ongoing management of all patients whose pain is being treated with controlled substances. The Boards recognizethe fact that prescribing controlled substances carries with it the risk of physical and/or psychological dependency in patients, regardless of a pre-existing substance use disorderand that certain combinations of controlled substances and certain drug dosages further increase the risk of patient overdoses. The use of Universal Precautions is designed to mitigate the risk posed by prescribing controlled substances while simultaneously managing patient pain and any possible co-occurring medical issues. The elements of Universal Precautions are detailed below.
Before prescribing any controlled substancesto a patient for acute or chronic pain, a clinician shall perform an initial medical history and appropriate physical examination and evaluation of the patient,which must be documented in the patient's medical record.The documentation shall include:
Before prescribing or increasing the dose ofany controlled substances to a patient for acute or chronicpain, a clinician shall perform and document a risk assessment of the patient.The risk assessment is meant to determine whether the potential benefits of prescribing controlled substances outweighs the risks, and includes factors involved in a patient's overall level of risk of developing adverse effects, abuse, addiction or overdose. For acute pain, a basic consideration of short term risk shall be assessed.
For the treatment of chronic pain, the use of an appropriate risk screening tool is encouraged. The following factors should be consideredas part of the risk assessment:
The clinician shall document in the patient's medical record a statement that the risks and benefits have been assessed.
The written treatment plan shall be documented in the patient's medical record. It shall state objectives, beyond subjective reports of pain, that will be used to determine treatment success, such as pain reduction and improved physical and psychosocial function, and should indicate if any further diagnostic evaluations or other treatments are planned. Specific functional goals shall be identified. Understanding that some pain cannot be fully relieved, realistic outcomes and expectations of treatment shall be discussed with the patient. Regular physical activity should be considered as part of the treatment plan unless contraindicated.
Opioids should be prescribed only if the clinician reasonably concludes that other treatment modalities including non-pharmacological treatments, and non-opioid alternatives up to a maximum recommended by the CDC or dictated by patient safety, have been inadequate to address the patient's pain and functionality. Other treatment modalities, referrals, or rehabilitation programs should be discussed with the patient and documented in the patient's medical record. This does not mean that all patients should expect to fail non-pharmacologic therapy before proceeding to opioids, but the benefits must outweigh the risks.
If a clinician is continuing treatment of chronic pain on a patient who was previously treated with long term controlled substances by another clinician, that patient requires re-assessment of the prior work up, non-pharmacologic treatment and appropriateness of the controlled substance dosing.
When prescribing controlled substances, clinicians shall:
The clinician shall periodically review and document in the patient's medical record the course of pain treatment and any new information about the etiology of the pain or the patient's state of health and level of function. The frequency of review shall be determined by the patient's risk factors, the medication dose and other clinical indictors, and shall comply with the following:
Level of Risk | Recommended Frequency |
Low risk and doses <30 mg daily MME | Every 6-12 months |
Low risk | Every 6 months |
Moderate risk High risk or | Every 3 months |
Opioid doses>90 mg/day daily MME | Every 1-3 months |
During the periodic review, the clinician shall determine and/or perform the following actions, which shall be documented in the patient's medical record:
If the patient's progress or compliance with the current treatment plan is unsatisfactory, the clinician shall consider tapering, changing or discontinuing treatment with controlled substances.
The clinician shall consult or refer, as necessary, for additional evaluation and treatment in order to achieve treatment objectives.Special attention should be given to those patients who:
Customary referrals may include: Physical, Occupational, Osteopathic or Chiropractic Therapy; Physiatry; Surgery; Chronic Pain Clinic; Geriatric consult; Psychiatric evaluation or counseling; and Methadone or Suboxone treatment for opioid addiction. Clinicians shall consider behavioral interventions to improve patient self-efficacy and address psychosocial barriers to recovery, such as Cognitive Behavioral Therapy, Mindfulness-Based Stress Reduction, yoga, acupuncture,etc.
Patients being treated for opioiduse disorderwith Suboxone, Methadone, Naloxone or any other medicationwho develop conditions causing acute pain may find it difficult to get the care they need because clinicians may feel wary of prescribing opioids to these patients. Yet they deserve a full evaluation and treatment of their pain. Prompt consultation with a pain or addiction specialist should be considered.
Clinicians prescribing opioids to patients who have signed a narcotic contract with another clinician, shall contact that clinician to coordinate care if there are questions about treatment or concern for adverse effects of additional treatment or concerns of misuse.
