Dr Gaveen Jayarajan has taken the time and effort to write this excellent submission to the Royal Commission into Aged Care Quality and Safety. I think this is a great start and support it. I have made the following suggestions – and would be very keen to hear more.
Key recommendation 5 – I would recommend RACFs adopt an EMR which can accept EMR notes from GP EMRs Sachin B Patel is the man in regard to this
19 January 2019
Doctors in Aged Care Facebook Group Submission to the Royal Commission into Aged Care Quality and Safety
‘Systemic Changes to Improve Quality and Safety’
The ‘Doctors in Aged Care’ Facebook group was started in September 2017 as a closed Facebook group for all doctors in Australia working in residential aged care facilities (RACFs) or with an interest in aged care. Its purpose is for doctors to discuss, share knowledge and experience, and seek advice about the clinical, administrative and financial aspects of working in aged care.
It has since grown rapidly to 1100 members and includes General Practitioners (GPs), geriatricians, psycho-geriatricians, palliative care physicians and other specialists and junior doctors. Many of these doctors are working at the coalface of aged care on a regular basis and have a unique perspective and insight on the issues faced by RACFs.
Our key focus in this submission are systemic changes from a GP perspective that will improve both quality and safety in RACFs. One consistent theme throughout our submission is the need for better oversight, communication between facility nurses and GPs and engagement with family members. While we also support mandated minimum nursing staff ratios with more Registered Nurses (RNs) employed, improved clinical handovers and other issues such as improving dietary quality and options for residents, for the purposes of this submission we will focus on the following five key areas:
GP input into the clinical governance of RACFS
GP feedback at accreditation visits
GP involvement in case conferences with families
Uptake of full Electronic Health Records within RACFs
Recognition of significant amount of unpaid work
GP input into the clinical governance of RACFs
We believe there should be greater GP input in the clinical governance of RACFs given that residents are being admitted at an older age and with more chronic and complex medical conditions. We believe that GP involvement will provide another level of oversight of clinical and care issues that may impact on quality and safety. This is to complement (not replace) existing strong clinical leadership of experienced RNs working within RACFs on a day-to-day basis and to foster a greater understanding and engagement between facility nurses and GPs at a systems level. This at present exists to some degree in Medication Advisory Committee (MAC) meetings held at some RACFs where all issues relating to medication management are discussed within a multidisciplinary team which can include nurses, pharmacists and one or more GPs.
We propose that this either be expanded in scope or a separate committee be created such as a “Clinical Governance Committee” that includes a multidisciplinary team dedicated to open discussion of all clinical governance issues faced by an RACF at a local level. This could consist of nursing staff and carers as well as other healthcare providers such as a physiotherapist, occupational therapist, speech pathologist, dietician, pharmacist and GP. Meetings could be held quarterly and attendance by healthcare providers should be funded by the RACF at a time-based hourly rate commensurate with the providers’ training and experience. Attendance at these meetings could be in person or by phone or videoconference. Outcomes and actions from such a committee should be fed back to the senior management of the broader RACF group for implementation at a local level.
KEY RECOMMENDATION 1
Formation of local “Clinical Governance Committees” at each RACF with direct feedback of outcomes and actions to senior management of the RACF.
GP feedback at accreditation visits
The current experience of many GPs when a facility is undergoing an accreditation visit by the Australian Aged Care Quality Agency is that feedback is rarely sought from them about their perspective on how the RACF is meeting quality and safety standards. We believe that it should be mandatory for accreditors to get feedback from all visiting GPs to get a broad perspective on all clinical and administrative issues faced by these GPs working at the RACF, and in particular how these issues may be impacting on quality and safety. This could be through either face-to-face or phone contact and should occur at the start of the accreditation period and also when changes have been made to assess any improvements from the GP perspective. We do not believe that GPs need to be paid for this, as most would happily provide constructive feedback if it were likely to improve their experience of providing care and it would ultimately benefit the care of their patients.
KEY RECOMMENDATION 2
Accreditors to obtain feedback from GPs at their visits (initial and follow up).
