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MNA position statement opposing DPH policy allowing boarding
and care of patients in the corridors of inpatient units
Executive Summary
In the strongest possible terms, the Massachusetts Nurses Association
expresses its opposition and outrage relative to the policy introduced
by the Massachusetts Department of Public Health and promoted by
the Massachusetts hospital industry to allow the boarding and care
of patients in beds stationed in corridors and hallways outside hospital
inpatient units.
All hospitals are licensed by the DPH to provide appropriate nursing
and medical care to a specific number of patients, with the understanding
that a hospital will only admit those patients it has the resources,
staff, equipment and facilities needed to deliver said care.
This policy was established and promulgated in January as a means
of dealing with the problem of emergency department overcrowding
and ambulance diversion. The MNA believes this policy is not a solution;
rather, it creates more problems and raises further issues relative
to the safety of patient care. As such, it generates a larger crisis
than the one it was designed to resolve.
This policy directs hospitals and nursing staff to
engage in practices which are unmistakably dangerous, irresponsible
and unethical, and
in many ways, are in direct violation of state and federal laws,
HIPAA and JCAHO requirements, and the Department’s own regulations.
The DPH has created a policy specifically allowing a practice the
department used to cite hospitals for violating.
For patients, this policy would promote degraded
and substandard care that no one would wish to receive nor should
expect to receive
in a state that prides itself on having the nation’s oldest
public health department and the premier system of hospital care.
Any hospital implementing this policy is committing willful abuse
and neglect of its patient population. Any nurse who is forced to
accept such an assignment is being placed in an environment ripe
with violations of the Nurse Practice Act and/or their standards
of nursing practice, which ultimately could result in harm to their
patients and the potential loss of their license to practice.
Family members whose loved ones receive care
in such an environment are advised to seek immediate transfer
of the patient
to a facility
better equipped to provide a safe standard of patient care. By definition
of this DPH policy, any patient eligible for care in a corridor must
be “stable” and non emergent, and therefore, would not
be harmed by being transferred to another facility to receive appropriate
care in a properly appointed and staffed patient room.
Nurses, both in the emergency department and inpatient units are
already working to their full capacity and under the current unsafe
staffing conditions in hospitals, caring for far too many patients
to provide appropriate care. Now we are asking those nurses to be
assigned additional patients who must be cared for in an environment
(hallways) that is not conducive to the delivery of any standard
of appropriate care. In so doing, they not only jeopardize the safety
of the new patients in the hallways, but would now be forced to provide
their existing patients with substandard care as well.
Unless all surrounding hospitals have no beds available to admit
patients, it is clearly safer for patients to be transported to another
facility than it is to place them in an environment that puts them
and all other patients on that unit at such great risk.
While the MNA agrees that ED overcrowding and ambulance diversion
presents a longstanding and serious public health crisis that must
be addressed, this DPH policy demonstrates a lack of commitment by
the DPH to use its regulatory power and oversight to properly protect
the health of the residents of the Commonwealth. This problem has
been growing for many years, yet DPH has failed to generate long-term
solutions. While the DPH oversaw the closure of hospital beds throughout
the state, it has failed to:
- mandate
that hospitals take appropriate control of elective admissions or
regulate suitable hospital discharge
procedures;
- assess the need and plan for added bed capacity;
- require improvement in patient flows nor assist in the development
of appropriate inpatient bed capacity;
- investigate the creation of mobile units for disaster use or develop
state facilities for emergency or overflow use; and
- support the nurse staffing levels widely
judged necessary to provide adequate safe daily staffing for DPH-licensed
beds, let alone staffing
for patients in corridors.
For its
part, the hospital industry has driven the macro policy
changes that caused this problem with its push for
deregulation of
the industry in the early 1990’s and its lust for cut-throat,
free market competition and massive consolidation. These actions
resulted in the elimination of 30 percent of our available hospital
beds. In essence, the industry has created the very bed it wishes
to foist into the hallway to accept a patient.
In issuing this statement we call upon the Massachusetts Department
of Public Health to immediately rescind this policy and, as the largest
stakeholder, request an immediate meeting on this issue. We call
upon the Massachusetts Hospital Association to refuse to embrace
such substandard care and to advise its members to reject this policy.
In lieu of these actions, we call upon the Massachusetts Legislature
to use its oversight authority to hold emergency hearings on this
public health safety threat and intervene as required to protect
the public.
