ISMP Assessment
ISMP Assessment
Organizations That Have Endorsed the 2011 ISMP Medication Safety Self Assessment for Hospitals
American Association of Colleges of Nursing American Hospital Association American Nurses Association American Organization of Nurse Executives American Pharmacists Association American Society for Healthcare Risk Management American Society of Health-System Pharmacists American Society of Medication Safety Officers Amerinet Anesthesia Patient Safety Foundation Association of American Medical Colleges Child Health Corporation of America Federation of American Hospitals Health Care Improvement Foundation Health Research and Educational Trust Healthcare Information and Management Systems Society Institute for Healthcare Improvement The Joint Commission MedAssets National Patient Safety Foundation Pennsylvania Patient Safety Authority Premier University HealthSystem Consortium VHA
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The 2011 tool will help you assess the safety of medication practices in your facility, identify opportunities for improvement, and compare your experiences with the aggregate experiences of demographically similar hospitals. We have updated many items from the 2004 self assessment and have added new items, which represent new practices and processes that have evolved over the last 7 years that impact medication safety, new research findings about error prevention, and new technologies previously not widely available in 2004. To incorporate these new items into the 2011 assessment, we have removed several items from the 2004 assessment that the majority of hospitals indicated had been fully implemented either in some or all areas of their organization. As with our past assessments, many key national organizations have endorsed the 2011 ISMP Medication Safety Self Assessment for Hospitals and offered their ongoing support of this endeavor. Our endorsers names and/or logos appear in this document and on our website.
In addition to the usual high standard of confidentiality associated with any information submitted to ISMP, we would also like to remind participants that ISMP is a federally certified patient safety organization (PSO). If self-assessment information is collected within the hospitals patient safety evaluation system and submitted to ISMP as patient safety work product, the information is granted protection from discovery in connection with a federal, state, or local civil, administrative, or disciplinary proceeding. No contract with ISMP is required for this legal protection. Further guidelines regarding submitting information to ISMP as a PSO can be found on our website at: www.ismp.org/docs/PSOguidelines.pdf. As with the data submitted by almost 1,700 hospitals in 2004, we will use the aggregate findings to plan curricula and other means of support to assist you in enhancing medication safety. Additionally, we plan to compare the aggregate data provided to ISMP in 2000, 2004, and 2011 to evaluate our nations progress in medication safety over the last decade. While there is still much work to do, I am confident that we have come a long way together on this important journey. Warm regards,
Your organizations Chief Executive Officer (CEO) has received a letter from the president of AHA to introduce the 2011 self assessment and encourage your participation. ISMP, HRET, and the other endorsing organizations also encourage you to participate in this very important project by completing the 2011 self assessment as directed in the instructions and by submitting your findings anonymously to ISMP.
Michael R. Cohen, RPh, MS, ScD, FASHP President Institute for Safe Medication Practices
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Acknowledgements
Funding Source
ISMP, AHA, and HRET thank The Commonwealth Fund for its continued support of our efforts to improve medication safety in Americas hospitals. The Commonwealth Fund provided financial support for the 2000 ISMP Medication Safety Self Assessment , the 2004 ISMP Medication Safety Self Assessment for Hospitals, and the 2011 ISMP Medication Safety Self Assessment for Hospitals.
Advisory Panel
ISMP, AHA, and HRET thank the following members of our volunteer Advisory Panel, who helped inform the content of the 2011 ISMP Medication Safety Self Assessment for Hospitals.
David Beard, MD, PhD, MBA Medical Director of Organizational Excellence Dublin Methodist Hospital Dublin, OH Bona Benjamin, BS Pharm Director, Medication Use Quality Improvement Professional Practice Division American Society of Health-System Pharmacists Bethesda, MD L. Hayley Burgess, PharmD Director of Medication Safety and System Innovations Clinical Services Group HCA Nashville, TN E. Robert Feroli, Jr, PharmD, FASHP Medication Safety Officer Johns Hopkins Hospital Baltimore, MD Ronda K. Lehman, PharmD, MBA Vice President St. Ritas Medical Center Lima, OH Timothy S. Lesar, PharmD Director of Clinical Pharmacy Services Albany Medical Center Albany, NY
Steve Meisel, PharmD Director of Patient Safety Fairview Health Services Minneapolis, MN Barbara L. Olson, MS, RN, FISMP Director, Patient Safety Clinical Services Group HCA Nashville, TN Ginette A. Pepper, PhD, RN, FAAN Director, Hartford Center of Geriatric Nursing Excellence Professor and Helen Bamberger Colby Endowed Chair Associate Dean for Research and PhD Programs University of Utah College of Nursing Salt Lake City, UT Marjorie Shaw Phillips, MS, RPh, FASHP Pharmacy Coordinator, Clinical Research and Education MCG Health Clinical Professor of Pharmacy Practice University of Georgia College of Pharmacy Augusta, GA Dan Sheridan, MS, RPh Medication Safety Pharmacist Marion General Hospital Marion, OH John VanEeckhout, PharmD Vice President, Clinical Services Child Health Corporation of America Shawnee Mission, KS
We also thank the staff at ISMP, AHA, HRET, and other individuals who have contributed their time and effort to make the 2011 self assessment possible.
www.ismp.org 2011 ISMP Medication Safety Self Assessment for Hospitals
The 2011 ISMP Medication Safety Self Assessment for Hospitals is designed to: Heighten awareness of distinguishing characteristics of a safe hospital medication system Create a new baseline in 2011 of hospital efforts to enhance medication safety Evaluate our nations progress in medication safety over the last decade.
The 2011 ISMP Medication Safety Self Assessment for Hospitals and its components are copyrighted by ISMP and may not be used in whole or in part for any other purpose or by any other entity except for self assessment of medication systems by hospitals as part of their ongoing quality improvement activities. The aggregate results of this assessment will be used for research and educational purposes only.
The self assessment is divided into ten key elements that significantly influence safe medication use. Each element is defined by one or more core characteristics that further define a safe medication use system. Each core characteristic contains individual self-assessment items to help you evaluate your success with achieving each core characteristic.
ISMP is not a standards setting organization. As such, the self-assessment items in this document are not purported to represent a minimum standard of practice and should not be considered as such. In fact, some of the selfassessment items represent innovative practices and system enhancements that are not widely implemented in most hospitals today. However, their value in reducing errors is grounded in scientific research and/or expert analysis of medication errors and their causes.
MEDICATION (OR DRUG) Medication includes: prescription medications; sample medications; herbal remedies; vitamins; nutraceuticals; over-the-counter drugs; vaccines; diagnostic and contrast agents used on or administered to persons to diagnose, treat, or prevent disease or other abnormal conditions; radioactive medications; respiratory therapy treatments; parenteral nutrition; blood derivatives; intravenous solutions (plain, with electrolytes and/or drugs); and any product designated by the Food and Drug Administration (FDA) as a drug. The definition of medication does not include enteral nutrition solutions (which are considered food products), oxygen, and other medical gases.
PRACTITIONER A licensed healthcare professional who is authorized within the institution to prescribe, dispense, or administer medications, such as a physician, physician assistant, nurse anesthetist, nurse practitioner, nurse, pharmacist, or respiratory therapist. UNIT STOCK Medications that are not labeled or stored for a specific patient and that are available outside the pharmacy. This would include medications stored in medication rooms, refrigerators, storage cabinets, and automated dispensing cabinets (ADCs), for potential administration to various patients.
accessed at: http://www.ismp.org/selfassessments/ hospital/2011/pdfs.asp. Items with specific, related FAQs will be noted directly above the item number. You may want to provide each team member with either a hardcopy or electronic version of the self assessment and the FAQs for review before the first team meeting.
