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What You Should Know about Gifts to Physicians from Industry Module 1: Overview of Ethical, Professional, and Legal Iss

What You Should Know about Gifts to Physicians from Industry Module 1: Overview of Ethical, Professional, and Legal Issues Authors Karine Morin, LLM Jacqueline M. Darrah, JD, MA

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What You Should Know about Gifts to Physicians from Industry Module 1: Overview of Ethical, Professional, and Legal Iss

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  1. What You Should Know about Gifts to Physicians from IndustryModule 1:Overview of Ethical, Professional, and Legal Issues

  2. Authors • Karine Morin, LLM • Jacqueline M. Darrah, JD, MA • In collaboration with the Working Group for the Communication of Ethical Guidelines for Gifts to Physicians from Industry and its Educational Advisory Committee chaired by R. Van Harrison, PhD. University of Michigan School of Medicine. (See http://www.ama-assn.org/ama/pub/category/8405.html for information about the Working Group) • Reviewers for this module included AMA staff, Working Group on Communication of Ethical Guidelines for Gifts to Physicians from Industry, and Kenneth V. Iserson, M.D., MBA, Director, Arizona Bioethics Program, University of Arizona. • Project Manager: Beverley D. Rowley, Ph.D. Medical Education and Research Associates, Inc. Tempe Arizona • Disclosure of Conflict of Interest • There are no conflicts to disclose from faculty, module authors, or members of the planning committee. • The content of this CME publication does not contain discussion of off-label uses. American Medical Association

  3. Disclosure of Conflict of Interest • Insert name and affiliation(s) of presenter American Medical Association

  4. Why the Increased Scrutiny? • Three key factors have prompted the medical profession to carefully consider the interactions between physicians and industry: • Media reports • Drug costs • Direct-to-consumer (DTC) advertising American Medical Association

  5. Quick Questions • Q1: How do the media present pharmaceutical industry practices? • Q2:Is the cost of drugs related to their promotion? • Q3:Does DTC advertising have an impact onprescribing habits? American Medical Association

  6. Module Goals and Objectives • To introduce general concepts related to professionalism, ethics, and the laws that pertain to physician-industry relations • To understand how these various factors are distinct or overlap, and to understand how they influence the interactions between physicians and industry • To analyze specific types of interactions between physicians and industry according to these factors American Medical Association

  7. Note • Laws are in constant evolution, as are the underlying precepts of professionalism and medical ethics. Federal agencies are constantly updating their regulations and providing interpretive guidance concerning the pharmaceutical industry and its relationship with physicians. As enforcement policies evolve or regulations change, taking any gift intended to affect prescribing may be defined as a bribe or kickback and may entail legal difficulty. Every physician should be aware of both current laws and ethical guidelines, and should consult with qualified legal counsel. American Medical Association

  8. Topic 1: Professionalism, Commerce, and Conflicts • This topic addresses: • Fundamental differences between professionalism and commerce in medical care • Issues related to conflicts of interest American Medical Association

  9. A Physician An Industry Representative Physician vs. Industry Representative In healthcare, what are the differences between physicians and industry representatives? American Medical Association

  10. A Physician Uses knowledge for altruistic purposes, highly valued by society Is granted a large degree of freedom by society Is regulated through a professional code of conduct Has an obligation to provide impartial medical care that will benefit patients or promote public health Has extensive scientific and medical training and expertise Is trained to objectively analyze medical information Has a lifetime commitment to education and training An Industry Representative Uses product-specific, generally proprietary knowledge for profit Is self- and government-regulated Engages in a for-profit, commercial activity May have latest or detailed information on new agents, trials, treatment strategies, but… May lack or be unable to disseminate relevant scientific knowledge due to restrictions (e.g., cannot discuss off-label applications) Is trained to provide specific information about a product, often through promotion and advertising Physician vs. Industry Representative In healthcare, what are the differences between physicians and industry representatives? American Medical Association

  11. Informationamong Medical Peers Promotional Information Medical vs. Promotional Information What are the differences between general healthcare information and promotional information? American Medical Association

  12. Informationamong Medical Peers Balanced in terms of positive and negative content Unregulated Intended to facilitate good patient care Promotional Information Biased in terms of most advantageous content Highly regulated by government agencies Intended to increase sales Medical vs. Promotional Information What are the differences between general healthcare information and promotional information? American Medical Association

