Ensuring Access to Care in Opioid Treatment Programs
Ensuring Access to Care in Opioid Treatment Programs
Ensuring Access to Care in Opioid Treatment Programs
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A guide for addiction treatment clinicians and programs working to treat patients with substance use disorders safely and effectively during the COVID-19 pandemic1.
For additional recommendations for the Ongoing Management of the Continuum of Addiction Care during COVID-19, please click here.
The ongoing COVID-19 pandemic is presenting significant challenges for opioid treatment programs as they seek to continue to provide quality addiction treatment while minimizing patient, staff, and community risk for COVID-19. This resource is intended to provide guidance on the issues that OTPs should consider as they navigate the COVID-19 crisis.
Updated: 6/30/20
Ensuring Access to Care in Opioid Treatment Programs
Opioid Treatment Programs (OTPs) must remain stable sources of treatment for patients taking methadone or buprenorphine for opioid use disorders. The COVID-19 crisis has not ended and appears to be worsening the opioid crisis. OTPs are healthcare facilities providing vital healthcare services and have been deemed by SAMHSA as essential. Despite the challenges and limitations that COVID-19 places on OTPs, ÂÒÂ×ÊÓƵ shares the mission of continuing to provide quality, life- saving treatment to all patients who need it.
Each patient should be reassured that their treatment program will remain open and that every effort will be made to continue their medication, peer support, case management, and counseling throughout this crisis, even if not in the traditional manner.
However, the unique nature of OTPs requires people to present in-person to a clinical site at a higher frequency than most other ambulatory treatments. Therefore, OTPs should actively develop protocols to safeguard their patients, staff, and community from spread of Covid-19. See ÂÒÂ×ÊÓƵ’s guidance on Infection Mitigation in Outpatient Settings.
In the process of planning for and implementing procedures to maintain ongoing operations, it may be useful to draw on emergency plans that all OTPs are required to have as part of federally mandated accreditation. However, even these plans may be lacking given the unprecedented nature of the COVID-19 crisis.
Continuing operations during the COVID crisis may require different processes based on several considerations:
- Clinic size and staffing resources
- County or city-level community resources
- Patient population characteristics
For example, larger OTPs with more staff may elect to stagger schedules for counseling, nursing, medical, and other staff to provide ongoing coverage of services but minimize the exposure of all staff at one time to possible work-related COVID-19 viral transmission. They may also need to stagger when patients present to clinic, either over the course of the day, week, or month. Smaller OTPs may not have the luxury of staggering staff and may need to consider alternatives. For example, the CDC recommends that “asymptomatic healthcare professionals who have had an exposure to a COVID-19 patient” may continue to work “after options to improve staffing have been exhausted”. ( ).
Universal masking for all patients and staff in healthcare facilities is now recommended by the CDC. Therefore, mandating this in the clinic is a reasonable step at all OTPs. Specific exceptions may need to be accommodated for patients with valid medical or psychiatric conditions that preclude mask wearing for even a short period of time. Patients with valid exceptions may need to be treated in separate areas or at specific times when few other clients are present, or in rare cases dosed outside the clinic in their cars or at the curb. OTPs should provide masks to patients who otherwise do not have access to one. While patients who decline to wear a mask may be asked to change their time or place of dosing, refusal or inability to wear a mask should not be an indication for discharge from treatment or to decline dosing the patient.
With ongoing community spread of the COVID-19 virus, OTPs will need to consider how to continue serving patients at high risk for or with confirmed or presumptive infection. This may be particularly important for OTPs in areas without much in the way of community resources for isolating unhoused patients with COVID-19 illness or providing alternative medication delivery systems.
Given widespread transmission of novel coronavirus in most areas of the country, applying a universal precautions approach is reasonable. This means implementing universal screening protocols for patients and staff prior to entering the facility, universal use of face coverings for patients and facemasks for staff, ensuring appropriate physical distancing, and using telehealth strategies to stay connected with established patients as much as possible. (See ÂÒÂ×ÊÓƵ’s guidance document on Infection Control and Mitigation Strategies in Outpatient Settings)
For local areas where community spread of the virus is contained, shifting to other strategies may be appropriate. This could involve establishing alternating days or separate times of day for patients who are considered at high risk for infectiousness, including those:
- who are not able to physically isolate
- with respiratory symptoms
- recently released from incarcerated settings
- who live in congregate shelter settings.
The other days or time blocks would be reserved for visits by patients who are likely at lower risk of infectious- ness. Alternatively, depending on the layout of the facility, programs may provide separate physical spaces for patients at low vs. high risk of infection, including separate waiting spaces, separate areas for dosing, and separate rooms for clinical encounters.
With increasing use of telehealth and take-home dosing, OTPs may be able to stagger appointments such that they can space out patients six (6) feet apart across OTP waiting rooms, lobbies, and medication dispensing areas. These distances could be marked out with painters’ tape on the floor and chairs placed 6 feet apart.
Ensure that non-methanol containing hand sanitizer is accessible in multiple points throughout the facility and clean frequently touched surfaces often, at least once a day.