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For self-assessment items with two or three distinct components, each separated with the word OR, and labeled (a) and (b), or (a), (b), and (c): Choose the one component within the item that is most relevant to your hospital, and select your choice (A through E, or Not Applicable) for only that one element. For self assessment items with an option of Not Applicable: Select Not Applicable only if your hospital meets the scoring guideline for that item.
Scoring Key
A. B. C. D. E.
There has been no activity to implement this item. This item has been formally discussed and considered, but it has not been implemented. This item has been partially implemented in some or all areas of the organization This item is fully implemented in some areas of the organization. This item is fully implemented throughout the organization. Organizations may want to consider assigning an individual to record any discussion generated around each selfassessment item and the rationale behind the selected choice. This information, meant for internal use only, can assist the team when reviewing scores for individual items or reassessing your organization at a later date. This will provide insight into why the choice selected for each selfassessment item had been chosen at that point in time.
For all self-assessment items: Unless otherwise stated, self-assessment items refer to medications prescribed, dispensed, and administered to all inpatients and outpatients typically seen in most hospitals, including patients admitted to the emergency department and ambulatory surgery/procedure units. For self-assessment items with multiple components: Full implementation (choice of D or E) is evidenced only if all components are present in some or all areas of the organization. If only one or some of the components have been partially or fully implemented in some or all areas of the organization, self-assessment choices should not exceed level C.
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page. Please note: The assessment is a continuous (one page) form. In order to return to your saved information, you will need to enter the password that you obtained as noted above in Step 2.
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Demographics
All questions in the demographics section must be completed unless otherwise noted as optional. Please refer to the FAQs for assistance in answering these items.
1. Please select the one category that best 4. Does your hospital also provide the following
describes the number of inpatient beds currently set up and staffed for use in your hospital. Fewer than 100 beds 100 to 299 beds 300 to 499 beds 500 beds and over describes the type of organization that is responsible for establishing policy for the overall operation of your hospital. State or local government Non-government, not-for-profit Investor-owned, for-profit Military To what branch of the service does your hospital belong? Army Navy Air Force Veterans Affairs US Public Health Service Other: ______________________________
services? Yes Select all that apply. Oncology services (select even if chemotherapy is administered infrequently) Pediatric services (select even if pediatric care is provided only in the emergency department and/or outpatient surgery) Neonatal intensive care unit (select for any level of service) Trauma services (select for any level of service) Transplant services Behavioral health No
training program that has been approved by the Accreditation Council for Graduate Medical Education? Yes In what setting is the physician residencytraining program carried out? Community teaching hospital Academic medical center No training program that has been accredited, or is pending accreditation, by the American Society of Health-System Pharmacists? Yes How many pharmacy residents do you anticipate in your residency-training program during 2011-2012? 1-2 3-5 Greater than 5 No
describes the type of service that your hospital provides to the majority of its admissions. General medical and surgical Long Term Acute Care (LTAC) Specialty: Cardiology Specialty: Oncology Specialty: Orthopedic Specialty: Pediatric Specialty: Psychiatric Specialty: Rehabilitation Specialty: Women and Children Other: ______________________________
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Demographics (continued)
accredited program? Yes Select all that apply. Nursing Pharmacy Medical Other: ________________________ No healthcare system with common ownership and/ or governance? Yes How many hospitals comprise your health system? 2-5 6-10 More than 10 No or alliance does your hospital purchase its medications? None Amerinet Cardinal Health Department of Defense HealthTrust Purchasing Group HCA MedAssets/Broadlane Premier Purchasing Alliance for Clinical Therapeutics (PACT) Veterans Affairs VHA/Novation UHC/Novation Other: ______________________________
Medication Safety Self Assessment for Hospitals in the past? Yes Did you submit your results to ISMP during the 2004 data collection period? Yes No Unknown No Unknown hospitalists? Yes Select coverage. Part-time coverage Full-time coverage (24/7) No
15. Does your organization employ a full-time or parttime clinical informatics practitioner dedicated to medication-related technology? Yes No
describes the location of your hospital. Urban Rural Is your hospital a critical access hospital? Yes No
part-time medication safety officer/manager (i.e., an individual dedicated to medication safety)? Yes No
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2011 ISMP Medication Safety Self Assessment for Hospitals
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
I.
PATIENT INFORMATION
A
Core Characteristic #1
Essential patient information is obtained, readily available in useful form, and considered when prescribing, dispensing, and administering medications, and when monitoring the effects of medications.
1 2 3 4
Prescribers and nurses can easily and electronically access inpatient laboratory values while working in their respective clinical locations. Pharmacists can easily and electronically access inpatient laboratory values while working in their respective clinical locations. Prescribers and nurses can easily and electronically access outpatient laboratory values while working in their respective clinical locations. Pharmacists can easily and electronically access outpatient laboratory values while working in their respective clinical locations. Recent inpatient and outpatient laboratory values are automatically displayed on COMPUTER ORDER ENTRY SYSTEM screens for medications that typically require dose adjustments based on pending laboratory results (e.g., if warfarin is ordered, the most recent INR is displayed). An active computer surveillance system (e.g., data-monitoring software) is used to monitor available data sources to optimize therapy and identify patients at risk of harm related to medication therapy (e.g., decreased platelet count in a patient receiving heparin, resistant bacteria to current antibiotic therapy), and to notify practitioners of intervention opportunities in real time as soon as the information is available. The information technology system maintains (for at least 5 years) ongoing patient profiles with basic demographic information (including allergies) and drug therapy records for each episode of care, which are readily accessible to practitioners when a patient is readmitted. Scoring guideline: Do not choose level D or E if information is purged more frequently than every 5 years. Inpatient and outpatient COMPUTER ORDER ENTRY SYSTEMS are linked so that comprehensive patient information is available to practitioners wherever (inpatient or outpatient) the patient receives care in the hospital system. A nurse, pharmacist, or prescriber verifies that any patient allergy information entered into the information technology system is clinically accurate, and that the names of allergens are spelled correctly and properly coded to allow for clinical decision support screening.
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
I.
A
10
11
12
13
FAQ
have a tiered severity rating for allergies, based on the patients reaction to the drug, which is used to limit alert fatigue from drug intolerances that are not true allergies.
COMPUTER ORDER ENTRY SYSTEMS
14 15
Allergies are clearly visible on all patient-specific pages or screens of medication administration records (MARs), automated dispensing cabinets (ADCs), and COMPUTER ORDER ENTRY SYSTEMS. There is a defined process that specifies how to modify patient allergies and reactions in the medical record and who is permitted to make such changes. Patients who receive MODERATE SEDATION, patient-controlled analgesia (PCA), epidural narcotic infusions, or other IV opioids to treat pain are monitored for signs of oversedation at hospital defined frequencies by evaluating the patients level of alertness and vital signs (including rate and quality of respirations). Enhanced monitoring beyond pulse oximetry (e.g., capnography, apnea alarms) is required for patients who receive PCA or other IV opioid infusions to treat pain whenever risk factors such as obesity or low body weight, sleep apnea, the use of basal infusions or concomitant medications that potentiate the effects of opioids, or conditions such as asthma exist, and/or when NURSE-CONTROLLED ANALGESIA is employed. Patient selection criteria for PCA have been established and are used, which exclude patients who will not be able to control the delivery of the medication themselves due to their level of consciousness, physiological condition, or limited comprehension. Scoring guideline: Choose NOT APPLICABLE if you do not offer PCA in your hospital.
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17
18
NOT APPLICABLE
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
I.
19
NOT APPLICABLE
20a
OR
20b
21
FAQ
22
23
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
II.