GP involvement in case conferences with family
Currently GPs are able to bill through Medicare for up to five case conferences per year if clinically indicated with the amounts received dependant on: the duration of the conference; whether the GP organises and participates in the conference; or just participates in a conference that has been organised by someone else.
If the duration of the conference is greater than 40 minutes and it was organised by the GP (ie. item 743) they would receive $201.65 from Medicare plus $6.30 if the patient is eligible for the bulk-billing incentive (item 10990), so $207.95 in total. Hypothetically if this happened 5 times per year this would generate up to $1039.75 in billings per patient per year which is quite substantial. Currently we believe the majority of GPs working in aged are not utilising these item numbers sufficiently and if they did, or if it was easier to do so, it would not only dramatically improve the financial viability of GPs working in aged care, it would also have significant positive impacts on patient safety and quality due to the benefits of having a multidisciplinary team discussing patient care.
We believe it should be mandatory for all new residents of RACFs to have a case conference soon after admission within 6 weeks, and for this to involve nursing staff, a carer, the family and the GP as a minimum, with other allied health staff depending on the clinical and care needs of the resident (and resident attendance optional and depending on their cognitive status). This is an excellent time to set the scene for how the resident’s care is to be managed going forward and also to discuss Advance Care Directives (ACDs) regarding a resident’s end-of-life wishes. These discussions are often not done in a timely fashion or done over the phone with family where there is no remuneration for the GP for this time and work. Ideally this type of case conference should be done annually thereafter and be a focal point for the resident’s annual care plan.
Currently we note that these conferences are done to varying degrees. Some RACFs facilitate conferences as described above, others facilitate conferences with the family but not the GP and others facilitate conferences with two or more facility staff but without the family or the GP. We believe “admission” case conferences and “annual” case conferences should be done with all present to give the maximum benefit to the patient and all healthcare providers providing care to the patient. We also note that case conferences do not require all members to be present in person, so one or more participants may be involved by phone or videoconference, therefore there is flexibility in how these conferences can be scheduled and run.
We note that while GPs can also organise these case conferences with RACFs themselves this requires buy-in to do so from facility staff, thereby making it harder to schedule and arrange.
KEY RECOMMENDATION 3
Mandatory admission case conference for all new residents followed by an annual case conference thereafter utilising existing Medicare item numbers.
Additional case conferences (either organised by the GP or another party) should be based on clinical indication and we believe that GPs should be invited to participate in all of these conferences (assuming they haven’t organised it themselves) with the patient/family consent. Often case conferences are held by RACFs with families with no GP invitation or input. We consider that there is significant benefit to patient safety and care in having the GP involved and engaged with family members in this way. We also note that this is a remunerated way of staying in regular contact with family without resorting to unpaid phone calls, emails or discussions without the patient present thereby again improving the financial viability of GPs working in aged care.
For these “additional” case conferences we believe the Medicare Benefits Schedule (MBS) rules need to be reviewed to make it easier for GPs working in RACFs to utilise these more frequently. Currently three different healthcare providers need to be present at a conference, either in person or via video/teleconference, in order to meet the MBS rules. These healthcare providers can include a GP plus two other different healthcare providers such as a facility nurse and carer and cannot include family members. Firstly, it is not always easy to find the two other different healthcare providers due to everyone’s own day-to-day work commitments. Secondly, we believe most case conferences would benefit from family involvement. Therefore we propose that for these additional case conferences they only require a GP plus one other healthcare provider (not two, but still allow two or more if necessary) plus a family member, so still three different people, but allow the family member to be part of the three.
KEY RECOMMENDATION 4
GP invitation and involvement in additional case conferences held during the year as clinically indicated, with amendment to Medicare item numbers to facilitate increased utilisation.
Uptake of full Electronic Health Records within RACFs
In our experience there are several inefficiencies and risks to the GP and patients associated with RACFs that still have solely or predominantly paper-based patient records. Paper records can be hard to read and take nursing staff longer to enter. Furthermore, only one person can read and enter notes at a time. Clinical information is also often spread across multiple folders separate to the patients record, for example some maybe in the nurses’ station, others in a medication room or at the patient’s bedside. It makes providing adequate oversight much harder to do, which we believe is a major issue in RACFs. It also makes it harder for senior nursing staff, clinical care managers as well other healthcare providers including GPs to monitor clinical issues and care provided to a resident remotely and without being physically where the relevant paper folders are.