Finally, no matter the processes any OTP puts in place to reduce the risk of COVID-19 transmission among patients and staff, the less time a patient spends in face-to-face contact with other persons inside and outside the facility, the lower the risk of COVID-19 viral transmission. This point should serve as a guiding principle for continuing OTP operations during the COVID-19 crisis.
Given the complexity of challenges associated with the COVID-19 response across the anticipated phases of this pandemic, all OTPs appoint and implement a dedicated management team with clearly defined roles and responsibilities to manage the planning and implementation of the program’s preparations and response.
Policies and Procedures to consider:
For example, OTPs could consider implementing an to manage and coordinate the program’s response. Whether a formalized incident command system is used or not, any dedicated management team should include a hierarchy with clearly defined roles and responsibilities within specific areas including overall leadership, safety, communications, operations, and any other key function needed by the organization to effectively manage the response. For example, coordination with recovery/transitional housing providers may need a point person.
The dedicated management team should develop processes for regularly evaluating the impact of the crisis and developing updated policies and procedures to adapt to the evolving situation. Relevant information that may be helpful to track for planning staffing and other resources include:
- Number of patients with known or suspected infections
- COVID-19 related morbidity and mortality among the OTPs clinic population
- Staff and patients with potential exposure under isolation or quarantine
- Staff and patients in high risk categories for severe COVID-19 illness
- Changes in community spread
- Number of patients due in the next day.
Dedicated staff should be tasked with monitoring and managing supplies. The management team should define what supplies are essential to program functioning and implement processes for tracking and managing these supplies.
The management team should also work to rapidly develop updated policies and procedures needed to adapt to the COVID-19 crisis. For example:
- Infection control and mitigation procedures
- Transitioning to telehealth whenever possible
- Updated clinical procedures related to take home dosing, dosage changes via telehealth, drug testing, etc.
- Process for reviewing staffing daily and modifying schedules if needed to effectively provide care
- Communication with staff, patients, and caregivers
- Tracking patient hospitalizations and adjusting care as needed
- Programs should be able to track patient emergency department visits and hospitalizations in their state or local health information exchange (HIE)
- Programs may need processes in place to confirm hospital doses
- o programs should also have processes in place to keep patients who have been hospitalized separate from other patients since the hospital may pose a risk for COVID-19 exposure
Unanticipated and unplanned for issues will arise as the crisis evolves. The dedicated management team should provide efficient ways for identifying and rapidly addressing challenges in real time as they arise.
Federal agencies have been rapidly releasing guidance to provide flexibility to healthcare providers during the COVID-19 emergency. Guidance relevant to OTPs are listed below. Links to the relevant web sites and documents can be found by clicking on the section titles.
Enhanced Flexibility for Take Home Medication for OTPs (SAMHSA)
On March 19, SAMHSA issued updated OTP guidance indicating that states may request blanket exceptions for all stable patients in an OTP to receive 28 days of take-home doses of the patient’s medication for opioid use disorder. The same guidance notes that states may request up to 14 days of take-home medication for those patients who are less stable but who the OTP believes can safely handle this level of take-home medication.
Also, on March 19, SAMHSA issued a set of FAQs clarifying how telehealth can be used for patients being treated in OTPs. Specific questions that SAMHSA addressed in the FAQ are listed below. The detailed responses are provided in the FAQs under Resources at the end of this section.
- At this point, new patients being admitted to an OTP for OUD must still have an in-person evaluation if they are going to be treated with methadone.
- SAMHSA, however, has exempted OTPs from the requirement to perform an in-person evaluation for any new OTP patient who will be treated with buprenorphine (when ordered and dispensed under OTP rules), if a program physician, primary care physician, or an authorized healthcare professional under the supervision of a program physician, determines that an adequate evaluation of the patient can be accomplished using telehealth (including use of telephone, if needed). This exemption will last for the duration of the declared COVID-19 national emergency.
- Practitioners working in OTPs can continue treating existing patients with methadone and buprenorphine via telehealth (including use of telephone, if needed).
- An OTP can dispense medication (either methadone or buprenorphine products) to existing patients based on telehealth evaluation (including telephone, if needed).
- Programs employing random call-backs of take-home doses during COVID-19 should consider the risks of doing so during the pandemic, whether it would change medical management, and the therapeutic value for a specific patient. If these are utilized, potential harms should be minimized by allowing patients some flexibility as to when they are required to present to the clinic (such as within two days of being notified if needed), and by avoiding rigid consequences since “failed” call- backs may occur for a variety of reasons.