DRUG INFORMATION
A
Core Characteristic #2
Essential drug information is readily available in useful form and considered when prescribing, dispensing, and administering medications, and when monitoring the effects of medications. A complete drug history, including a current list of prescription and over-thecounter medications (with dose, frequency, route, time of last dose taken, indication), vitamins, herbal products, illicit drugs, and alcohol and tobacco use is obtained for every inpatient and outpatient upon admission or initial encounter (including during the pre-admission process). A process is in place in both inpatient and outpatient units (e.g., ED, ambulatory surgery, outpatient radiology) to obtain a list of the medications that the patient has been taking at home before admission or outpatient encounter and compare (reconcile) the list to the medications prescribed upon admission, during the encounter, upon transfer within the hospital, and upon discharge, to identify and resolve discrepancies (e.g., omissions, duplications, contraindications, unclear information). All drug reference texts, including commercially available charts and guidelines in the organization are checked annually; all outdated reference materials are removed from use and replaced as necessary. (Reference materials are outdated after 1 year of publication or whenever the next edition is available). Pharmacists and pharmacy technicians have easy access (e.g., on each computer terminal, electronic handheld devices) to user-friendly, up-to-date, computerized drug information systems, which include information on overthe-counter, herbal, and alternative medicines. Prescribers and other non-pharmacy practitioners have easy access (e.g., on each computer terminal, electronic handheld devices) to user-friendly, up-todate, computerized drug information systems, which include information on over-the-counter, herbal, and alternative medicines. Standardized, organization-approved emergency drug dosing guidelines are available on adult and pediatric (e.g., Broselow system) code carts, and the information provided corresponds to the dosage forms and concentrations of drugs available in the code carts. High-alert drugs used within the organization have been identified, highleverage error-reduction strategies have been established for these drugs, and these have been communicated to all practitioners who prescribe, dispense, and administer the products, and/or monitor their effects.
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31
32
33
FAQ
34
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
II.
A
35
36
37
NOT APPLICABLE
38
39
40
41
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
II.
A
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A designated pharmacist routinely reviews, for quality improvement purposes, reports of selected COMPUTER ORDER ENTRY SYSTEM warnings (e.g., MAXIMUM DOSE alerts, serious drug interactions, allergy alerts) that are overridden.
COMPUTER ORDER ENTRY SYSTEMS are periodically evaluated for clinically insignificant and false positive alerts, and action is taken to minimize alert fatigue.
45
46
Drug information updates for information technology systems used in the hospital (e.g., pharmacy computer system, CPOE) are received from a database vendor and uploaded at least quarterly. Scoring guideline: Do not choose level D or E if updates are received or uploaded less frequently than quarterly. Except in emergent lifesaving situations, all inpatient (including the postanesthesia care unit [PACU]) drug orders are entered into a COMPUTER ORDER ENTRY SYSTEM and screened electronically against the patients current clinical profile for allergies, contraindications, interactions, and appropriateness of doses before drugs are administered. Except in emergent lifesaving situations, all outpatient (e.g., ED, ambulatory surgery, outpatient oncology) drug orders are entered into a COMPUTER ORDER ENTRY SYSTEM and screened electronically against the patients current clinical profile for allergies, contraindications, interactions, and appropriateness of doses before drugs are administered. Pharmacists regularly (e.g., at least one 8-hour shift per 24 hours) work directly in inpatient care units performing clinical activities such as reviewing patient records and drug orders, attending interdisciplinary rounds, providing input into the selection and administration of drugs, educating patients, and monitoring the effects of medications on patients. Pharmacists regularly (e.g., at least one 8-hour shift per 24 hours of operation) work directly in outpatient care units (e.g., ED, ambulatory surgery, clinics) performing clinical activities such as reviewing patient records and drug orders, attending interdisciplinary rounds, providing input into the selection and administration of drugs, educating patients, and monitoring the effects of medications on patients.
2011 ISMP Medication Safety Self Assessment for Hospitals
FAQ
47
FAQ
48
49
50
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
II.
A
Core Characteristic #3
A controlled drug formulary system is established to limit choice to essential drugs, minimize the number of drugs with which practitioners must be familiar, and provide adequate time for designing safe processes for the use of new drugs added to the formulary.
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The hospital formulary contains minimal duplication of therapeutically equivalent products. Before a decision is made to add a drug to the formulary, the potential for error with that drug is investigated by searching the literature and performing an internal risk assessment that includes staff who are involved in the prescribing, storage, preparation, dispensing, and administration of the medication; and the results of this assessment are documented in the drug monograph submitted to the PHARMACY AND THERAPEUTICS COMMITTEE (or a similar voting body). The hospitals ability to adequately monitor and manage the anticipated adverse effects of a medication is investigated and considered by the PHARMACY AND THERAPEUTICS COMMITTEE (or other interdisciplinary team), and addressed before adding the medication to the formulary. When drugs with heightened error potential are approved for addition to the formulary, safety enhancements such as standardized order sets, prescribing guidelines, check systems, reminders, administration guidelines, monitoring protocols, and/or limitations on use, administration, and storage of drugs are established and implemented before initial use. Ongoing hospital-wide surveillance for at least 6 months is initiated immediately after adding a drug to the formulary that has been identified as having heightened error potential to monitor compliance and success with established safeguards.
COMPUTER ORDER ENTRY SYSTEMS are tested after adding a new drug to the formulary to verify that important clinical warnings (e.g., serious drug interactions, allergies, cross allergy alerts, MAXIMUM DOSE limits) are functional; and if a serious alert is not yet functional through the drug information system vendor, a temporary free text alert or similar mechanism is added so that it appears on the screen during order entry.
FAQ
52
FAQ
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54
55
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57
A designated practitioner or team is assigned responsibility to search the literature to identify published reports of errors (including CLOSE CALLS ) and adverse drug events (including adverse drug reactions), that may have been reported since formulary approval, and safety enhancements are established as necessary or the drug is removed from the formulary.
2011 ISMP Medication Safety Self Assessment for Hospitals
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
II.
A
FAQ
58
In non-urgent situations, formulary medications being considered for uncommon uses or in atypical doses are approved through a formal review process (e.g., PHARMACY AND THERAPEUTICS COMMITTEE ) before prescribers order the drug. In urgent situations, a timely informal process is in place for specified practitioner(s) to review formulary medications being considered for uncommon uses or in atypical doses before pharmacists dispense and/or nurses administer the drug. Non-formulary products are used only when therapeutically necessary and appropriate (e.g., a patient experiences an adverse effect to a formulary medication; use of an alternative, non-formulary medication during a drug shortage).
FAQ
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
III.
A
Core Characteristic #4
Methods of communicating drug orders and other drug information are streamlined, standardized, and automated to minimize the risk for error. Prescribers enter medication orders into a computer system that is electronically INTERFACED with the pharmacy computer system. Scoring guideline: Do not choose level D or E if prescribers enter orders into a computer system that is not electronically INTERFACED with the pharmacy computer system. In hospitals WITH CPOE systems: The system includes decision support and standardized order sets that guide the use of formulary drugs and established protocols. OR In hospitals WITHOUT CPOE systems: Preprinted order forms for commonly encountered disease states and procedures (e.g., preoperative and postoperative patients, inpatient critical care admissions, chemotherapy protocols) are used to guide the use of formulary drugs and established protocols. Standard order sets (electronic or preprinted) express IV and epidural infusion/medication doses in the standard concentration(s) used in the organization and in a manner (e.g., mg/kg, mcg/kg/min) and sequence that matches the entries on MARs and programming choices on infusion pumps (e.g., SMART INFUSION PUMPS, PCA pumps). Standard order sets (electronic or preprinted) for complex, compounded products (e.g., total parenteral nutrition [TPN]) list additives in the same sequence, dosing units (e.g., mg, mEq), and concentrations (e.g., mg/mL, mg/liter) as in the pharmacy order entry system and automated compounder order entry system. A list of prohibited, ERROR-PRONE ABBREVIATIONS (e.g., u, qd, MSO4) and unacceptable methods of expressing doses (e.g., by volume or number of tablets only instead of weight, using trailing zeros for whole number doses, not using a leading zero for doses less than one) is established for all communication of drug information and orders (including in handwritten or preprinted orders, MARs, chart notations, organization-developed drug references, and in electronic formats, including computer screens). Compliance with safe methods of communicating the drug name, dose, route, and frequency (e.g., on handwritten and preprinted orders, MARs, order entry screens, ADCs, computer-generated drug labels, drug storage bin labels) is monitored through quality improvement efforts.
