| Literature DB >> 35371798 |
Frank Breve1, Jo Ann K LeQuang2, Lisa Batastini3.
Abstract
Hospitals, clinics, and organizations using controlled substances must have policies and procedures in place for disposing of these substances and to avoid potential drug diversion as well as environmental pollution. Challenging, particularly to hospitals, is the ability to dispose of the waste of any number of hundreds of products every day, some of which require specific handling and protocols for safety. Incineration might be appropriate but many hospitals and certainly smaller clinics lack the appropriate facilities. Clinics and facilities that use controlled substances must maintain adequate and detailed records, but individual healthcare systems impose their own specific requirements. Some, for example, require drug disposal to be witnessed. However, recordkeeping systems must be robust and frequently audited to prevent diversion. Most healthcare systems want to dispose of controlled substances in an environmentally responsible way but in addition to federal laws in the United States, most states have their own environmental agencies and may have local regulations. Navigating this system can be complex, and since all regulations are subject to change, it requires vigilance and expertise.Entities:
Keywords: disposal of controlled substances; drug diversion; environmental protection; pharmacology; regulations
Year: 2022 PMID: 35371798 PMCID: PMC8958124 DOI: 10.7759/cureus.22564
Source DB: PubMed Journal: Cureus ISSN: 2168-8184
Organizations, entities, or areas that generate or handle controlled substance waste
| Entity | Areas | Comments |
| Hospitals | Onsite pharmacy, operating rooms, recovery rooms, post-anesthesia care unit, intensive care units, nursing units | Includes academic teaching hospitals, general hospitals, community hospitals, specialty hospitals (cancer, rehabilitation, eye, psychiatric, etc.). Prescriptions written for end-user. |
| Acute care centers | Onsite pharmacy, clinic | Includes emergency rooms of hospitals. Prescriptions written for end-user. |
| Surgical centers | Operating rooms, recovery rooms, post-anesthesia care unit | Includes ambulatory care facilities. Prescription written for end-user |
| Long-term care facilities | Nursing units, medication room storage | Includes skilled nursing facilities, assisted-living facilities, elder or medical day care facilities. |
| Physician offices | Secured, locked cabinets | For on-site treatments. Prescription written for end-user. |
| Dental offices | Secured, locked cabinets | For on-site treatments. Prescription written for end-user. |
| Pharmacies | Controlled substance inventory stored in a safe, in secure locked cabinets, or interspersed among regular drug stock shelves | Stand-alone retail pharmacies, chains, supermarkets, retail outlets, as well as out-patient pharmacies working with a hospital or other clinical organization. |
| Veterinarians | Secured, locked cabinets | For on-site treatments. Dispensing for off-site use. Prescription written for end-user. |
| Medical researchers | Clinical trial investigators, Bench researchers | Controlled substance storage in narcotic safes or in secure, locked cabinets. For on-site research subjects. |
| Narcotic treatment programs | Inpatient treatment, outpatient treatment | Medication assisted treatment (methadone, buprenorphine, benzodiazepines). |
| Behavioral health facilities | Inpatient treatment, outpatient treatment | Controlled substances utilized for psychiatric and medical care of the patient. |
| Hospice | In-home or in-hospital units | Controlled substances used for comfort care, end of life care. |
| Law enforcement | Seizure of illicit drugs, public voluntary returns | Authorized collection receptacles. Collection for supervised destruction. |
| Government agencies | Veterans Administration, Department of Defense | Out-patient and in-patient pharmacies, controlled substance stock kept on nursing units. Prescriptions written for end-user. |
| Pharmaceutical supply chain | Manufacturers, Distributors, Sales Representatives | Warehouse storage and outsourcing. Transportation regulations which conform to chain of custody requirements. Samples for DEA-licensed practitioners |
| Reverse distributors | On-site removal and transfer for off-site destruction/incineration | May interface with transportation companies, transportation regulations |
| Waste management companies | On-site removal and transfer for off-site destruction/incineration | Licensed by DEA, subject to transportation regulations |
| Home patients | Considered end user, dispensed as per practitioner prescription | Home storage, (example: medicine cabinet) |
| Nurses at schools, universities, campus clinics | Medication cabinets | Controlled substances administered to children and students (example: Attention Deficit Hyperactivity Disorder) |
| Funeral homes and mortuaries | Funeral Director office, Preparation rooms | Controlled substances of deceased brought in by family members or identified in the embalming process (example: drug addicts) |
| Medical examiners | Autopsy rooms | Controlled substances identified on corpse during autopsy (example: drug addicts) or in personal belongings |
| Prisons and correctional facilities | On-site pharmacy, Dispensaries | Controlled substances used for inmate, inpatient treatments |
| Emergency medical services | Ambulances, Survival Flight | Controlled substances are supplied in kits for Emergency Medical Technician use |
| Marijuana dispensaries | On-site inventory, variety of marijuana products for sale | Classified as C-I controlled substances and technically illegal under Federal law |
| Academic institutions | Lab areas in Medical Schools, Pharmacy Schools, Dental Schools | Controlled substances are utilized for teaching exercises, experiments, and research activities |
| Municipal health clinics | On-site pharmacy | Controlled substances are somewhat utilized on-site for treatment. Prescriptions dispensed by on-site pharmacy |
| Urgent care centers | Some have on-site pharmacies | Limited prescribing on pain medication |
Federal, state, local, and tribal authorities may have specific rules regarding the wasting of controlled substances. This poses a challenge for the disposal of such substances as these authorities overlap somewhat, guidance is often revised and updated, and it can be difficult to adequately meet all relevant requirements.