  13. Medical vs. Promotional Information • In the dissemination of information, physicians and industry… • a) share the same needs • b) have some needs in common • c) have only conflicting needs American Medical Association

  14. Medical vs. Promotional Information • In the dissemination of information, physicians and industry… • … have some needs in common. • As a market-driven entity, the industry may have certain goals in disseminating information that do not perfectly overlap with healthcare’s need for medical information. American Medical Association

  15. Conflicts of Interest • What are the key underlying issues? • A referee who is the parent of a player • Politicians required to disclose sources of funding • Integrity of TV ad testimonials • Commissions for boosting sales • Physicians disclosing sources of funding American Medical Association

  16. Judge  Lawyer MD  Representative Gift-Giving – Quick Case 1 What is the impact of gift-giving on relationships between the following? American Medical Association

  17. Judge  Lawyer Lawyer represents client Lawyer and client interests are aligned Gifts from lawyer may influence judge’s decision Severe sanctions can be imposed MD  Representative Representative represents product and company Interests of representative may not align with interests of patients Gifts from representative may influence MD’s decision Until recently, only egregious instances sanctioned, but now there is increased scrutiny Gift-Giving – Quick Case 1 What is the impact of gift-giving on relationships between the following? American Medical Association

  18. Gift-Giving – Quick Case 1 What is the impact of gift-giving on relationships between the following? A judge and a lawyer vs A physician and an industry representative • To maintain the same level of integrity and independent decision-making as that expected of a judge, physicians must ensure that they maintain an impartial relationship with industry representatives – free of any influences. American Medical Association

  19. Conflicts of Interest • In each case there is the potential for: • dual loyalties • subjectivity in conflict with objectivity • varying accountability American Medical Association

  20. Fiduciary Characteristics • A fiduciary is one who: • holds a specialized knowledge or expertise • holds the trust of others • is held to high standards of conduct • avoids conflicts of interest • does not seek personal gain • is objective • is accountable or obligated (ethically and legally) How many of these characteristics apply to physicians? All of the characteristics should apply to a physician. Therefore, a physician is, in effect, a fiduciary, and should avoid conflicts that could undermine patient care. American Medical Association

  21. Avoiding Conflicts of Interest • When you have a conflict, potential conflict, or perceived conflict of interest, the best action is to… • a) avoid the conflict • b) disclose the conflict • c) mitigate the conflict • d) all of the above American Medical Association

  22. Avoiding Conflicts of Interest • When you have a conflict, potential conflict, or perceived conflict of interest, the best action is to… • …consider all options, including consulting legal counsel, if it appears that a conflict of interest could undermine the integrity of judgment in the evaluation or presentation of scientific data, or the integrity of a medical recommendation in the clinical setting. American Medical Association

  23. Primary Interest Patient welfare Developing new medical knowledge Secondary Interest Personal gain Financial reward Peer recognition Primary and Secondary Interest What are examples of primary and secondaryinterests in healthcare? Gifts to physicians can interfere – or be perceived as interfering – with the fiduciary relationship between a physician and a patient, creating a possible conflict of interest. To avoid this, a proactive position on gifts to physicians can help mitigate or avoid conflicts of interest altogether. American Medical Association

  24. Conflicts of Interest – Quick Case 2 • While evaluating a new type of scanner for a clinic, one of the manufacturers of the scanner being considered offers to fly the physician doing the assessment to a training center in a distant resort area for two days with all expenses paid. • What are the possible conflicts in this offer? American Medical Association

  25. Conflicts of Interest – Quick Case 2 • While evaluating a new type of scanner for a clinic, one of the manufacturers of the scanner being considered offers to fly the physician doing the assessment to a training center in a distant resort area for two days with all expenses paid. • What are the possible conflicts in this offer? • Will this offer assist the physician in choosing the best scanner for the clinic? • Will the physician’s knowledge of competitive products be similar? • How may the objectives of the manufacturer conflict with those of the physician? • Will training be the only activity? American Medical Association

  26. Conflicts of Interest – Quick Case 2 • What could be done to ensure there are no conflicts of interest? • The physician could: • accept training only after a supplier has been chosen • clarify that the training schedule and agenda are appropriate for the physician’s objectives • arrange transportation, lodging, and meals at own expense American Medical Association