For our part, the MNA is advising all registered nurses against
accepting any assignment of a patient to a hallway or a corridor
on an inpatient unit; and for nurses in emergency departments to
accept such an assignment only if necessary staff have been added
to properly monitor those patients while they await a proper inpatient
bed assignment. Further, we intend to educate both the nursing community
at large and the patient population about the dangers of this policy
and to seek nurse and patient support in advocating for its immediate
rejection.
Finally, we encourage the Department of Public Health
to begin development of both an immediate and long-term plan that
genuinely addresses
the issue of emergency department overcrowding – a plan that
doesn’t give the illusion of stopping diversions and one that
doesn’t place patients in greater danger.
Major Concerns regarding DPH’s “Corridor Care” Protocols:
- Patient care needs
It is impossible to provide even minimally safe or effective patient
care in corridor conditions. The range of patient care issues is
vast and includes the following major problems:
One of the greatest dangers for patients admitted to hallway conditions
is the absence of emergency call lights or buzzers required to summon
help in an urgent situation.
The lack of privacy is an extreme deterrent to patients
who are asked to provide confidential health information to their
caregivers.
Therefore care will need to be provided with inadequate or incorrect
information. Patients cannot be asked to disrobe without privacy.
As a result, examination, physical assessments and procedures—enemas,
catheterizations, certain routine bedside invasive procedures—will
be refused or delayed, negatively impacting patient care and increasing
the risk of patient morbidity and mortality.
Clinicians will have difficulty listening to heart sounds in noisy
hallways. They will likely be forced to use the deltoid (shoulder)
muscle for intra-muscular injections instead of the gluteal muscle
in the buttocks, preferred chiefly for female patients. In addition
to the absence of emergency nurse call lights and buzzers, oxygen
and suction equipment will not be available or set up for routine
or emergency use as it is at bedside in patient rooms.
Patients needing oxygen will depend on the use of portable canisters,
which have limited capacity and become quickly depleted of oxygen
with no warning (i.e. no monitoring capability) to clinicians. In
this situation patients may quickly find themselves in respiratory
distress, with no call lights to request more oxygen. Moreover, oxygen
canisters will be hung at the bedside, where they can be easily knocked
off and explode (See Fire Safety issues below).
Space to seat family members, or bedside stands to hold water glasses,
eyeglasses, dentures and other personal care items is highly unlikely
in these surroundings. Lighting conditions are poor, ranging from
inadequate illumination for proper patient observation to unacceptably
bright light for evening and nighttime. Patients will have extreme
difficulty resting or sleeping, which is problematic enough in room
conditions. All of these factors present a multitude of patient care
dangers and conditions conducive to medical error and increased patient
morbidity and mortality.
Hallways lesson staff’s ability to protect
patients and staff from hostile and aggressive attacks from angry
family members or
other visitors. Also, the situation makes it harder to observe visitors
who may interfere with medicine delivery machines, IVs, O2 settings,
etc.
- Patient dignity
Patients will be bed-panned in their beds in hallways, or will need
to vomit in public view, with no or minimal visual privacy and no
auditory privacy. Patients may be in their last days or hours of
life, placed in hallways with no privacy for themselves, their chaplains
or their family members. Patients will be asked to recite health
care histories, concerns and symptoms (i.e. pregnancy, infertility,
incontinence, impotence, abuse, AIDS, cancer fears, heart problems,
fears of dying) with no consideration for others overhearing.
- Ethical considerations
One definition of “Ethics” is “The rules or standards
governing the conduct of a person or the members of a profession,
i.e., ‘medical ethics.’”
Using this definition, the DPH corridor care policy completely disregards
standards and norms of healthcare practice and in doing so is ethically
unsound for nurses as well as physicians.
In doing so, DPH violates numerous ethical standards
contained in the National League for Nursing’s Patient
Bill of Rights1, the American Hospital Association’s Patient’s
Bill of Rights2, the American Civil Liberties Union’s Patient’s
Bill of Rights3, the American Nurses’ Association’s
Code for Nurses, the International Council of Nurses Code for Nurses4 and
the American Nurses Association’s Standards of Nursing Practice.5
There are two principal areas of ethical concern:
patient rights and caregiver rights.