If opioid therapy is discontinued, be it for treatment agreement violations, recurrent drug seeking behavior, lack of efficacy or adverse effects,the patient who has become physically dependent should be provided with a safely structured tapering regimen when appropriate. Withdrawal can be managed either by the prescribing clinician or by referring the patient to an addiction specialist. For patients with addiction/opioid use disorder, clinicians should offer or arrange for evidence-based treatment (usually medication-assisted treatment with buprenorphine or methadone in combination with behavioral therapies). The termination of opioid therapy should not mark the end of treatment, which should continue with other modalities, either through direct care or referral to other health care specialists.
Before prescribing any controlled substances to a patient for 90 days or more for chronic pain, the clinician shall discuss and obtain a written signed consent on the risks and benefits of the use of controlled substances with the patient, or, if the patient lacks the capacity to provide informed consent, from the patient's legal representative. The informed consent form shall at a minimum include the following benefits and risks:
Clinicians are not required to query and assess patient prescribing information from the PMP when:
Before prescribing any controlled substances to a patient for 90 days or more for chronic non-cancer/non-hospice/non-end-of-lifepain, the prescriber and patient shall execute a written agreement for treatment that includes policies and expectations for the patient. The executed treatment agreement shall be documented in the patient's medical record and a copy given to the patient. Treatment agreements shall include the following:
If the agreement is violated, the violation and the clinician's response to the violation will be documented in the patient's medical record.In addition, the clinician shall document the rationale for changes in the treatment plan such as weaning the patient off medication, reporting to legal authorities etc.
Clinicians who prescribe controlled substances to a patient for 90 days or more for chronic non-cancer/non-hospice/non-end-of-life pain shall ensure that the patient undergoes atoxicological (e.g. urine or serum) drug screen prior to the initiation of treatment and then periodic random screeningduring the course of treatment to ensure that the patient is adhering to the prescribed treatment regimen. Clinicians may use clinical judgment in deciding whether or not to initiate a trial course of treatment prior to receipt of the results of the toxicological drug screen. These toxicological drug screens shall be done at least annually, but frequency should be based on the patient's level of risk.Clinicians shall be responsible for documenting in the patient's medical record the time, date and results of thetoxicologicaldrug screens.In addition, clinicians shall document the response to any abnormaltoxicologicaldrug screens, the discussion of the abnormal results with the patient, and the rationale for any changes to the treatment plan. Clinicians should be aware of the limitations of available testing and take care to order tests appropriately. Consultation with a laboratory toxicologist or clinical pathologist to confirm significant or unexpected results is advisable.
Random pill counts are an additional tool to ensure patient adherence to the prescribed treatment regimen. Clinicians should be confident that they are counting the actual medication that was prescribed and that it has not been replaced with a similarly appearing pill. Pharmacists may be helpful in pill identification or in preforming a random count. Results of pill counts should be documented in the patient's medical record.
The clinician shall keep accurate and complete medicalrecords on the above criteria, with emphasis on documentation of and the patient's response to controlled substances.Records should remain current and be maintained in an accessible manner, readily available for review. Information that should be maintained in the medical record includes:
Generally, information gained as part of the clinician/patient relationship remains confidential. However, the clinician has an obligation to deal with persons who use the clinician to perpetrate illegal acts, such as illegal acquisition or selling of drugs; this may include reporting to law enforcement. Information suggesting inappropriate or drug-seeking behaviorshould be addressed appropriately and documented.Use of the PMP is mandatory in this situation.
To prescribe, dispense or administer controlled substances, aclinician must possess an active license to practice in the State of Maine, a currentUnited States Department of Justice, Drug Enforcement Administration ("DEA") registration,and comply with applicable federal and state regulations. Clinicians are referred to the Practitioners Manual of the U.S. DOJ Drug Enforcement Administration and any relevant documents issued by theappropriateboard or agencyfor specific rules governing controlled substances as well asother applicable state regulations.
Clinicians shall not prescribe methadone for treatment of opioid use disorderor for the treatment of chronic pain unless knowledgeable of methadone's non-linear pharmacokinetics, unpredictable clearance, multiple drug-to-drug interactions, and additional monitoring requirements. Office based prescribing of Suboxone for treatment of opioiduse disorder is restricted to clinicians who have training in addiction and are registered with the DEA as a Narcotic Treatment Program (NTP). In order to prescribe buprenorphine for opioid use disorder/addiction, clinicians must apply for a DATA 2000 waiver and be granted an "X" number by the DEA.
Clinicians are responsible for being familiar with the "CDC Guideline for Prescribing Opioids for Chronic Pain - United States 2016" (as published in the U.S. Centers for Disease Control and Prevention Morbidity and Mortality Weekly Report, Early Release/Vol. 65, March 15, 2016.) when prescribing controlled substances for the treatment of chronic pain. Copies of the CDC guideline may be obtained at:
http://www.cdc.gov/mmwr/volumes/65/rr/rr6501e1.htm
02-396 C.M.R. ch. 21, § 4