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62a
OR
62b
63
64
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66
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
III.
A
67
68
69
NOT APPLICABLE
70
71a
OR
71b
OR
71c
72
73
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
III.
A
74
75
76
77
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
IV.
A
Core Characteristic #5
Strategies are undertaken to minimize the possibility of errors with drug products that have similar or confusing manufacturer labeling/packaging and/or drug names that look and/or sound alike. The ISMP Medication Safety Alert! and/or other current literature is regularly reviewed to identify drug labeling, packaging, and nomenclature problems, and action is taken to prevent errors with these drugs.
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79
The package and label of new drugs that are being considered for formulary addition or temporary use during a drug shortage are examined before use and compared to other formulary products to identify any potential for confusion. Products with look-alike drug names and packaging that are known by the hospital staff to be problematic are segregated and not stored alphabetically, and a system clearly redirects staff to where the products have been relocated. Look-alike drug names do not appear on the same computer screen when selecting a drug during order entry (even when MNEMONICS are used); or look-alike drug names are clearly distinguished in a way that differentiates them (e.g., use of TALL MAN LETTERS ) if they appear sequentially on the same computer screen. Different manufacturers are sought for products with labels/packages that look like other products to help differentiate the labels/packages. Auxiliary warnings or other label enhancements (e.g., TALL MAN LETTERS to accentuate differences in look-alike drug name pairs) are used on packages and storage bins of drugs with problematic names, packages, and labels. Alerts are built into COMPUTER ORDER ENTRY SYSTEMS to remind practitioners about problematic drug names (including drugs with multiple suffixes such as XL, SR, ER, CD, LA), packaging, or labeling. All clinical staff involved in medication use, particularly frontline nurses, pharmacists, physicians, unit secretaries, and pharmacy technicians, are made aware of the organizations list of look- and/or sound-alike products, how the drug names were selected, how the list is updated, what it means, why it is important to patient safety, and the interventions required to reduce mix-ups. Prescribers include the clinical indication for all ambulatory prescriptions and inpatient drug orders to help distinguish those with look-alike names.
2011 ISMP Medication Safety Self Assessment for Hospitals
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86
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
IV.
A
Core Characteristic #6
Readable labels that clearly identify drugs are on all drug containers, and drugs remain labeled up to the point of actual drug administration. All computer systems that print medication labels produce clear and distinctive labels free of ERROR-PRONE ABBREVIATIONS and nonessential information (e.g., computer MNEMONICS and other pharmacy codes). At a minimum, all medication containers (e.g., bowls, oral syringes, syringes of line flushes, vials and ampuls used to prepare medications on patient care units) taken to the bedside or interventional areas are labeled with at least the drug name and strength/concentration. There is a standard process to identify which compounded IV solutions (e.g., chemotherapy, pediatric infusions) with overfill must include the amount of overfill in the total volume expressed on the pharmacy label. Scoring guideline: Choose NOT APPLICABLE if no compounded products contain overfill.
UNIT DOSES or PATIENT-SPECIFIC DOSES of oral medications remain in the manufacturers (or pharmacys) packaging up to the point of actual drug administration at the bedside (or anteroom for isolation patients) so a final check of the drug against the MAR can be accomplished. Exception: Medications that need to be crushed may be removed from the original packaging; however, this packaging should remain with the crushed product up until the point of administration.
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89
NOT APPLICABLE
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91
All medications, medication containers (including syringes, basins, or other vessels used to store drugs), and other solutions on and off the sterile field in perioperative and other procedural settings are labeled even when just one product/solution is present. Medications brought into the health facility by a patient or family member are not administered to the patient until an authorized prescriber has approved their use and a pharmacist (or other qualified practitioner when a pharmacist is unavailable) has visually inspected the medications and containers to verify the drugs identity and proper labeling and packaging to guide safe drug administration. Syringes of medications prepared for use during anesthesia are labeled with the drug name, strength/concentration, and date of expiration or time of expiration if expiration occurs in less than 24 hours.
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
IV.
A
94
95
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
V.
A
Core Characteristic #7
IV solutions, drug concentrations, doses, and administration times are standardized whenever possible. Concentrations for infusions of high-alert drugs such as morphine, heparin, insulin, and vasopressors used for adult patients are standardized to a single concentration that is used in at least 90% of the cases. Concentrations for infusions of high-alert drugs such as morphine, heparin, insulin, and vasopressors used for pediatric patients (including neonates) are standardized to a single concentration that is used in at least 90% of the cases. Scoring guideline: Choose A or B if you use the RULE OF 6 to prepare and administer pediatric solutions that contain high-alert drugs, since varying concentrations result when using this method. Choose NOT APPLICABLE if you do not treat any pediatric patients (including in the ED). When more than one standardized concentration is needed for highalert infusions (for adults or pediatrics), the organization uses consistent terminology (e.g., double strength, quadruple strength) and visual cues to identify and distinguish between the concentrations when communicating drug information (including labels, handwritten or preprinted orders, MARs, chart notations, and electronic formats, including computer screens). Commercially prepared, premixed IV solutions are used whenever they are available from the manufacturer. Standard times for scheduled drug administration have been established and are consistently used throughout the organization. Parameters (e.g., dosing windows) have been established, disseminated, and implemented to help nurses safely administer most medications at established standard times even if the initial dose was administered at a nonstandard time. Standard order sets (electronic or preprinted) are developed by gaining consensus among all prescribers who treat each condition/targeted patient population regarding the evidence-based clinical management to create a single order set for each condition/targeted patient population. (Practitionerspecific or single-group-specific order sets are allowed if only one practitioner/group provides care to patients with the specified condition.)
96
97
NOT APPLICABLE
FAQ
98
99 100
101
102
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
V.
A
Core Characteristic #8
Medications are provided to patient care units in a safe and secure manner and available for administration within a time frame that meets essential patient needs. Sufficient numbers of ADCs, depending on their intended use (e.g., limited narcotic and unit stock versus total drug distribution), are installed in areas that are easily accessible to staff and in close proximity to patients to ensure access without unreasonable wait times and to reduce workarounds. Scoring guideline: Choose NOT APPLICABLE if your organization does not use ADCs. Nurses are notified whenever first dose or stat medications are delivered to the unit when they are not otherwise available on the unit (e.g., in an ADC). Discontinued PATIENT-SPECIFIC MEDICATIONS are appropriately secured and removed from patient supplies in a timely manner (e.g., upon the patients discharge, discontinuation of the drug, or within 8 hours during the next scheduled pharmacy rounds to patient care units) to prevent accidental administration or borrowing of the medication for another patient. Turnaround times for order verification and/or drug delivery from the pharmacy is consistent with the time frames established by the hospital for emergent (stat), urgent (now), and routine medications. Antidotes and reversal agents for medications (e.g., methylene blue [methemoglobinemia from oral anesthetic sprays], naloxone [opioid toxicity], flumazenil [benzodiazepine toxicity], lipid emulsion [bupivacaine toxicity]) and accompanying guidelines for emergency use, are readily available near the point of use. A process has been established and is followed to: identify potential drug shortages; alert practitioners to the shortages; ration drugs in short supply for use with priority patients; select and use alternative products and doses; and educate practitioners about the safe use of alternative products (including warnings about POTENTIAL ADVERSE EVENTS ). Electronic systems that document temperature ranges and provide immediate problem notification to an area staffed around the clock are used for refrigerators that store critical, temperature-sensitive medications (e.g., frozen vaccines, investigational drugs), and written procedures regarding how to handle any breach of a safe temperature range have been developed and are followed.