  27. Professionalism, Commerce, and Conflicts Summary • To maintain the appropriate balance between “profession” and “commerce” of healthcare, physician-industry interactions should: • ensure the integrity of the physician-patient relationship • promote patient welfare • avoid any actual or apparent conflicts of interest American Medical Association

  28. Topic 2: Relevant Laws • This topic addresses three general legal issues regarding gifts: • Fraud • Kickbacks • Self-referral American Medical Association

  29. The Law In General Fraud • Government laws regarding fraud address financial issues: • filing false claims • paying or soliciting for or receiving bribes or kickbacks for referrals • self-referral schemes American Medical Association

  30. Fraud • False claims Billing for goods or services for which reimbursement claims were filed, but which were not provided, or were not provided or billed in accordance with relevant rules American Medical Association

  31. Fraud • False claims Billing for goods or services for which reimbursement claims were filed, but which were not provided, or were not provided or billed in accordance with relevant rules • 2. Bribes or kickbacks Payments from a seller back to the buyer to induce a referral or purchase, including fee-splitting American Medical Association

  32. Fraud • False claims Billing for goods or services for which reimbursement claims were filed, but which were not provided, or were not provided or billed in accordance with relevant rules • 2. Bribes or kickbacks Payments from a seller back to the buyer to induce a referral or purchase, including fee-splitting • 3. Self-referral schemes Physicians who have a financial relationship with a provider of designated healthcare services who refer Medicare or Medicaid patients to such providers American Medical Association

  33. Fraud • Unethical relations with industry… • A pharmaceutical company marketing a prostate cancer drug agreed to an out-of-court settlement of approximately $875 million in criminal penalties and damages under the False Claims Act. • This was in relation to practices considered improper, such as manipulating drug reimbursement regulations; providing improper incentives to physicians that influenced ordering of the drug; and violating FDA prohibitions on the sale of free drug samples. American Medical Association

  34. Fraud • Unethical relations with industry… • Although public attention focused on the fraud aspect, the inappropriate inducements between manufacturers and physicians led to the prosecution of physicians. American Medical Association

  35. Kickbacks Anti-Kickback Laws and Gifts • In general, the law prohibits individuals from knowingly and willfully soliciting or receiving, as well as offering to pay any remuneration, in return for or to induce: • referral of an individual to a person for the furnishing(or arranging for the furnishing) of any item or service… • purchasing, leasing, ordering (or arranging for, or recommending purchasing, leasing, or ordering) any good, facility, or item… • …covered by a federal healthcare program. American Medical Association

  36. Kickbacks Anti-Kickback Laws and Gifts • In August 1994, the Office of Inspector General (OIG) issued a Special Fraud Alert regarding suspicious behavior, such as: • marketing practices that appear to extend beyond traditional advertising or educational activities • certain arrangements that could undermine providers’ obligation “…to provide treatments and recommend products in the best interest of patients” American Medical Association

  37. Kickbacks Anti-Kickback Laws and Gifts • A gift would be considered in violation of theanti-kickback statute if it is… • made to a person in a position to generate business for the paying party • related to writing specific prescriptions • related to the volume of business generated • more than nominal in value and/or exceeds fair market value (of any legitimate service rendered to the payer) • related to the referral of patients American Medical Association

  38. KickbacksAnti-Kickback Laws and Gifts • Before accepting a gift or any other financial benefit from a pharmaceutical or medical device company, a physician should consider the following questions: • Is the gift/reward/payment conditioned in whole or in part on referrals or other business generated? • Is the gift/reward/payment more than trivial in value? • Do fees for services exceed fair market value? • Does the gift/reward/payment have the potential to affect costs to any federal health care programs or their beneficiaries or to lead to over utilization or inappropriate utilization? • Would acceptance of the gift/reward/payment diminish, or appear to diminish, the objectivity of professional judgment? • If the answer to any of these questions is “yes”, then a potential legal concern arises. American Medical Association

  39. Self-Referral Anti-Self-Referral Laws and Gifts • If a physician has a financial relationshipwith an entity: • The physician may not make a referral to the entity for the furnishing of designated health services for which payment otherwise may be made under a federal health program • The entity may not present or cause to be presented a claim to any individual, third-party payer, or other entity for designated health services furnished pursuant to a referral prohibited by this law [42 USC §1395nn(a)(1)] American Medical Association