Resources:
- Opioid Treatment Program (OTP) Guidance:
- SAMHSA COVID main page:
- FAQs: Provision of Methadone and Buprenorphine for the Treatment of OUD in the COVID-19 Emergency:
- DEA Guidance: Exemption Allowing Alternate Delivery Methods for OTPs:
- DEA Telemedicine Guidance (March 31, 2020):
Alternative Home Delivery of Methadone Through This Emergency (DEA)
The DEA has authorized alternative methods for home delivery of methadone (and buprenorphine/naloxone if dispensed through the OTP) to patients isolating during the COVID-19 public health emergency. It allows for delivery through the OTPs established chain of custody protocol for take-home medications. In addition, it allows designated staff members, law enforcement officers, or National Guard personnel to make deliveries of methadone to quarantined patients, including “doorstep” delivery using an approved lockbox. See DEA guidance on alternative and home delivery of methadone:
OTP Guidance for Patients Quarantined at Home with the Coronavirus (SAMHSA)
This guidance addresses the designation of someone who can pick up medications and complements that of the DEA above. See SAMHSA’s OTP Guidance for Patients Quarantined at Home with the Coronavirus:
Compliance with Addiction Treatment Confidentiality Regulations – 42 CFR Part 2 (SAMHSA)
SAMHSA has recently revised the 42 CFR Part 2 rules governing patient confidentiality in OTP settings ( ).
Some of the most important changes are:
- “An SUD patient may consent to disclosure of the patient’s Part 2 treatment records to an entity (e.g., the Social Security Administration), without naming a specific person as the recipient for the disclosure.”
- “OTPs are permitted to enroll in a state prescription drug monitoring program (PDMP) and permit- ted to report data into the PDMP when prescribing or dispensing medications on Schedules II to V, consistent with applicable state law.”
Included in prior guidance for health emergencies, SAMHSA advises that (see link to full guidance in re- sources at the end of this section):
- “patient identifying information may be disclosed by a part 2 program or other lawful holder to medical personnel, without patient consent, to the extent necessary to meet a bona fide medical emergency in which the patient’s prior informed consent cannot be obtained.”
- “Information disclosed to the medical personnel who are treating such a medical emergency may be re-disclosed by such personnel for treatment purposes as needed.”
SAMHSA’s guidance emphasizes that under this medical emergency exception, “providers make their own determinations whether a bona fide medical emergency exists for purposes of providing needed treatment to patients.”
See SAMHSA’s COVID-19 Public Health Emergency Response and 42 CFR Part 2 Guidance:
Telehealth Related Guidance
ÂÒÂ×ÊÓƵ is tracking federal guidance related to telehealth, including the following. For details please see ÂÒÂ×ÊÓƵ’s Telehealth Guidance page.
- Waiver of regulatory requirements related to HIPPA compliant telehealth platforms (HHS/Office of Civil Rights)
- Expansion of Medicare Coverage for Providing Services through Telehealth (CMS)
- Flexibility for Prescribing Controlled Substances via Telehealth (SAMHSA/DEA)
- DEA Exception to Separate Registration Requirements Across State Lines.
Resources:
- Notification of Enforcement Discretion for Telehealth Remote Communications During the COVID-19 Nationwide Public Health Emergency:
- FAQs on Telehealth and HIPAA during the COVID-19 nationwide public health emergency:
- CMS Fact Sheet:
- Medicare Telehealth FAQ:
- DEA guidance on Telemedicine:
- DEA guidance on Use of Telemedicine While Providing MAT:
- Flow chart on How to Prescribe Controlled Substances to Patents During the COVID-19 Public Health Emergency (DEA) :
- DEA Policy: Exception to Separate Registration Requirements Across State Lines:
- Comprehensive resources can be found here: ÂÒÂ×ÊÓƵ’s Telehealth guidance
State Regulations
Each state may have their own requirements and regulations concerning OTPs. OTPs should work closely with their respective State Opioid Treatment Authorities (SOTA). In order to allow extended take-home doses, the OTP medical director may need authorization for “blanket” privileges from the state and the individual SOTA must have received permission from SAMHSA’s Center for Substance Abuse Treatment (CSAT).
Resources:
- Information on state policy changes related to Medicare and Licensing can be found ÂÒÂ×ÊÓƵ’s Telehealth guidance.
- ÂÒÂ×ÊÓƵ is working to compile relevant national and state guidance here: /Quality-Science/covid-19-coronavirus/national-and-state-guidance
- The Center for Connected Health Policy is compiling COVID-19 related state actions here:
New patients
OTPs must maintain the capability to admit new patients to treatment during the COVID crisis. A larger influx of new patients will likely present during the crisis as the it appears the opioid crisis is worsening in association with the COVID-19 pandemic. Under current regulations, this process will look different depending on whether the patient starts on buprenorphine, naltrexone, or methadone. As usual, the choice of medication should be made through consultation between the medical provider and the patient with full informed consent.
Buprenorphine or naltrexone
Under the updated federal regulatory guidance, buprenorphine and naltrexone may be initiated during this crisis using telehealth or telephone-based appointments. An in-person physical examination is not required. The evaluation, treatment planning, and patient education processes should be maintained at the same level as would be performed during a face-to-face encounter. This includes a complete history of substance use, past treatments and responses, periods of recovery, prior episodes of overdose, a medical history, psychiatric history, social history, family history, and review of systems.