103
NOT APPLICABLE
104
105
106
107
108
109
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
VI.
A
Core Characteristic #9
Unit stock is restricted.
PATIENT-SPECIFIC DOSES
are dispensed for at least 90% of all injectable products (including saline and heparin flushes) for adult, pediatric, and neonatal patients.
All oral solid medications are dispensed to patient care units in labeled, ready-to-use UNIT DOSES. All oral liquid medications are dispensed to patient care units (including neonatal, pediatric, and critical care units) in labeled, ready-to-use PATIENTSPECIFIC DOSES. IV solutions that are unavailable commercially are prepared in the pharmacy unless needed in emergent lifesaving situations. Pharmacy fills all elastomeric pumps and prepares all IV solutions and irrigations needed in the operating room or procedural areas (including interventional radiology, cardiac catheterization areas), unless needed in emergent lifesaving situations. Drugs stocked in patient care units (including in ADCs) are carefully selected by considering the needs of each patient care unit, staff expertise and familiarity with specific drugs, the risk of error with each drug, and the age and diagnoses of typical patients being treated on the units, and unit stock is reviewed at least semiannually to determine low usage medications that may be eligible for removal from inventory. Drugs stocked in patient care units are available in the least number of doses, concentrations, and forms that will meet essential patient needs between replenishment (not to exceed 72 hours). Medications are not removed from inpatient (including PACU) unit stock (including ADCs) before a pharmacist reviews the specific patient order and screens the order for safety. Exception: Urgent or lifesaving situations where a delay would harm the patient. Medications are not removed from outpatient (including the ED, ambulatory surgery, outpatient oncology) unit stock (including ADCs) before a pharmacist reviews the specific patient order and screens the order for safety. Exception: Urgent or lifesaving situations where a delay would harm the patient.
114
115
116
117
118
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
VI.
A
119
NOT APPLICABLE
120
121
122a
OR
122b
OR
122c
123a
OR
123b
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
VI.
A
124
Hazardous chemicals are safely sequestered from patients and not accessible in drug preparation areas.
125
Bulk chemicals in the pharmacy (for compounding) are routinely assessed, and those that are not regularly used or are considered dangerous are eliminated from stock. Bulk chemicals used in the pharmacy (for compounding) are labeled with contents, the date the product was first opened, and the manufacturers expiration date. (If an expiration date is unavailable from the manufacturer, a 1-year expiration date is assigned.) Hazardous chemicals used in the pharmacy are stored on low shelves, rather than high shelves, to prevent accidental spillage on staff during retrieval. Containers of reagents used to test for fecal blood (e.g., Hemoccult, Seracult) or glucose control solution (reagents used with glucose monitors) are not present in drug storage or preparation areas, patient rooms, or patient bathrooms.
126
127
128
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
VI.
A
Core Characteristic #11
The potential for HUMAN ERROR is mitigated through careful procurement, maintenance, use, and standardization of devices used to prepare and deliver medications. At a minimum, risk management staff, pharmacists, and nurses are actively involved in all MEDICATION DEVICE purchasing and replacement decisions. Error potential for all new and replacement MEDICATION DEVICES is identified through a literature search and a FAILURE MODE AND EFFECTS ANALYSIS (FMEA) ; and potentially harmful error potential is documented and addressed before a decision is made to purchase and use the device. The distal ends of all tubing are clearly labeled on patients who are receiving multiple solutions via various routes of administration (e.g., labeling of the distal end of bladder installations, IV, central venous, arterial, epidural, umbilical, and enteral tubing properly identifies relevant access sites). With each new bag/bottle, or change in the rate of infusion of selected high-alert drugs and selected pediatric/neonatal parenteral solutions, one practitioner readies the solution for administration and a second practitioner and/or electronic technology (e.g., SMART INFUSION PUMP with dose checking capabilities, point-of-care bar-coding) independently verifies all of the following before starting the infusion: drug/solution, drug concentration, rate of infusion, patient, channel selection (for multiple channel pumps), and line attachment. Specially designed oral syringes, which cannot be connected to parenteral tubing, are available in the pharmacy and all patient care units, and are used for dispensing/administering oral/enteral liquid medications that are not available in commercially prepared UNIT-DOSE cups. An initial risk assessment has been performed to determine the various types of medical tubing, catheters, and fittings in use, identify the possibility for misconnections, assess the potential severity of misconnections, and address process changes that need to be made, and this assessment is updated prior to the purchase of any new medical tubing, catheters, and fittings. The types of syringe pumps used in the hospital are limited to two or less to maximize competency with their use. Scoring guideline: Choose NOT APPLICABLE if you do not use syringe pumps in your hospital.
129
130
131
132
FAQ
133
134
135
NOT APPLICABLE
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
VI.
A
136
137
138
139
140
141
142
143
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
VI.
144
NOT APPLICABLE
145
NOT APPLICABLE
146
NOT APPLICABLE
147
NOT APPLICABLE
148
NOT APPLICABLE
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
Medications are prescribed, transcribed, prepared, dispensed, and administered within an efficient and safe workflow and in a physical environment that offers adequate space and lighting, and allows practitioners to remain focused on medication use without distractions. Lighting is adequate (illumination levels around 100 foot-candles) to clearly read labels and other important drug and patient information in pharmacies, patient unit medication rooms, patient rooms, and at ADCs. Workspaces where medications are prepared are orderly and free of clutter. Pharmacies and patient unit medication rooms (or areas) have adequate space for storage of drugs, IV solutions, and drug supplies. Medication preparation areas in the pharmacy and on patient care units are isolated and relatively free of distractions, interruptions, and noise (not greater than 50 decibels [dBA]). All phone calls to the pharmacy are triaged and forwarded to medication preparation and order entry areas only when necessary. Areas where drug orders are transcribed and/or entered into COMPUTER are isolated and relatively free of distractions, interruptions, and noise (not greater than 50 dBA). Medication refrigerators in patient care areas are of sufficient size to allow admixtures that require refrigeration to be stored in an organized manner. Nurses select medications for administration in medication rooms, at ADCs, or in other areas that are isolated and relatively free of distractions, interruptions, and noise (not greater than 50 dBA). Practitioners who administer medications prepare and/or select one patients medications at a time, immediately before administering the medication. When new construction or renovation of an existing area where medications will be prescribed, dispensed, stored, or administered is planned, an interdisciplinary group of practicing staff involved in medication use is included in the decision-making process of the design of the area. Scoring guideline: Choose NOT APPLICABLE if your organization has not built new space or renovated within the past 3 years.
158
NOT APPLICABLE
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
The complement of qualified, well-rested practitioners matches the clinical workload without compromising patient safety. Medical students, medical residents, attending physicians, and other LICENSED INDEPENDENT PRACTITIONERS work no more than 24 consecutive hours, with planned protected sleep periods and naptime available. Exception: Isolated emergency situations outside of usual operations. Scoring guideline: Choose NOT APPLICABLE if your hospital does not have medical students, medical residents, or employed prescribers. Practitioners involved in medication use (except medical students, medical residents, attending physicians, and other LICENSED INDEPENDENT PRACTITIONERS ) work no more than 12 consecutive hours. Exception: Isolated emergency situations outside of usual operations. Practitioners involved in the medication process have at least 10 hours of rest between shifts worked. Exception: Isolated emergency situations outside of usual operations. Schedules and workload permit practitioners involved in the medication process to take at least one 15-minute break and one 30-minute break (for a meal) per 8 hours of work each day. Exception: Isolated emergency situations outside of usual operations. An effective back-up plan has been established for days when staffing is short due to illness, vacation, educational absences, and fluctuations in patient acuity and workload. Pharmacists and pharmacy technicians believe that staffing patterns in their department are adequate to provide safe pharmaceutical care on most days. Nurses believe that staffing patterns on their units are adequate to provide safe patient care on most days. The pharmacy department has an adequate complement of trained and dedicated personnel to meet the medication-related technology requirements (e.g., CPOE, ADCs, SMART INFUSION PUMPS, robotics, automated compounders, point-of-care bar-coding technology) of the department and organization.
