Submitted by nedragarrett_CDC on
CDC comment on MedicationAdministration Resource
MedicationAdministration Resource
- MedicationAdministration describes the event of a patient consuming or otherwise being administered a medication. This may be as simple as swallowing a tablet or it may be a long running infusion. Related resources tie this event to the authorizing prescription, and the specific encounter between patient and health care practitioner as defined here in Section 11.2 of HL7 FHIR Release 4: https://hl7.org/fhir/R4/medicationadministration.html.
- Examples can be found here: https://hl7.org/fhir/R4/medicationadministration-examples.html.
- Usage notes: The scope of this resource covers the recording of medications and vaccine administrations that are oral, injected, intra-venous within care settings. This includes self-administered medications. This concept is distinct from medication orders, dispensations, and procedures and, to the best of our knowledge and experience with real-world FHIR data, this concept is not currently represented by any other FHIR resource or data element. For additional details, please see Section 11.2.1 of HL7 FHIR Release 4: https://hl7.org/fhir/R4/medicationadministration.html.
- Applicable standard: FHIR v4.0.1 https://hl7.org/fhir/R4/index.html
Narrative or Evidence for inclusion in USCDI v6
In a prior ONC evaluation, MedicationAdministration was evaluated as “applying to a limited number of care settings or specialties, or data element represents a specialization of other, more general data elements”. Additionally, MedicationAdministration was deemed as a specialized use or subset of an existing USCDI v4 data element Performance Time in the Procedures data class of USCDI v4.
Current medication and procedure concepts in USCDI are incomplete representations of medication administration. Alternate FHIR medication data elements do not capture:
- Whether the patient actually received the medication. This is fundamentally different than “ordered” medication in MedicationRequest resource, https://hl7.org/fhir/r4/medicationrequest-definitions.html#MedicationRequest.
- The final dose of the administered medication. This is fundamentally different than the “amount” of the medication in the Medication resource, https://hl7.org/fhir/r4/medication-definitions.html.
- The route of administration of the medication. This is fundamentally different than “dose form” of the medication in the Medication resource, https://hl7.org/fhir/r4/medication-definitions.html#Medication.form.
“Procedure” resource, https://hl7.org/fhir/r4/procedure.html, cannot be relied upon as a representation of medication administration as this does not reflect the reality of the EHR clinical workflow in U.S. hospitals—i.e., “medication” instances are not intended to be captured under “procedure” concepts. In CDC/NHSN’s current use of real-world FHIR data, we have not yet found any evidence that medication administration instances can be reliably identified based on Performance Time in the Procedures data.
“Medication” resource, https://hl7.org/fhir/r4/medication.html, specifies the actual medication, but it does not differentiate between medication requests (i.e., orders), medication administrations, and medication dispense activities, and it does not provide information about when the medication was ordered, dispensed, or administered to the patient.
“MedicationRequest” resource, https://hl7.org/fhir/R4/medicationrequest.html, represents medication orders/prescriptions. Published evidence demonstrates that orders/prescriptions are not accurate or sufficient representations of the medication ultimately received by the patient.1 A medication request represents a clinician’s order or a prescription. It is distinctly separate from administration activities, as the medication administered can have differences from the order. This occurs because medication orders can be changed, cancelled, or never administered, thus orders do not reflect actual medication exposure.
MedicationAdministration is a required resource for reporting of FHIR digital quality measures (dQMs) to CDC/NHSN. The CDC/NHSN dQMs that require MedicationAdministration will adhere to the reporting framework requirements in the balloted HL7 NHSN dQM Reporting Implementation guide (IG), https://hl7.org/fhir/us/nhsn-dqm/2024SEP/index.html. CDC’s National Healthcare Safety Network has balloted an HL7 that defines the framework for reporting FHIR dQMs. The CDC/NHSN dQM Content IG that will follow this IG points to specific use cases where MedicationAdministration is a required resource to support national public health surveillance and patient safety efforts. This HL7 NHSN dQM Reporting IG was tested during the May 24, 2024, HL7 FHIR Connectathon and Working Group Meeting: https://confluence.hl7.org/display/FHIR/2024+-+05+NHSN+dQM+Reporting. Selected data elements within the MedicationAdministration resource will be “required” or “must support” as part of requirements to report digital quality measures to CDC/NHSN: https://www.cdc.gov/nhsn/fhirportal/about.html.