Methadone
A face-to-face examination is currently required by SAMHSA for patients starting on methadone. During this in-person encounter, the medical provider should take steps to minimize any exposures to themselves or the patient, including having the patient wear a face mask and the provider using appropriate PPE, if available. Based on CDC recommendations for healthcare providers and the extent of community spread of COVID-19 virus in the area, these precautions could include a face mask, face shield, gloves, and a gown (see the CDC site for specific recommendations: ).
According to 42 CFR Part 8.12: “OTPs shall require each patient to undergo a complete, fully documented physical evaluation by a program physician or a primary care physician, or an authorized healthcare professional under the supervision of a program physician, before admission to the OTP.” SAMHSA has made it clear that this requirement will not be relaxed under the COVID emergency guidelines. It is possible, however, under these regulations for another authorized medical provider, who is not the admitting physician at the OTP, to perform the examination; this exam must be face to face.
Dosing titration is more complex with methadone than with buprenorphine, and during the initiation phase it may not be appropriate to give take home doses, even though this would be permitted under the emergency federal guidance. Close follow up and medical assessment is necessary during initiation in order to mitigate the increased risk of adverse events, including overdose, that patients are exposed to during this phase. Therefore, the OTP medical director, working in conjunction with other OTP clinicians, must thoroughly weigh the risks of COVID-19 illness and exposure with the risk of inadequately treated OUD and the risk of methadone-related harms.
Extended take-home doses
OTPs should consider giving extended take-home doses when clinically appropriate. SAMHSA’s emergency guidance now allows for up to 14 to 28 days of take-home doses. Caution should be used in applying these allowances on a “blanket” basis. Rather decisions should be made on an individual patient basis with documentation of the rationale (risk/benefits). Providing more take home doses without requiring frequent in-person visits is likely to reduce risk of exposure to COVID-19. The benefit to the patient, peers, staff and the community of fewer clinic visits for dosing must be balanced against the risks of taking additional doses home in terms of adverse effects to patients and those around them.
Using the 8 decision criteria for dispensing methadone for unsupervised use under , the patient’s stability should be assessed. Patients still using other CNS depressants such as other opioids (particularly fentanyl), benzodiazepines, or alcohol may be at higher risk and may not be ideal candidates for extended take-home doses. Other considerations may include:
- The patient’s ability to safely secure and store medication.
- Home environment and availability of a responsible adult in the home who can help the patient appropriately manage take home medication.
- The presence of concerning symptoms consistent with COVID or recent potential exposures.
- The risk to the patient associated with an-in person visit
- Are they at high risk for severe COVID-19 illness?
- Are they living with or caring for someone at high risk?
- Would they need to take mass transit to the visit?
- What is their level of anxiety around coming to an in-person visit?
Based on this risk benefit analysis, the provider should determine if additional take-home doses are appropriate, and how many. This plan can range from having the patient come in every other day instead of daily, to giving the full 28 or 14 days (depending on whether the patient is considered stable or less stable), or anything in between. Programs should also work to structure patient visits such that they spend the least amount of time possible in the facility. See the Waiting Room Precautions section below.
Managing extended take-home doses
Patients should be educated initially and, ideally, periodically concerning the importance of maintaining their medication securely and away from children and pets. They should be given clear dosing instructions and they should be counseled on the risk of overdose if they take more than their prescribed dose, or if they combine opioids and other CNS depressants, especially benzodiazepines and alcohol. They should also be re- minded that the program cannot replace lost or stolen doses. However, decisions on replacing lost or stolen doses may be made on a case by case basis with appropriate documentation.
Some patients may be able to work with other trusted family members or a significant other to help monitor their doses, although it is important to be vigilant for dysfunctional or abusive family situations. If appropriate and the patient consents, the program should provide guidance and education to a responsible adult in the home who can help the patient appropriately manage take home medication.
This guidance should include education on safe storage, overdose risk, appropriate dosing, chain of custody procedures, and use of rescue naloxone.
Consistent with ÂÒÂ×ÊÓƵ’s public policy recommendations, all patients should be given access to naloxone rescue kits and instructions on how to use them. Preferably, the naloxone would be dispensed at the OTP, but if this is not possible then it may be accessed through local pharmacies. However, many pharmacies do not stock naloxone. The program should consider working with a local pharmacy or local naloxone distribution programs to ensure that their patients have the ability to fill the prescriptions they are given. Lack of insurance or co-pay requirements can also hinder access to naloxone, and the program should follow up with patients to see if they were able to access naloxone.
All patients granted extended take-home doses should have their contact and emergency contact information reviewed and updated.
Assessing patients who have extended take-home doses
Some patients given extended doses at home will do well and others will struggle. It is important that counselors and OTP medical staff keep in contact with the patient on a regular basis, via phone or telehealth (including video connection to the patient’s own device). During these contacts the counselor should assess whether the patient has been able to store and take his/her medication correctly, assess the patient for triggers or cravings, assess for any new major stressors, and reinforce physical distancing measures. Medical providers should contact patients regularly to assess for responses to medication, review medication lists, and identify any potential side effects such as sedation or constipation. If a patient is not doing well, it is important that she or he be brought back into the clinic and a new treatment plan developed, with potentially fewer take-home doses and/or more intensive home monitoring. When patients with extended take-home doses present to the program, that day’s dose should be observed.