159
NOT APPLICABLE
160
161
162
163
FAQ
www.ismp.org
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
A
167
168
169
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
A
Core Characteristic #14
Practitioners receive sufficient orientation to medication use and undergo baseline and annual competency evaluation of knowledge and skills related to safe medication practices.
170 171
A defined time period for orientation and training of agency staff is required before they can work independently. All new staff participating in the medication use process, including agency staff, undergo baseline competency evaluation before working independently. During orientation and on a routine basis, staff participating in the medication use process, receive information about the hospitals actual error experiences as well as published errors that have occurred in other facilities; and they are educated about system-based strategies to reduce the risk of such errors. During orientation, nurses spend time in the pharmacy (and with clinical pharmacists) to become familiar with the order entry and/or verification process, drug preparation and dispensing, availability of drug information resources, ways to access these resources, and various medication safety initiatives. During orientation, pharmacists spend time in patient care units to become familiar with drug prescribing practices, unit stock storage conditions, medication administration procedures, and patient education processes. Pharmacists actively participate in the orientation process for new medical staff (including medical students, medical residents, and attending physicians). All prescribers, pharmacists, and nurses who work in specialty areas (e.g., critical care, pediatrics, oncology) undergo extensive training and/or obtain certification if available in that specialty before working independently. Nurses and pharmacists are not pulled from their typically assigned work areas to help in other areas without thorough orientation and ongoing training to maintain their skills and knowledge. Exception: Isolated emergency situations outside of usual operations.
172
173
174
175
176
177
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
A
178
179
180 181
182
183
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
Practitioners involved in medication use are provided with ongoing education about medication error prevention and the safe use of drugs that have the greatest potential to cause harm if misused. Practitioners are educated about new drugs added to the formulary and associated protocols/guidelines and restrictions before the drugs are used in the hospital. Pharmacists routinely provide nurses and other practitioners who administer medications with important information about non-formulary drugs before dispensing the products to patient care areas for administration. Practitioners receive ongoing information about medication errors occurring within the organization, error-prone conditions, errors occurring in other healthcare facilities, and strategies to prevent such errors. Facilities that serve as clinical sites for medical, pharmacy, nursing, and other professional students, meet with students prior to each rotation and/ or supervising faculty at the beginning of each rotation period to review key medication-related procedures, specific error-prone conditions that may exist during the rotation, and the organizations list of high-alert medications and associated error-reduction strategies. Scoring guideline: Choose NOT APPLICABLE, if your organization does not serve as a clinical site for healthcare professional students. Practitioners are provided with the necessary support and time to attend internal and external education programs related to medication use. Practitioners are trained in the clinical and administrative procedures for responding to a serious medication error. When errors occur, educational efforts are widespread among all practitioners who could make a similar error, rather than remedial and directed at only those practitioners who were involved in an error. Pharmacists provide at least four educational programs per year to nurses, pharmacists, and prescribers on important drug safety issues. Simulations of error-prone conditions (e.g., problematic medication packages and labels, mock transcription/order entry of problematic orders) and/or roleplaying (e.g., to teach effective communication skills, inquiry skills, conflict resolution) are used as methodologies to orient and educate practitioners and other staff about medication/patient safety.
184
185
186
187
NOT APPLICABLE
192
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
A
193
194
Senior leaders, management, and frontline staff receive formal training in identifying risk within the system and incorporating high-leverage errorreduction strategies to help eliminate the risk.
www.ismp.org
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
IX.
PATIENT EDUCATION
A
Core Characteristic #16
Patients are included as active partners in their care through education about their medications and ways to avert errors. Patients are educated routinely upon admission to assist healthcare professionals with proper identification by showing staff their identification bracelet (or other form of identification) and stating their names clearly before medications (and other treatments) are administered. Physicians and other prescribers routinely educate patients about recommended drug therapy before the patient receives an initial dose. During each drug administration, nurses routinely provide patients and/or families with the name of the drug, the general purpose of the drug, and the prescribed dose, and during initial drug administration, nurses also provide information on important side effects. Patients are provided with up-to-date, written information at an 8th grade reading level (or lower) in their primary language about drugs that are prescribed at discharge, or a trained translator or language line is utilized to provide important oral and/or written information about drugs that are prescribed at discharge. Patients are encouraged to ask questions about the medications they are receiving. In hospitals with a rapid-response team (RRT), patients/family members are encouraged to summon the team to the bedside for a full evaluation when they fear that something is seriously wrong with the patient and have expressed their concerns without an adequate response. Scoring guideline: Choose NOT APPLICABLE if your hospital does not have a RRT. Practitioners fully investigate and resolve all patient/family concerns or questions about a medication prior to prescribing, dispensing, and/or administering it. Criteria have been established (e.g., selected high-alert drugs, high-risk patient populations) to trigger an automatic consultation with a pharmacist for patient education. Pharmacists or prescribers design drug administration schedules that consider the patients lifestyle and minimize the number of times per day that medications must be taken for patients at high-risk for non-adherence with medications prescribed at discharge.
2011 ISMP Medication Safety Self Assessment for Hospitals
195
196 197
198
199
200
NOT APPLICABLE
201
202
203
www.ismp.org
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
IX.
A
204
Patients are informed about the potential for error with drugs that have been known to be problematic (e.g., methotrexate prescribed weekly for arthritis, frequently changing warfarin doses) and are provided with strategies to help prevent such an occurrence after discharge. Patients are instructed on when and whom to call for concerns or questions about their drug therapy after discharge. Patients are educated about the importance of keeping an up-to-date list of all medications they take at home, to carry the list with them at all times, and to show the list to healthcare practitioners during each medical encounter. The organization develops and conducts at least one annual community educational program or other proactive public health effort designed to improve safe use of medications in the community.
205
206
207
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
X.
A
Core Characteristic #17
A safety-supportive JUST CULTURE and model of shared accountability for safe SYSTEM DESIGN and making safe BEHAVIORAL CHOICES is in place and supported by management, senior administration, and the Board of Trustees/Directors. Hospital leaders and managers have received formal education on establishing and/or maintaining a fair and just safety culture (e.g., JUST CULTURE ). No disciplinary action is taken against a practitioner for making a HUMAN ERROR. The organization anticipates AT-RISK BEHAVIORS and proactively takes steps to encourage safe BEHAVIORAL CHOICES and discourage AT-RISK BEHAVIORS. Hospital leaders and managers COACH staff who engage in AT-RISK involving patient safety to assist them in making safer BEHAVIORAL CHOICES in the future.
BEHAVIORS
212
Organizational actions toward staff involved in HUMAN ERROR, AT-RISK BEHAVIORS, or RECKLESS BEHAVIORS are consistent, irrespective of the severity of harm that occurs (including no harm). Hospital staff (including administrative staff) job descriptions and performance evaluations, hospital position statements, and medical staff bylaws include specific accountability standards related to patient/medication safety (e.g., accountability for BEHAVIORAL CHOICES in response to the risks they see; willingness to speak up about safety issues and ask for help when needed; ability to work well within teams; to follow the safety literature) that do not include the absence of errors or a numeric error threshold; and these standards are supported by the senior leaders and human resources staff. Error prevention strategies focus on SYSTEM DESIGN enhancements that prevent harmful errors and management of safe BEHAVIORAL CHOICES of all hospital staff. Practitioners and other staff report and openly discuss errors without embarrassment or fear of reprisal from the hospital/organization. Scoring guideline: If possible, choose A through E based on staff surveys as noted in item 220. All medication errors, as defined by hospital policy, that reach the patient, regardless of the level of harm that results, are honestly disclosed to patients/families in a timely manner.