  40. Relevant Laws Summary • To ensure compliance with laws addressing kickback and self-referral, physicians should be familiar with the specific language of any relevant federal and state statutes, as well as any applicable exceptions. • It is always advisable to seek qualified legal counsel. • The role of the FDA in issues related to physicians and industry representatives is addressed in Module 2: Physicians’ Expectations of Industry and Sales Personnel. American Medical Association

  41. Topic 3: Consulting • This topic addresses fundamental ethicsand guidelines regarding: • Consulting for industry • Conducting research for industry • Speaking or writing on behalf of industry American Medical Association

  42. Law Specific description of professional services Written agreement for services (more than one year) Compensation established in advance Fair market value compensation Compensation independent of value or volume of referrals paid by federal or state healthcare Reasonable to accomplish intended purpose of the agreement Does not otherwise violate federal or state law PhRMA Code Legitimate need for the services identified Selection of consultants directly related to the identified purpose Appropriate use of services provided Written contract specifies nature of services Specified basis for payment Appropriate venue and circumstances of any meeting Consulting Service Agreements How is legitimate consulting defined in law and the PhRMA Code? American Medical Association

  43. Consulting – Quick Case 3 • Physicians are invited to a one-day consultants’ forum sponsored by a pharma company at a luxury hotel. Their opinions will be solicited on issues surrounding the management and care of patients with disease X and on a product’s marketing plan and positions. • The afternoon is free with tickets provided to the ball game and a gourmet buffet with open bar. Air transportation and hotel accommodations are covered, and participants will receive a $500 honorarium. • Are the physicians acting as true consultants? American Medical Association

  44. Service Legitimate need of service? True exchange of professional services? Appropriate use of specified services? Contract Written contract or agreement? Services specified in contract? Compensation specified in contract? Compensation Specified basis for compensation? Fair market value compensation? Compensation established in advance? Other Considerations Appropriate meeting venue? Appropriate reason to meet? Independent of referral value or volume? Consulting – Quick Case 3 Arethe physicians acting as true consultants? American Medical Association

  45. Consulting – Quick Case 3 Arethe physicians acting as true consultants? • Exchange of professional services is vague • No specific criteria determining the selection of consultants • No clear objective to the session • Honorarium assumed to be fair market value and set in advance • However, the absence of a contract, and the appropriateness of the venue and some of the activities, all shed doubt on the legitimacy of the activity. American Medical Association

  46. Compensation – Quick Case 4 • Some physicians are demanding that drug company sales personnel pay for the physicians’ time. • Would “dollars for detail” be considered ethical according to government orindustry regulations? American Medical Association

  47. Compensation – Quick Case 4 • Some physicians are demanding that drug company sales personnel pay for the physician’s time. • Would “dollars for detail” be considered ethical according to government orindustry regulations? • In a detail visit, physicians rarely provide a service – they are the recipients of information. • Therefore, the AMA’s Council on Ethical and Judicial Affairs recently stated that accepting compensation for a detail visit was inappropriate. American Medical Association

  48. Conducting Research for Industry Guidelines • Physicians who participate in industry-sponsored research should ensure: • integrity of research and protection of human subjects • sound medical judgment is not influenced by third-party interests • compensation is related to services performed • compliance with ethical guidelines on potential conflicts of interest • adherence to funding, review, or publishing disclosure requirements American Medical Association

  49. Research – Quick Case 5 • Interested primary care physicians are invited to join a consultant program involving an educational conference on a common clinical condition. Each physician is asked to enlist 10 patients to participate in a clinical monitoring program that does not advocate any preferred pharmaceutical product. • Physicians also participate in two teleconferences to help educate colleagues. An honorarium of $200 is paid for each of the two-hour teleconferences. • What does or does not qualify this arrangement as • bona fide consulting? American Medical Association

  50. Bona Fide Compensation specified in advance Fair market value No value or volume of referral Questionable Vague specification of professional services Questionable scientific basis of clinical monitoring program No evidence of Institutional Review Board approval No written or executed contract Unspecified period [<1 year?] Legitimate need for services not identified Nonspecific physician selection criteria Appropriate use? unknown Appropriate venue? unknown Research – Quick Case 5 What does or does not qualify this arrangement asbona fide consulting? American Medical Association

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