Considerations for In-Person Visits
Patients who are relatively stable can be managed by telehealth. Those who are unstable may be better served by an in-person visit, again balancing the risk of COVID-19 exposure with the benefit of in-person compared to telehealth contact. Examples of instability that would warrant an urgent in-person visit might include suicidal thoughts, new homelessness, interpersonal violence, difficulty dealing with the pandemic, or involvement of child protective services. For stable patients, the risk of in-person visits is likely to outweigh the benefits of such visits. OTP personnel must use their clinical judgment in determining when an in-person visit may be beneficial.
Managing Clinic Visits
Measures should be taken to help patients maintain 6+ foot social distancing when coming to the clinic to pick up their doses and/or for follow up visits:
- Limit the number of patients who can enter the waiting room at a given time (see Waiting Room Pre-cautions section below).
- Consider using larger rooms as available to facilitate physical distancing.
- Place furniture and/or markings on the floor to manage patient flow and maintain 6+ feet of distance.
- Consider having patients wait outside (6+ feet apart) until it is their time to dose. Using online sign-in and queue management, such as ‘take a number’ protocols, may help with this process.
- Consider assigning dosing blocks and expanding dosing hours in order to spread out traffic.
- For select patients unable to wear face coverings and with symptoms for or known COVID-19 ill- ness who are unable to isolate and for whom alternate medication delivery is unavailable, consider alternate or outdoor dosing areas. This could include dosing patient in their cars, or having patients present to a different, less publicly visible entryway to the building and handing the dose through the doorway. Interactions conducted outdoors are associated with a lower risk of virus transmission.
- In areas with lower positivity rates of COVID (around or less than 5%), consider scheduling appointments to minimize interactions between patients at high risk for COVID infection and those with lower risk. For example, patients at high risk of infection may be seen on different days, or at alternate times, than patients at lower risk. If such strategies are used, thoroughly cleaning patient areas and clinic facilities often and between patient days or time blocks is critical. Recognize also that a patient’s infectious- ness could quickly change.
- Mobile dispensing units may be used for prescribing buprenorphine (new mobile dispensing units for methadone are not currently being approved by the DEA).
- Home deliveries may be made in selected circumstances.
Resources:
- See DEA guidance on alternative and home delivery of methadone:
- See SAMHSA’s OTP Guidance for Patients Quarantined at Home with the Coronavirus:
- For in-person encounters within 6 feet, current public health guidance is that patients and clinicians should both wear a mask. After the visit, both patient and clinician should wash their hands and the room should be cleaned between uses.
- Also see ÂÒÂ×ÊÓƵ’s guidance on Infection Mitigation in Outpatient Settings
Managing Telehealth Visits
It is very important to maintain close contact with patients during this time of stress, anxiety, and social isolation. Telehealth, including both telephone based and audio-visual based check-ins and visits, are an import- ant way of staying connected with and managing patients. Federal regulations have been relaxed during the COVID-19 pandemic to facilitate the use of telehealth, including allowing providers to use non-HIPAA compliant technologies such as Apple FaceTime, Facebook Messenger video chat, Google Hangouts video, or Skype. These changes should make it easier to incorporate telehealth.
Communication with patients is key during any transition to telehealth services. Programs should continue working with patients to make sure they understand how to join a telehealth visit and should be prepared to adapt to any technical issues that arise. See guidance from the National Council on Best Practices for Tele- health During COVID-19 Public Health Emergency: and the APA’s Telepsychiatry Toolkit:
In addition to the typical assessments and treatment modalities, during this crisis telehealth counseling sessions should address how the patient is responding to the COVID-19 crisis, and should focus on reinforcing social distancing and hygiene practices. Counselors should help patients to problem solve around these issues. Counselors should also talk to patients about what they should do if they develop symptoms.
If the patient is receiving additional take-home doses the counselor and medical provider should check in with the patient regularly to determine how they are managing. Counselors and medical staff should reinforce the risk of overdose and the importance of safe medication storage.
Patients should also be encouraged to participate in virtual support groups if appropriate for the individual. See Promoting Support Group Attendance Guidance.
Providing services through telehealth does require clinicians to adapt their practices. Programs should encourage staff to participate in virtual trainings on how to effectively provide services through telehealth.
Resources:
- National Council’s Best Practices for Telehealth During COVID-19 Public Health Emergency:
- APA’s Telepsychiatry Toolkit:
- ÂÒÂ×ÊÓƵ Telehealth Guidance: Supporting Access to Telehealth for Addiction Services
Considerations for Annual Assessments
Federal regulations do not require an annual medical exam for patients in OTPs, however it may be required in some states. OTPs in states that require an annual medical exam should reach out to their State Opioid Treat- ment Authority if they have questions related to flexibility around this requirement during the COVID-19 crisis. ÂÒÂ×ÊÓƵ members are also encouraged to reach out to their state chapter if state level advocacy is needed.