2011 ISMP Medication Safety Self Assessment for Hospitals
213
214
215
216
www.ismp.org
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
X.
A
217 218 219 220
221
222 223
224
225
226
227
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
X.
A
228
229
Practitioners are stimulated to detect and report adverse events, errors (including CLOSE CALLS ), hazards, and observed AT-RISK BEHAVIORS, and interdisciplinary teams regularly analyze these reports as well as reports of errors that have occurred in other organizations to mitigate future risks.
230 231
A clear definition and examples of medication errors and hazardous situations that should be reported have been established and disseminated to practitioners. Practitioners report both hazardous situations that could lead to an error and actual errors, including CLOSE CALLS. Trusted nurse, pharmacist, and physician representatives facilitate periodic, announced, focus groups of frontline practitioners for off the record discussions to learn about perceived problems and risks with the medication use system. The entire medication use process is analyzed at least annually (e.g., using a PROACTIVE RISK ASSESSMENT tool such as this self assessment) to identify potential risk factors for medication errors. A convened interdisciplinary team, which includes at a minimum, risk management/quality improvement professionals, pharmacists, nurses, physicians, clinical information technology staff, and hospital leadership, meets at least monthly to review internal medication error/hazard reports, sentinel events, and other medication safety data, to identify the systembased causes of error, and to facilitate the implementation of SYSTEM DESIGN enhancements that make it difficult or impossible for practitioners to err.
232
233
234
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
X.
A
235
236
237
238
239
240
241
242
www.ismp.org
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
X.
A
243
244
245
246
247
FAQ
248
www.ismp.org
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A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
X.
A
Core Characteristic #19
Redundancies that support a system of INDEPENDENT DOUBLE CHECKS or an automated verification process are used for vulnerable parts of the medication system to detect and correct serious errors before they reach patients. Prescribers orders include the mg/kg (or other appropriate unit of measure, such as mcg/kg) dose for pediatric patients, as defined by the hospital (e.g., pediatric patients less than 40 kg), along with the PATIENT-SPECIFIC DOSE for drugs that have a published pediatric mg/kg (or other appropriate unit of measure) dosing guideline. Scoring guideline: Choose NOT APPLICABLE if care is not provided to pediatric patients, including in the ED. Prescribers orders include the PATIENT-SPECIFIC DOSE and the mg/kg, mg/m2, units/m2, area under the curve, or other dosing method used to calculate the PATIENT-SPECIFIC DOSE with all chemotherapy drug orders. Scoring guideline: Choose NOT APPLICABLE if chemotherapy is never prescribed. If a mg/kg (or other appropriate unit of measure, such as mcg/kg) dose is listed in a drug order for a pediatric patient, a pharmacist verifies that it is correct, and documents (e.g., with initials or electronically) a double check of the prescribers calculated dose (or it is performed electronically) before preparing and dispensing the drug. Scoring guideline: Choose NOT APPLICABLE if care is not provided to pediatric patients, including in the ED. A pharmacist verifies that the dosing method used to calculate the PATIENT(e.g., mg/m2, area under the curve) listed with a chemotherapy order is correct according to the protocol or treatment plan, and then conducts and documents (e.g., with initials or electronically) a double check of the prescribers calculated dose (or it is performed electronically) before preparing and dispensing the drug. Scoring guideline: Choose NOT APPLICABLE if chemotherapy is never prescribed. A nurse documents (e.g., with initials or electronically) an INDEPENDENT of the prescribers calculated dose for pediatric drug orders before administering the drug. Scoring guideline: Choose NOT APPLICABLE if care is not provided to pediatric patients, including in the ED.
249
NOT APPLICABLE
250
NOT APPLICABLE
251
NOT APPLICABLE
SPECIFIC DOSE
252
NOT APPLICABLE
DOUBLE CHECK
253
NOT APPLICABLE
254
A nurse documents (e.g., with initials or electronically) an INDEPENDENT DOUBLE CHECK of the prescribers calculated dose for chemotherapy according to the protocol or treatment plan before administering the drug. Scoring guideline: Choose NOT APPLICABLE if chemotherapy is never prescribed.
NOT APPLICABLE
www.ismp.org
49
A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
X.
255
NOT APPLICABLE
256
NOT APPLICABLE
257
258a
OR
261
NOT APPLICABLE
www.ismp.org
50
A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
X.
A
262a
OR
262b
NOT APPLICABLE
263
264
FAQ
NOT APPLICABLE
www.ismp.org
51
A B C D E
No activity to implement Considered, but not implemented Partially implemented in some or all areas Fully implemented in some areas Fully implemented throughout
X.
A
Core Characteristic #20
Proven infection control practices are followed when storing, preparing, and administering medications. Standards in the USP General Chapter <797> Pharmaceutical CompoundingSterile Preparations (found in the United States PharmacopeiaNational Formulary [USPNF]) are followed in all areas where IV admixture occurs. In the pharmacy and throughout the hospital, staff members use appropriate hand hygiene procedures and standardized aseptic technique prior to preparing any injectable product (e.g., IM, IV push, IV admixture). In patient care areas, multiple-dose vials are not used for saline and heparin flush solutions, or local anesthetics. Exception: Local anesthetics used in the operating room that are restricted to a single patient procedure. Containers of eye or ear drops are not used for more than one patient. A single syringe is never used for multiple patients, even if the needle is changed in between patients. Pen devices that contain multiple doses of medication (e.g., insulin pens) are dispensed for individual patients and are never used as unit stock for multiple patients, even if the needle is changed between patients or the medication is withdrawn from the pen cartridge with a sterile syringe.
265
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52
Definitions (For purposes of the 2011 ISMP Medication Safety Self Assessment for Hospitals)
AT-RISK BEHAVIOR A BEHAVIORAL CHOICE that increases risk where risk is not recognized or is mistakenly believed to be justified. Examples of common AT-RISK BEHAVIORS include: bypassing a duplicate therapy alert during order entry without due consideration; technology work-arounds; removing more than one patients medications from an automated dispensing cabinet prior to administration; written orders or documentation that include ERROR-PRONE ABBREVIATIONS. BEHAVIORAL CHOICE Refers to intentional acts that are undertaken by the free exercise of ones judgment. Unlike HUMAN ERROR, which is unintentional behavior, BEHAVIORAL CHOICE represents the purposeful behavior we intentionally employ while engaging in our day-to-day activities.
CLOSE CALL
DEEP SEDATION An induced state of sedation characterized by depressed consciousness such that the patient is unable to continuously and independently maintain a patent airway and respiratory rate, and experiences a partial loss of protective reflexes and ability to respond to verbal commands or physical stimulation. ERROR-PRONE ABBREVIATIONS Certain medical abbreviations, symbols, and dose designations that are considered dangerous and have often contributed to serious medication errors. A complete list can be found at: www.ismp.org/Tools/errorproneabbreviations.pdf. FAILURE MODE AND EFFECTS ANALYSIS (FMEA) A PROACTIVE RISK ASSESSMENT method based on the simultaneous analysis of possible failure modes, their consequences, and associated risk factors. Also referred to as Failure Mode Effects and Criticality Analysis (FMECA) and Healthcare Failure Mode and Effects Analysis (HFMEA). HUMAN ERROR Inadvertently doing other than what should have been done; a mental slip, lapse, or mistake such as miscalculating a dose, forgetting to dilute a medication, or transposing the doses of two antibiotics while prescribing the medications. HUMAN ERRORS are unintentional acts, not a BEHAVIORAL CHOICE. HUMAN FACTORS The study of the interrelationships between humans, the tools they use, and the environment in which they work and live.