1. Patient Rights
Patients have both rights and responsibilities when it comes
to their health and the health care services they receive.
On March 26, 1997,
President Bill Clinton appointed the Advisory Commission on Consumer
Protection and Quality in the Health Care Industry, which in March
1998 issued the final report, “Quality First: Better Health
Care for All Americans.”
As part of its work, the Commission issued a “Consumer Bill
of Rights and Responsibilities.” This document was intended
to serve as a blueprint for improving systems and procedures that
aim to protect consumers and ensure quality of care. Many health
plans, including all those sponsored by the Federal government, have
adopted these general principles. Among the specific rights and responsibilities
that Federal health plans and others have adopted are the following,
all which the DPH’s corridor care protocol completely violates:
a) Confidentiality of Health Information: “You
have the right to talk in confidence with health care providers
and to have your
health care information protected. You also have the right to review
and copy your own medical record and request that your physician
amend your record if it is not accurate, relevant, or complete.”
b) Respect and Nondiscrimination: “You have
a right to considerate, respectful and nondiscriminatory care from
your doctors, health plan
representatives, and other health care providers.”
The DPH policy forecloses on patients’ health
information confidentiality rights and also provides a discriminatory,
substandard
level of care to those patients placed in corridors.
2. Caregiver rights
Nurses have the ethical right and duty to practice according to
commonly accepted standards of nursing practice and their professional
Code of Ethics. The DPH corridor care policy forces nurses to violate
accepted standards of nursing practice, as outlined above.
The new policy also places nurses in danger of
losing their nursing license and the means of supporting themselves
and
their families.
The Massachusetts Board of Registration in Nursing (BORN) can,
and frequently does, look to the “Standards of Conduct
for Nurses,” at
CMR 244 9.00, when investigating a complaint against a nurse. Complaints
may be lodged with the BORN against nurses by anyone—for
example, by a co-worker, supervisor, employer, disgruntled patients
or family
members, and by the DPH. Complaints arising from the DPH tend to
occur subsequent to a DPH investigation of a situation of patient
harm due to error. In many if not most instances, errors are due
to system problems, as would be the nature of errors caused by
corridor care conditions. Since BORN will not explore system errors
(BORN
considers its charge to be the investigation and placement of individual,
not institutional blame), the fallback regulation used by BORN
for disciplinary purposes is the catch-all “Standards of
Conduct” for
nurses, below:
CMR 244 9.03 (10) Acts within Scope of Practice. “A
nurse who holds a valid license and is engaged in the practice
of nursing
in Massachusetts shall only perform acts within the scope of nursing
practice as defined in M.G.L. c. 112, § 80B and 244 CMR 3.00.”
From M.G.L. c. 112, § 80B:
“
Each individual licensed to practice nursing in the Commonwealth shall be directly
accountable for safety of nursing care he delivers.”
From CMR 3.0: 3.02, Responsibilities and Functions - Registered
Nurse:
“
A registered nurse shall bear full and ultimate responsibility for the quality
of nursing care she/he provides to individuals and
groups.”
The make-shift conditions under which nurses will
be forced to practice corridor care—for example, by administering intramuscular
(I.M.) injections into the shoulder muscle rather than the gluteal
muscle—will
give rise to actionable discipline against nurses by the BORN.
This is neither an unlikely nor rare scenario. The BORN uses the
nursing
regulations as a strict standard against which to measure and punish
nurses. Discipline for the specific infraction mentioned above
was exacted against a nurse by the BORN in February 2005.
The DPH policy forces nurses to practice in substandard conditions,
violates their nursing oaths and standards of practice, and places
them in jeopardy of professional discipline, loss of their nursing
license, and loss of the ability to support themselves and their
families. This is ethically unacceptable and reprehensible.
Moreover, the Code of Ethics for Nurses of the American Nurses
Association describes “Ethics as an integral part of the foundation of
nursing.” It goes on to describe the industry’s “distinguished
history of concern for the vulnerable and for social justice…and
for the protection of health in the care of individuals...and communities.” It
calls for nurses to “improve health care environments and conditions
of employment conducive to the provision of quality health care and
consistent with the values of the profession through individual and
collective action.”
The DPH policy flies in the face of these established professional
ethical standards of conduct for nurses by advocating a substandard
environment of care as a permanent solution to problems which
can and should be resolved in a way to protect the public’s health
and welfare.