In making determinations about whether a patient’s annual medical exam can be delayed or can be provided through telehealth, OTPs should consider the risks and benefits for the individual patient. Patients should be connected with primary care practitioners with care coordination occurring with the OTP. Medical exams by medical providers in the OTP can be conducted through audio-visual telehealth which is likely to yield many of the same benefits as an in-person exam. The provider should determine whether there are risks to the patient associated with either delaying the exam or conducting it through telehealth that outweigh the risks to the patient posed by an in-person visit and potential exposure to COVID-19.
Considerations for dosage changes
The stress, anxiety, and social isolation associated with the pandemic response is exacerbating mental health and addiction symptoms in some patients. OTPs should assess these symptoms and provide appropriate therapeutic responses on an individual patient basis. Programs should develop policies and procedures for making changes to medication dosages based on phone consultations.
Drug testing
OTPs are still required to provide a minimum of 8 drug tests per year for each patient. See ÂÒÂ×ÊÓƵ’s guidance on Adjusting Drug Testing Protocols. For patients who are given extended take home doses and for whom there are concerns about stability, it may be reasonable to do additional drug screening to assess for the safety of continuing with more take home doses.
Coordination with Recovery Homes or Caregivers
During this crisis many factors may increase the need for coordination with patient support systems including recovery homes and other caregivers. Programs should establish clear lines of communication with the ap- propriate caregivers/support systems for each patient. The program should consider assigning a main point of contact to manage these communications. These coordination channels should be used to:
- Coordinate take-home doses
- Develop shared protocols for safe storage/access
- Ensure timely communication about any suspected COVID-19 in the residence
- Provide a clear point of contact if there are any cases of COVID-19 among the program’s staff or patients
- Ask for caregiver/support system’s help observing take-home dosing.
Medicaid: Many OTP patients are covered by Medicaid, although this may vary from state to state and among clinics. Medicaid reimbursement rules for OTPs are determined by each state’s Medicaid office. OTPs will need to work with their state Medicaid office in order to maintain reimbursement and clinic income streams during the crisis. Although the DEA, SAMHSA, and CMS have all allowed delivery of the majority of OTP services via telehealth, it is still up to each state Medicaid program to determine how these services will be reimbursed. Some states have implemented COVID-19 specific codes for certain services, while others are using a bundled billing model.
Medicare: For those patients who have Medicare, audio-video telehealth services are reimbursable. In cases where patients do not have access to two-way audio-video communications technology, some services will allow the use of audio-only telephone calls. For more information, click here.
Private Payors: While some private insurers do not reimburse for OTP services, many do provide coverage. In some states, health plans have announced that they will pay for services rendered either through audio-visual and/or telephonic only means at the same rate as in-person visits. Programs and clinicians should consult the plans with which they participate for further information. Some patients who are paying out of pocket may lose their employment due to COVID-19. It is advised that OTPs work with patients on payment deferrals or schedules to maintain their treatment until they can get back to employment and/or obtain health care coverage.
See the AMA guidance on Policy, Coding, and Payment for telehealth services:
See ACP’s Telehealth Billing and Coding Tips:
Telehealth
Verbal or written consent should be obtained from the patient before each telehealth visit. If the OTP is not using a HIPAA compliant telehealth platform, the patient should be informed about this and about the potential security limitation, and their verbal or written consent to continue should be obtained.
All documentation should note the patient’s consent for treatment via telehealth (acknowledging the potential HIPAA violation if appropriate). It should also document the time of the beginning and end of the call, the location of the patient and the provider at the time of the visit, and the technology used for the connection. It is important to verify the patient’s identity, especially for phone contacts. Each note should describe how the patient’s identity was verified. Documentation of an assessment of the patient’s mental status, mood, quality of speech, etc., should be considered. As with all services, the note should outline the plan for the next contact. The note should also indicate that the encounter is in the context of the COVID-19 crisis, and describe how this was addressed during the visit (e.g. reinforcing the importance of physical distancing, assessing how the patient is coping with the stress, anxiety and social isolation during this crisis, etc.).
Documenting a physical examination via telehealth
Some OTPs will be able to use internet-connected equipment such as stethoscopes, otoscopes, and high-definition cameras. These devices, when manipulated by an assistant who is with the patient, may allow for a full multi-system examination to be performed via telehealth. Using such equipment, however, does not avoid the issue of having someone in close proximity to the patient, and will not meet the SAMHSA requirement for a face-to-face examination before initiation of methadone treatment.
Much information can be obtained through an audio-visual telemedicine visit. Areas that can be documented include:
- General appearance, nutritional status, diaphoresis
- Eye movement, lids, presence of scleral icterus, facial skin lesions, neck masses or asymmetry
- Level of respiratory effort, use of accessory muscles, audible wheezing
- Neurological – can observe gait, asymmetry or focal weakness, facial asymmetry, presence of normal hearing, tremor
- Mental status examination
- Appearance
- Hygiene: clean, shaven, grooming
- Dress: clean, dirty, neat, ragged, climate appropriate, unusual findings
- Jewelry: rings, earrings, facial piercings
- Makeup: lipstick, nail polish, eye makeup
- Other: prominent scars, tattoos
- Speech
- Slurred or clear
- Rate: fast, slow, latency
- Volume: soft, normal, loud
- Intonations: decreased (monotone), normal
- Behavior
- General: increased activity (restlessness, agitation), decreased activity
- Eye Contact: normal for video wandering gaze, staring
- Mannerisms
- Engagement: cooperative, reluctant, hostile, suspicious
- Thinking
- Thought Processes
- Associations (tight, loosened, circumstantial, tangential, word salad, etc.)