We note that there are RACFs who have moved to almost full electronic health records for clinical, care, medication management and administrative functions and the efficiencies this provides and the benefits to improving quality and safety are significant. In particular these benefits are greater if the records are cloud-based, which allows for access from any device and web browser. We also note that other RACFs use a hybrid system where some records are electronic and other aspects remain on a paper-based system. Others remain in a completely paper-based system.
The benefits of full electronic health records are significant, for example the GP can be at the bedside of the patient and pull up all the information they need to make any clinical decision at the point-of-care when they need it the most, without spending time chasing up the various folders in different locations. Any gaps in the information required can be seen instantly with a quick scan of the relevant sections in the electronic record. This can also be fed back to facility nurses to ensure compliance with GP clinical and care directives.
KEY RECOMMENDATION 5
All RACF providers to move to full electronic health records , with a preference for cloud based software, for their residents within 2 years.
Recognition of significant amount of unpaid work
One recurring theme among GPs working in aged care is the vast amounts of unpaid work required. This comes about as GPs usually attend a facility approximately once a week and for the remainder of the week may work in their usual practice. During this time they still need to be on-call and available by phone, fax or email to RACFs to contact them. This work is not remunerated by Medicare and acts as a strong disincentive for GPs who work in a regular practice to continue to care for their patients as they enter an RACF. Examples of unpaid work for GPs working in aged care include: responding to phone calls/emails from/to nursing staff and families, writing prescriptions when off-site, completing letters of capacity, guardianship tribunal forms, Coroner’s reports, taxi vouchers and disabled parking permits, family meetings when the patient is not present, completing Advanced Care Directives (ACDs) when the patient is not present and completing death certificates.
A number of options could be considered to reduce this disincentive. We believe this should initially be focussed on remunerating unpaid phone calls taken directly by GPs from/to facility nursing staff or family members of patients. This will create an incentive for GPs to provide direct access to nursing staff at RACFs to deal with urgent/important clinical issues when they are not on-site and will also enable GPs to engage with family members about their loved ones more frequently. This could be done by phone or videoconference.
RACFs could therefore be a good starting point to introduce more MBS-funded telehealth item numbers. These could be untimed and start with a fixed fee per phone or video call and include a limit on the number of times it can be claimed per day. For example $15 per call with a limit of 5 calls per day. And with no requirement for the patient or other healthcare provider to be directly present at the telehealth consultation, as we note that the current telehealth items are only for a GP to sit in on a consultation between a patient and specialist.
We do recognise there were recent changes to Medicare item numbers for aged care (commencing 1 March 2019) by introducing a $55 call-out fee per visit (applicable to only 1 patient seen during that visit). However we note that at the same time the actual minimum rebate for each consultation was reduced. When the financial impact of this is compared before and after the changes, we view these changes as ineffective. For example if a GP were to see seven patients in a visit, before the changes the GP would generate $286.65 per visit, after the changes they would generate $318.20, so just $31.55 more. In our view this benefit is highly unlikely to encourage more GPs to visit RACFs. Furthermore if a GP were to see say 20 patients in a visit, before the changes the GP would generate $810 per visit, after the changes they would generate $807, so $12 worse off (both calculations exclude the bulk-billing incentive item number 10990 for simplicity). Even if a GP were to marginally benefit from this change due to seeing lower numbers of patients per visit, this benefit is far outweighed by the planned removal of the $5000 Aged Care Service Incentive Payment (SIP) worth up to $5000. So the recent Medicare changes are more likely to see GPs worse off financially (assuming the SIP is removed).
KEY RECOMMENDATION 6
Introduce new Medicare item numbers for GPs visiting RACFs for telehealth consultations directly with facility nurses and family members regarding their patients.
Doctors who supported this submission
Medicare Benefits Schedule, Medicare item 735, 730 and 743.
 Medicare Benefits Schedule, Medicare item 747, 750 and 758.