• HIPAA /Patient Confidentiality
HIPAA (The National Health Insurance Portability and Accountability
Act of 1996) privacy standards exist to “assure that individuals’ health
information and privacy is protected and to allow the flow of health
information needed to provide and promote high quality health care
and to protect the public’s health and well being.”6 There
are strict requirements of providers, including individual caregivers,
to refrain from sharing confidential health information. There are
civil monetary penalties for individuals who violate HIPAA requirements
of $100 per failure to comply with a Privacy Rule requisite, up to
$25,000 per year for multiple violations. Compliance with this federal
law is taken very seriously by institutions and individuals. Hospitals
generally post signs in public view urging caregivers not to discuss
patient care in elevators or hallways. Why is it a federal crime
to discuss patients in hallways, but not to place the patients in
hallways for their care? This is an inconsistency which presents
two considerable dangers:
(a) patients will not receive the privacy considerations ensured
them by the federal government; and
(b) strict legal liabilities: civil penalties and the potential loss
of their nursing license—accrue to nurses, as well as legal
liability for other caregivers and administrators.
- Fire Safety
Obstruction of hallways in hospitals and other medical facilities
presents potential for direct violation of the Massachusetts State
Building Code and Massachusetts Fire Prevention Regulations (527
CMR).
The primary Building Code concern is the Chapter
10 “Egress” requirements.
A determination of compliance with egress requirements must be made
on an individual facility basis. It is essential for patient and
staff safety that corridors are free from obstruction in order to
provide emergency egress. Moreover, patients located in patient care
rooms are provided the added safety of a second fire-rated door,
but hallway patients would only have corridor doors if they are present.
In addition, patients receiving oxygen in hallway
beds will frequently find their oxygen canister hung on their bed,
from necessity or for
convenience. Oxygen containers hold highly pressurized gas which
can be flammable and explosive if mishandled. It is possible that
an oxygen canister knocked from its position resulting in a damaged
top could become an explosive projectile—in effect, a bomb.
- Infection Control Issues
Hallway care presents extra challenges for infection control. The
foundation of infection control is proper hand-washing, the most
critical step in reducing the transmission of infections. Sinks for
this purpose are generally provided inside every patient room. However
for hallway patients, bedside sinks do not exist.
Hallway or corridor patients will either have to
use the visitor bathroom or go into another patient’s bathroom
for toileting. This can present several infection control hazards.
During the cold
and flu seasons, corridor patients will be unduly exposed to a multitude
of airborne bacteria and viruses.
To prevent infection stemming from indwelling catheters or drains,
patients are typically required to disrobe and allow the nurse access
to the device. This care might be avoided due to privacy issues.
Finally, exposure to infectious or contagious agents is increased
for patients lying in hallway beds due to the amount of traffic and
proximity to passerby-traffic.
- Equipment
Inadequate oxygen, suction, lighting, call lights, absence of bedside
table and chairs, lack of space for personal possessions, wheelchairs,
commodes, I.V. stands all present major problems for patients and
staff. Moreover, patients stationed in hallways are obstacles for
emergency access or egress and can create tripping hazards, etc.
Patients in hallways who need to be resuscitated will fail to have
the emergency equipment or space required, and there is the certainty
of danger that code teams will be unable to locate patients quickly.
Moving patients into hallways and the inevitable adjustments to their
precise location increases the danger of patients being mis-identified
by caregivers, dietary aids, and receiving the wrong medications,
diets and treatments.
- Patient, Staff and Visitor Safety
Hospital hallways were not designed to accommodate admitted patients,
caregivers and equipment on a semi-permanent basis. The danger of
limited access and egress, inadequate space for wheelchairs and gurneys,
electrical cords presenting tripping and fall hazards is unacceptable.
- Staffing
Clearly, hospital admissions and discharges fluctuate,
although there is predictability over time as to which hospitals
can apply
staff appropriately. Census levels typically employ a 30 percent
variability range, considering time of day, day of week and seasonality.
Approximately 50 percent of patients admitted to hospitals are “emergency
department (ED) admissions”… patients arriving via the
emergency room and later admitted. Another 30 to 35 percent of admissions
are elective—primarily patients admitted for surgery planned
in advance.
Hospitals track admission patterns closely. One
hospital in Massachusetts gauges musical concerts held at a
nearby amphitheater. It knows the
type and number of concert attendee overdoses to expect in its
emergency room based on the schedule of performing musicians.