- Thought Content - (delusions, suicidal or homicidal ideation)
- Hallucinations (auditory, visual, olfactory, tactile)
- Mood – stated mood
- Affect – depressed, sad, anxious, euphoric, angry
- Range and stability: full range, labile, restricted, blunted/flattened
- Appropriateness to content and congruence with stated mood
- Memory – ability to recall recent life events
- Insight/Judgment, - understanding of illness and situation, weighing potential actions
- Informed consent: ability to comprehend and verbalize risks, benefits and alternatives of treatment, information and instructions
Take home doses
When programs provide patients with increased take home doses of medication, they should clearly document the rationale for the individual patient. This should include a discussion of the risks and benefits with regards to both their opioid use disorder and COVID-19. The OTP should also regularly document how the patient is responding to increased take home doses and how problems are addressed.
Ensure up to date contacts for staff and patients
During this pandemic, programs will need to have clear channels of communication with both their staff and their patients. Programs should ensure that they have up-to-date information on:
- Emergency contacts for staff and patients: This is important if a patient or staff member exhibit severe symptoms of COVID-19 and need to be sent to the hospital. It is also important if supervisors or OTP management are unable to reach the staff member or patient to be able to check on them as needed. Infection Mitigation in Outpatient Settings
- The established chain of custody protocol for each patient: This is important in case a patient needs to be quarantined for any period of time and the program needs to quickly ensure processes are in place for delivering the patient’s medications to them.
- The best ways to reach each patient: The COVID-19 epidemic is rapidly evolving. Programs need to be able to reach patients to alert them to changes in the schedule, cancelled or moved appointments, changes to procedures when they arrive, or confirmed or suspected cased of COVID-19 to which they may have been exposed.
See ÂÒÂ×ÊÓƵ’s guidance on Infection Mitigation in Outpatient Settings for guidance on protecting and monitoring staff during the COVID-19 crisis.
Essential personnel
The program should clearly define the minimum essential personnel necessary to safely provide patient care. At least one staff member must be on site who can dispense medication doses to patients. According to DEA regulations, this must be a licensed medical provider, or a nurse, LPN, or pharmacist acting under the orders of a licensed medical provider. OTPs should develop a list of authorized dosing personnel and make sure that each of them is adequately trained in dosing procedures. In certain situations, dosing staff may be shared among OTPs – this should be arranged beforehand with inter-operational agreements to assure adequate credentials and training.
In addition to dosing personnel, at least one other staff member must be in the clinic to manage patient flow. Depending on the size and location of the OTP, multiple patient flow and/or dosing staff members may need to be on site.
Medical providers will need to be on site in order to perform intakes for methadone patients. They could also be on call to come in in a timely manner if a patient asking for methadone presents, depending on how far away the medical provider lives from the clinic and the expected number of new patients.
Most other essential OTP functions can be performed via telemedicine. This includes counseling and case management visits, peer specialist contacts, medical follow up visits and buprenorphine initiation for new patients, and the initial exam for initiation of naltrexone.
The program should closely monitor staff availability and have established procedures to address situations in which the minimum coverage cannot be provided.
Staff working from home
In some cases, clinic personnel may be assigned to work from home and at other times the telemedicine connections can be performed from one room to another within the clinic.
All on-site personnel should use PPE to the extent necessary to protect themselves. Those dosing should wear full PPE, as available, especially when performing curbside or car dosing. Based on CDC recommendations for healthcare providers and the extent of community spread of COVID-19 virus in the area, this would include a face mask, face shield, gloves, and a gown.
OTPs should notify their distributors that initially they may be ordering larger amounts of medication than usual – this will help prevent triggering an alert to the DEA for excessive orders. It is prudent to keep on hand additional stocks of medication to last at least 28 days.
In selected cases for patients receiving 14 or 28 days of take-home methadone doses, programs may use dissolvable tablets instead of liquid medication. In this case, the program should work with their distributor to ensure availability.
This crisis could increase the need for naloxone distribution. The program should consider coordinating with local pharmacies and their State Opioid Treatment Authority to encourage pharmacies to keep additional buprenorphine and naloxone on hand.
The unique nature of OTPs requires patients and staff to have face-to-face interactions at a higher frequency than many other treatments. Therefore, OTPs should actively develop protocols to safeguard their patients, staff, and community from spread of Covid-19. See ÂÒÂ×ÊÓƵ’s guidance on Infection Mitigation in Outpatient Settings.