MedicationAdministration is in now required as part of real-world implementation use cases across U.S. hospitals and being requested for national public health surveillance use cases from different EHR vendors (e.g., Epic, Oracle/Cerner, Altera, Meditech). NHSN and U.S. hospitals are currently undertaking Production (real-world) implementations of FHIR digital quality measures for which this Resource is required to calculate patient safety metrics, including healthcare-associated infections and adverse drug events, and to support pandemic preparedness as described here: https://www.cdc.gov/nhsn/nhsncolab/index.html: https://academic.oup.com/jamia/advance-article/doi/10.1093/jamia/ocae064/7639052. While we know of one EHR vendor voluntarily supporting exposing the MedicationAdministration resource and able to successfully exchange these data with NHSN, other vendors do not. This creates a disparity among U.S. hospitals in data reporting and does not allow for accurate national enumeration and benchmarking of patient safety events. The MedicationAdministration resource is required for data exchange for numerous use cases across Department of Health Human Services agencies, including CDC, CMS, and FDA:
https://hl7.org/fhir/us/nhsn-dqm/2024SEP/index.html.
https://build.fhir.org/ig/HL7/fhir-icsr-ae-reporting/branches/main/index.html
CDC requires MedicationAdministration data as part of reporting FHIR digital quality measures (dQMs) to CDC/NHSN. NHSN FHIR dQMs currently utilize the US Core 3.1.1 standard, which, along with all current US Core versions, does not include MedicationAdministration. In addition to US Core, NHSN dQMs leverage the MedicationAdministration profile requirements defined in HL7 quality measure standards, including Da Vinci DEQM 3.1.0: https://hl7.org/fhir/us/davinci-deqm/STU3.1/ and QI Core 4.1.1: https://hl7.org/fhir/us/qicore/STU4.1.1/ to evaluate data.
Medication exposure happens across the full spectrum of U.S. healthcare—ambulatory care, acute care, long-term care, surgical care, and numerous other healthcare settings. The importance of enumerating medication exposure across outpatient and inpatient settings was well-highlighted during the 2020 COVID-19 pandemic, during which challenges emerged in reporting of COVID-19 medication data to state and federal public health agencies limited our understanding and mitigation of the pandemic. Additionally, the lack of medication administration data presents a substantial challenge to CDC and jurisdictions in responding to healthcare-related outbreaks, where improper use of medications is often implicated in multi-state outbreaks.
Submitted by jaylyle on
Difficulties with the Medications requirement reflected in specs
We on the HL7 C-CDS-to-FHIR mapping project observe difficulties with the Medications requirement reflected in specifications.
USCDI specifies "medications" at both the element and class levels as "Pharmacologic agent used in the diagnosis, cure, mitigation, treatment, or prevention of disease."
This seems like a valid definition at the element level, but the class should represent an association between one of these pharmacologic agents and a specific patient. The inclusion of dose and instruction imply that this is the intended definition.
a. Change the name of the class to reflect its difference from the element (e.g.,"Patient Medication"). It should include known patient medications that are active or recently discontinued or expired, whether ordered by the responding system or not, and whether there is an actual record of administration or not.
b. Ensure that the requirement is stated clearly enough to resolve existing difficulties in specifications. Currently, CDA semantics distinguish between intended and actual administrations but leave ongoing orders unaddressed. FHIR semantics suggest a distinction between requests and statements that is supplanted in US Core.