INDEPENDENT DOUBLE CHECK
An error that took place but was captured before reaching the patient. For example, penicillin was ordered for a patient allergic to the drug; however, the pharmacist was alerted to the allergy during computer order entry, the prescriber was called, and the penicillin was not dispensed or administered to the patient. Or the wrong drug was dispensed by pharmacy, and a nurse caught the error before it was administered to the patient. COACH A supportive discussion among staff (peer-to-peer or manager-to-workers) intended to: 1) help staff see the risks associated with their BEHAVIORAL CHOICES that were not seen or were misread as being insignificant or justifiable, 2) learn the incentives that encourage these AT-RISK BEHAVIORS, and 3) help staff make safer BEHAVIORAL CHOICES in the future. COMPUTER ORDER ENTRY SYSTEM Refers to any computer system into which medical orders are entered, including pharmacy computer systems into which pharmacy staff enter or validate medication orders, as well as computerized prescriber order entry (CPOE) systems into which medical staff enter medication orders.
A procedure in which two individuals, preferably two licensed practitioners, separately check each component of the work process. An example would be one person calculating a medication dose for a specific patient and a second individual independently performing the same calculation (not just verifying the calculation) and matching results.
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Definitions (continued)
INTERFACED A direct link between two information systems such that the information from one system is immediately available to the user of the second system and integrated into the system in a way that supports clinical decision making (e.g., INTERFACING the laboratory and pharmacy computer systems would immediately provide corresponding laboratory data to the pharmacist while he/she is entering or reviewing a specific medication order). This may or may not include a bi-directional INTERFACE of the two systems to allow communication in both directions. JUST CULTURE Refers to a safety-supportive model of shared accountability where healthcare institutions are accountable for the systems they design, for supporting the safe behavior choices of patients, visitors, and staff, and for responding to staff behaviors in a fair and just manner. In turn, staff are accountable for the quality of their BEHAVIORAL CHOICES (HUMAN ERROR is not a BEHAVIORAL CHOICE ) and for reporting their errors and system vulnerabilities. LICENSED INDEPENDENT PRACTITIONER An individual permitted by law and by the organization to provide care, treatment, and services without direct supervision. MAXIMUM DOSE The dose of a medication that represents the upper limit that is normally found in the literature and/or manufacturer recommendations. MAXIMUM DOSES may vary according to age, weight, or diagnosis. MEDICATION DEVICE Equipment such as infusion pumps, implantable pumps, syringes, pen devices that contain medication (e.g., EPINEPHrine, insulin), tubing, patient-controlled analgesia pumps, automated compounding devices, robotics, and other related devices that are used for medication preparation, dispensing, and administration. MNEMONICS A limited number of letters and/or numbers that are used to represent a specific medication (e.g., ASA80 may represent aspirin 80 mg tablets).
MODERATE SEDATION An induced state of sedation characterized by a minimally depressed consciousness such that the patient is able to continuously and independently maintain a patent airway and respiratory rate, retain protective reflexes, and remain responsive to verbal commands and physical stimulation. NURSE-CONTROLLED ANALGESIA The intermittent dosing of a patient-controlled analgesia pump or device performed by a nurse or other licensed practitioner rather than the patient. This practice should only be performed by nursing protocol when patients are capable of requesting a dose of medication within the prescribed limits, but not capable of performing the function themselves. PATIENT-SPECIFIC MEDICATION (OR DOSE) A ready-to-administer PATIENT-SPECIFIC DOSE of medication that exactly matches the dose ordered by the prescriber. This may or may not correspond to the manufacturer UNIT-DOSE package. (See UNIT DOSE.) PHARMACY AND THERAPEUTICS COMMITTEE An interdisciplinary committee that convenes on a scheduled basis, or when necessary, to review the safety, use, efficacy, and monitoring of medications that will be available for use in the hospital. The committee also sets policy and procedures, on behalf of the medical staff and hospital administration, on the safety of the entire medication use process. POTENTIAL ADVERSE DRUG EVENTS Conditions associated with drug therapy that could lead to patient harm, or an incident related to drug therapy with the potential for harm. An example is a patient who received penicillin despite a known allergy to penicillin, but did not have a reaction. Included in this category are potentially harmful errors that have been intercepted before reaching the patient as well as those that have reached the patient. POTENTIAL ADVERSE EVENTS Conditions that could lead to patient harm, or an incident related to the medical management of the patient with the potential for harm. An example is a patient who fell in the bathroom but did not sustain an injury. Included in this category are potentially harmful errors that have been intercepted before reaching the patient as well as those that have reached the patient.
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Definitions (continued)
PROACTIVE RISK ASSESSMENT The process of identifying and systematically analyzing the risk and hazards embedded in the process and structure of care to prevent adverse events from occurring. Knowing where the risk and hazards are helps to inform the design, planning, and development of appropriate interventions that will eliminate or minimize risk and hazards before patient injuries occur. RECKLESS BEHAVIOR A BEHAVIORAL CHOICE to consciously disregard a substantial and unjustifiable risk. The person engaging in RECKLESS BEHAVIOR : 1) always perceives the risk he/she is taking, 2) understands that the risk is substantial, 3) does not mistakenly believe the risk is justified, 4) behaves intentionally, 5) knows others are not engaging in the same behavior, and 6) is unable to justify his/her behavior through an objective risk-benefit analysis. Examples include: reusing a dropped surgical instrument knowing that the action could result in a serious hospital-acquired infection, and working while under the influence of alcohol. ROOT CAUSE ANALYSIS (RCA) A retrospective process for identifying the most basic or causal factor(s) that underlies the occurrence or possible occurrence of an adverse event. RULE OF 6 A formula, originally designed for pediatric emergencies, in which the amount of drug to add to a set volume of solution and the rate of infusion are calculated using the following guidelines: 6 x weight in kilograms (kg) equals the amount of drug in milligrams (mg) that should be added to 100 mL of solution. The infusion volume in mL per hour then equals the mcg/kg/minute dose ordered. For example, a drug ordered at 10 mcg/kg/minute would equal an infusion rate of 10 mL per hour using the RULE OF 6.
SMART INFUSION PUMP/SMART PUMP TECHNOLOGY An infusion pump with computer software that is, at a minimum, capable of alerting the user to unsafe dose limits and programming errors if standard concentrations and dose limits have been programmed into the pumps library. SYSTEM DESIGN/REDESIGN Refers to the design/redesign of processes, procedures, equipment, INTERFACES, overall structure, and the environment or conditions under which staff work, for the purpose of satisfying specific requirements, such as patient safety. The design of a system dictates how reliable it is in terms of satisfying specific requirements. TALL MAN LETTERS Refers to the use of mixed case letters to help draw attention to the dissimilarities of certain look-alike drug name pairs. A list of look-alike drug names with recommended TALL MAN LETTERS can be found at: www.ismp.org/Tools/tallmanletters.pdf. UNIT DOSE A single package that contains one dose of a medication intended for one patient (e.g., a package with one tablet, one single-use vial of parenteral medication, 5 mL container holding one dose of liquid medication). (See PATIENTSPECIFIC MEDICATION.) WALKROUNDS A formal process in which a core group, including senior executives, conducts weekly visits to different areas of the hospital to ask specific questions about adverse events or CLOSE CALLS and about the factors or systems issues that lead to these events. (Frankel A, Graydon-Baker E, Neppl C, et al. Patient safety leadership WalkRounds . Jt Comm J Qual Safety. 2003;29:16-26.)
2011 Institute for Safe Medication Practices Medication Safety Self Assessment for Hospitals is a federally registered trademark in the name of the Institute for Safe Medication Practices (ISMP). This publication is owned and copyrighted by ISMP and is being made available to your hospital for internal assessment of medication practices. ISMP hereby grants your hospital permission to copy this publication to accommodate your internal assessment process. If you are not an employee or agent of the hospital utilizing this assessment you have no right to copy or use this publication in abrogation of the rights of ISMP.
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