Minimizing risk for COVID-19 transmission may require different processes based on several considerations:
- Clinic size and staffing resources
- County or city-level community resources
- Patient population characteristics.
For example, larger OTPs with more staff may elect to stagger schedules for counseling, nursing, medical, and other staff to provide ongoing coverage of services but minimize the exposure of all staff at one time to possible work-related COVID-19 viral transmission. They may also need to stagger when patients present to clinic, either over the course of the day, week, or month. Smaller OTPs may not have the luxury of staggering staff and may need to consider alternatives. For example, the CDC recommends that “asymptomatic healthcare professionals who have had an exposure to a COVID-19 patient” may continue to work “after options to improve staffing have been exhausted” ( ).
Given widespread transmission of novel coronavirus in most areas of the country, applying a universal precautions approach is reasonable. This means implementing universal screening protocols for patients and staff prior to entering the facility, universal use of face coverings for patients and facemasks for staff, ensuring appropriate physical distancing, and using telehealth strategies to stay connected with established patients as much as possible. (See ÂÒÂ×ÊÓƵ’s guidance on Infection Mitigation in Outpatient Settings).
For local areas where community spread of the virus is contained, shifting to other strategies may be appropriate. This could involve establishing alternating days or separate times of day for patients who are considered at high risk for infectiousness, including those:
- who are not able to physically isolate
- with respiratory symptoms
- recently released from incarcerated settings
- who live in congregate shelter settings.
The other days or time blocks would be reserved for visits by patients who are likely at lower risk of infectious- ness. Alternatively, depending on the layout of the facility, programs may provide separate physical spaces for patients at low vs. high risk of infection, including separate waiting spaces, separate areas for dosing, and separate rooms for clinical encounters.
With increasing use of telehealth and take-home dosing, OTPs may be able to stagger appointments such that they can space out patients six (6) feet apart across OTP waiting rooms, lobbies, and medication dispensing areas. These distances could be marked out with painters’ tape on the floor and chairs placed 6 feet apart.
Ensure that non-methanol containing hand sanitizer is accessible in multiple points throughout the facility and clean frequently touched surfaces often, at least once a day.
Finally, no matter the processes any OTP puts in place to reduce the risk of COVID-19 transmission among patients and staff, the less time a patient spends in face-to-face contact with other persons inside and outside the facility, the lower the risk of COVID-19 viral transmission. This should serve as a guiding principle for continuing OTP operations during the COVID-19 crisis.
- SAMHSA’s TAP 34: Disaster Planning Handbook for Behavioral Health Treatment Program.
- SAMHSA’s COVID-19 guidance for OTPs:
- AATOD Guidance to OTPs in Response to the Coronavirus (COVID-19)
- ÂÒÂ×ÊÓƵ’s COVID-19 Guidance Documents
- Infection control and mitigation strategies in Outpatient Treatment Settings: /Quality-Science/covid-19-coronavirus/infection-mitigation-in-outpatient-settings
- Supporting Access to Telehealth for Addiction Services: /Quality-Science/covid-19-coronavirus/access-to-telehealth
- Adjusting Drug Testing Protocols: /Quality-Science/covid-19-coronavirus/adjusting-drug-testing-protocols
- Promoting Support Group Attendance: /Quality-Science/covid-19-coronavirus/support-group
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1This resource was developed by a Task Force appointed by ÂÒÂ×ÊÓƵ’s Executive Council. To enable more rapid development and dissemination it was not developed through ÂÒÂ×ÊÓƵ’s normal process for clinical guidance development that is overseen by the ÂÒÂ×ÊÓƵ Quality Improvement Council.
CONTENT DISCLAIMER
This Clinical Guidance (“Guidance”) is provided for informational and educational purposes only. It is intended to provide practical clinical guidance to ad- diction medicine physicians and others caring for individuals with substance use disorders during the COVID-19 pandemic as it unfolds. Adherence to any recommendations included in this Guidance will not ensure successful treatment in every situation. Furthermore, the recommendations contained in this Guidance should not be interpreted as setting a standard of care or be deemed inclusive of all proper methods of care nor exclusive of other methods of care reasonably directed to obtaining the same results.
The ultimate judgment regarding the propriety of any specific therapy must be made by the physician and the patient in light of all the circumstances pre- sented by the individual patient, and the known variability and biological behavior of the medical condition.
This Guidance and its conclusions and recommendations reflect the best available information at the time the Guidance was prepared. The results of future studies may require revisions to the recommendations in this Guidance to reflect new data. ÂÒÂ×ÊÓƵ does not warrant the accuracy or completeness of the Guidance and assumes no responsibility for any injury or damage to persons or property arising out of or related to any use of this Guidance or for any errors or omissions.
Patients
If you are a patient or family member or friend in need of immediate assistance:
- Disaster Distress Helpline
Call 1-800-985-5990 or text TalkWithUs to 66746 - National Suicide Prevention Lifeline
Call 800-273-8255 or
About COVID-19 Taskforce Members
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If you have questions related to the guidance in this document or suggestions for additional topics, please email COVID@asam.org
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