CWA: Clean Water Act; EPA: Environmental Protection Agency
Adapted from: Managing Pharmaceutical Waste: A 10-Step Blueprint for Healthcare Facilities In the United States [7]
| Agency | Main Regulations and Overarching Goals | Specific Points of Interest |
| Environmental Protection Agency (EPA) | The Resource Conservation Recovery Act encourages disposal that has minimal environmental impact, promotes take-back events for ultimate users, and sets guidelines for healthcare facilities | Prohibits down-the-drain disposal |
| Department of Transportation | Requires appropriate containment and labeling of hazardous waste during transportation | Rules for appropriate labeling of waste products in transport |
| Drug Enforcement Administration (DEA) | Controlled Substances Act registers those permitted to handle controlled substance disposal | Controlled substances must be rendered non-retrievable, that is, their physical and/or chemical structure must be changed to the point that they are unusable |
| Occupational Safety and Health Administration | Controlling occupational exposure to hazardous drugs | Protects workers from dangerous contact with medical waste, including but not limited to controlled substances |
| State Environmental Protection Agencies | Environmental management on the state level | States may have different and more stringent requirements than the federal government |
| State Professional Licensing Boards | Oversight of professions that utilize controlled substances | Medicine, pharmacy, nursing, dentistry, veterinary, etc. |
| Local Publicly Owned Treatment Works | Operate under the CWA and EPA | Sets standard for pretreatment responsibilities and monitoring requirements |
| Food and Drug Administration (FDA) | Drug Chain Security Act | Traceability of controlled substances |
Figure 1An example of a leading commercially available product for rendering controlled substances non-retrievable and allowable for landfill waste
Photograph courtesy of RxDestroyer™, Burlington, Wisconsin; used with permission.
Practical advice for organizations handling controlled substances.
| Advice | Rationale | Comment |
| Do not allow clinicians access to the controlled substances disposal receptacle if they have a bag, backpack, purse, or another container with them | It is easy to divert a drug at the point of disposal | Drug diversion here is difficult to detect if the clinician documents that the drug is put into the receptacle but then hides it |
| Set par levels of controlled substances at suitable but low levels | Avoid having high volumes of controlled substances available | Large amounts of controlled substances can make it easier to camouflage diversion |
| Controlled substances should be available in low-dose formulations | Using multiple low-dose products prevents waste | Instead of a 10 mg syringe of morphine, 2 mg syringes of morphine can be stocked |
| Reconcile controlled substances frequently | Exposes potential diversion or problems | Investigate as soon as possible; the more time elapses, the harder diversion can be to prove |
| Do not discard vials or syringes with controlled substances in them | If such items must be discarded, draw out the unused controlled substance with a witness present and waste the substance | This step (removing the contents of the vial or syringe) requires the quantity be measured, the event documented, and a witness signing off |
| Audit controlled substance documentation frequently | The longer the interval between removing a controlled substance from inventory and dispensing, the more likely diversion can occur | Compare pain medication dispensing to pain intensity reports and note if pain intensity is higher with one clinician more than others |
| Do not assume that irregularities or such events are proof of diversion | Be mindful and check on these events but use them as a starting point for a conversation rather than an accusation | Investigations may be necessary not just for drug diversion but to assure all staff and hospital administration that the subject of controlled substance diversion is taken seriously |