The level of
sophistication and attention to detail by hospitals in this regard
may vary, but the knowledge of how to predict staffing needs ranges
from the colloquial to use of sophisticated software methodologies.
All hospitals staff below peak census expectations. Unlike fire
departments, which are staffed, equipped and located to respond to
the occasional fire call, hospitals are understaffed and under-equipped.
The DPH is not applying the needed regulatory pressure to address
this public health crisis.
Operations management and queuing theorists, along with local consultants/
academicians who are expert in clinical operations management have
census expectation information for the DPH, but this information
is not applied in hospitals.
As pointed out in the amphitheater example above,
random patient arrivals (largely, emergency patients) have some
predictability.
However, the opportunity for census control lies with the management
of elective patient arrivals and surgeries, which are predictable
and controllable and represent roughly one-third of hospital admissions.
Since elective surgeries are a major source of revenue and profit
for hospitals, they are treated as priority admissions. The urgent,
emergent, trauma patients are those who arrive “unexpected” on
the scene – as if no emergencies will occur that day. Since
the DPH is “looking the other way” these newcomers can
now expect to receive their care in hallways.
Steps can be taken to prevent these problems from occurring. Two
major practical recommendations are to:
- Require hospitals to track (identify, classify
and measure) emergency admissions and staff according to
expected ED arrivals; and
- Schedule elective surgeries to coordinate
with the above expected ED arrivals and staff according
to predicted peaks.
Clearly, policies and procedures to manage patient census are available
and can be employed and required by the DPH to address the systemic
impact of unnecessary peak patient loads, an adverse consequence
which leads to emergency department diversions, staff overloads,
medical errors, system gridlock and ultimately faulty and futile
quick fixes such as this one proposed by the DPH.
The potential benefits of clear-cut patient census policies and
procedures are many: improved patient care and satisfaction; better
utilization of resources; reduced ED diversions hours; and additional
staffing resources.
Related Material:
[MNA
continues opposing placement of patients in halls]
[The
real solution to ED overcrowding]

1NLN: ‘The patient has the right to
considerate and respectful care.’ ‘The patient has
the right to every consideration of privacy concerning his own
medical program.’ ‘Case
discussions, consultation, examination and treatment are confidential
and should be conducted discreetly.’ ‘The patient has
the right to expect that all communications and records pertaining
to his care should be treated as confidential.’
2AHA: ‘The patient has a legal right
to privacy of both person and information with respect to: the
hospital staff,
other doctors,
residents, interns and medical students, researchers, nurses, other
hospital personnel, and other patients.’
3ACLU: ‘The nurse safeguards the client’s right to privacy
by judiciously protecting information of a confidential nature.’ ‘The
nurse participates in the profession’s efforts to implement
and improve standards of nursing.’ ‘The nurse participates
in the profession’s efforts to establish and maintain conditions
of employment conducive to high-quality nursing care.’ ‘The
nurse participates in the profession’s effort to protect the
public…and to maintain the integrity of nursing.’ ‘The
nurse collaborates with members of the health professions…in
promoting community and national efforts to meet the health needs
of the public.’
4ICN: ‘The nurse shares with other citizens the responsibility
for initiating and supporting action to meet the health and social
needs of the public.’ ‘The nurse takes appropriate action
to safeguard the individual when his care is endangered by a co-worker
or another person.’ ‘The nurse plays the major role in
determining and implementing desirable standards of nursing practice
and nursing education.’
5ANA Standards Of Practice:
Standard IV: ‘The Plan of Nursing Care includes priorities
and the prescribed nursing approaches or measures to achieve the
goals derived from the nursing diagnoses. Approaches are planned
to provide for a therapeutic environment: Physical environmental
factors are used to influence the therapeutic environment, e.g.,
control of noise, control of temperature, etc.’
Standard VI. ‘Nursing actions assist the client /patient to
maximize his health capabilities. Nursing actions are used to provide
a safe and therapeutic environment.’
6“Summary of the HIPAA Privacy Rule,” HIPAA
Compliance Assistance, United States Department of Health & Human
Services , 05/03 revision, Page 1.
For questions, contact the Director of Public Communications David
Schildmeier at 781.830.5717 or dschildmeier@mnarn.org.
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