The Department of Health (DOH) licenses and regulates healthcare professions and facilities in Washington State. Under current law, practitioners that have prescribing authority include licensed physicians, physician assistants, osteopaths, optometrists, dentists, podiatrists, veterinarians, nurse practitioners, naturopaths, and pharmacists.
Opioids include prescription pain medications, heroin, and synthetic opioids such as fentanyl. An excess amount of opioid in the body can cause extreme physical illness, decreased level of consciousness, respiratory depression, coma, or death. Opioid overdose reversal medications, such as Narcan, Naloxone, and Evzio, can be administered to an individual experiencing an opioid overdose to rapidly restore normal breathing. These medications may be injected intravenously in muscle, or sprayed into the nose.
Opioid reversal medication is defined in law as any drug used to reverse an opioid overdose that binds to opioid receptors and blocks or inhibits the effects of opioids acting on those receptors. It does not include intentional administration via the intravenous route.
The bill as referred to committee not considered.
A hospital must provide a patient with opioid overdose reversal medication upon discharge, unless the provider deems in to be clinically inappropriate to do so, if the person presents with symptoms of an opioid overdose, opioid use disorder, or other adverse event related to opioid use in an emergency department or medical floor of the hospital. The medication may be dispensed using technology used to dispense opioid medications. Effective January 1, 2022, the hospital must provide information and resources to a person who receives the medication prepared by the Health Care Authority about medication for opioid use disorder, harm reduction strategies, and services which may be available such as substance use disorder treatment and peer counselors. The information should be provided in all languages relevant to the community which the hospital serves.
All community behavioral health system providers must confirm that each client who presents with symptoms of an opioid use disorder or who reports recent use of opioids outside of legal authority has opioid reversal medication. If the client does not, they must prescribe an opioid reversal medication to the client, or use the statewide Naloxone standing order to assist the client in directly obtaining opioid reversal medication, by directly dispensing, partnering with a pharmacy, or other means. The times when this requirement applies are at intake, discharge, during an outpatient treatment plan review, and when the provider learns that the client has used their supply of opioid overdose reversal medication or otherwise believes based on clinical judgment that it is appropriate to provide the medication. The provider must bill the client's insurance to the extent possible.
The Health Care Authority (HCA) must provide technical assistance to hospitals and community behavioral health agencies to assist them in complying with this act. In doing so, HCA must collaborate with the DOH and the Office of the Insurance Commissioner.
Hospitals and community behavioral health providers must bill the patient's insurance to the extent possible to receive reimbursement for dispensing or assisting with opioid overdose reversal medication. Medicaid, including managed care plans, must reimburse providers for opioid overdose reversal medication dispensed by a hospital and billed on a medical claim for Medicaid members. Labelling requirements are waived for opioid overdose reversal medication dispensed under this act, but directions for use must be provided.
Violations of requirements relating to dispensing opioid overdose reversal medication in hospitals are not considered unprofessional conduct and shall not be subject to disciplinary action by the Department of Health.
The committee recommended a different version of the bill than what was heard. PRO: There are 131 Americans that die every day from an opioid overdose. Over the last 20 years, over 450,000 people have died for this reason. This is a public health emergency, and we have life-saving medication which can reverse this crisis. Unfortunately, not enough people have the medication who need it. We currently pay to give Naloxone to people who are Medicaid eligible using flexible federal funds, instead of using their Medicaid prescription benefit, which ties up funds that could be deployed for other purposes. The goal is to save lives; we are not succeeding where we should. COVID-19 has made support groups that people rely on less effective or out of reach for many, despite digital tools, which not everyone can access because of poverty. Fatal ovedoses have spiked in the previous year. Opioid overdoses are preventable and reversible. Making Naloxone kits part of the discharge process in Washington State would save countless lives. I woke up in the ER in 2017 to find out I had been in a coma for five days after overdosing on heroin. Naloxone saved my life. As a person in recovery and have had more than one overdose experience, two doses of Naloxone were required to save my life when the paramedics arrived. Now I have 18 months in recovery and another chance at life and motherhood. My son was so ashamed of his addiction he would never fill a prescription for Naloxone. He overdosed without access to Naloxone and died. Recovery is possible. If we make opioid reversal medication more easily accessible we will save more lives. In 2020, 531 people lost their lives due to overdose deaths in King County, 100 more than in the previous year, a three-fold expansion of the rate of increase. The trend is continuing in 2021. Two thirds of overdoes would have been reversible with Naloxone. The tools are there but we are not implementing them. Only 38 out of over 10,000 Medicaid clients with opioid use disorder attempted to fill a prescription for Naloxone last year. People need to leave care with Naloxone, not just a prescription for Naloxone. Providers tell us you have to put the drug in people's hands or they will not get it. We need your help. We cannot allow bureaucratic and administrative barriers to stand in the way of saving the lives of our most vulnerable citizens. My brother died of an overdose and could have been saved by Naloxone.
OTHER: We agree with the concept but have concerns how to make the bill work. Not all hospitals can dispense drugs, because they do not have pharmacy resources. We have not confirmed that Medicaid will reimburse for Naloxone as a take-home medication because of a three-day dose requirement, and there might be a need for a waiver. These questions should be answered before adopting a mandate. Some hospitals try to provide Naloxone but it is a patchwork approach and reimbursement is often not available. Emergency departments may not know which clients have an opioid use disorder; they would have to do an assessment which is difficult. Substance use disorder peers are not widely available or available outside of the Medicaid program. We have concerns about legislating the practice of medicine. We see several hundred overdoes per year in our pharmacy; we did not get reimbursed last year for Naloxone prescriptions except for two occasions. Not all hospitals have adequate resources to absorb the costs. There might not be access to sufficient supply of the medications. The logistics of how to determine when clients have access to Naloxone are confusing. Referrals to substance disorder peers specialists are not as straightforward as they seem. The billing requirements seem overly prescriptive. Billing processes and entities change over time. This mandate would require additional staff and would have a financial impact.