COPS PRACTICING MEDICINE: THE PARALLEL HISTORIES OF DRUG WAR 1 AND DRUG WAR ll (EXCERPTS)

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NORMAN J CLEMENT RPH., DDS, NORMAN L. CLEMENT PHARM-TECH, MALACHI F. MACKANDAL PHARMD, IN THE SPIRIT OF WALTER R. CLEMENT MS., MBA., BELINDA BROWN-PARKER, IN THE SPIRIT OF JOSEPH SOLVO ESQ., IN THE SPIRIT OF REV. C.T. VIVIAN, JELANI ZIMBABWE CLEMENT, BS., MBA., WILLIE GUINYARD BS., IN THE SPIRIT OF ERLIN CLEMENT SR.,  JOSEPH WEBSTER MD., MBA, BEVERLY C. PRINCE MD., FACS., LEROY BAYLOR,   JAY K. JOSHI MD., MBA, ADRIENNE EDMUNDSON, ESTER HYATT PH.D., WALTER L. SMITH BS., IN THE SPIRIT OF BRAHM FISHER ESQ., MICHELE ALEXANDER MD., CUDJOE WILDING BS, MARTIN NDJOU, BS., RPH., IN THE SPIRIT OF DEBRA LYNN SHEPHERD, BERES E. MUSCHETT, STRATEGIC ADVISORS

FROM THE FILES OF THE CATO INSTITUTE

BY TREVOR BURRUS AND SENIOR FELLOW JEFFEREY SINGER MD

“Using PDMPs, law enforcement has conducted numerous raids on medical practitioners, many of whom have been indicted and sentenced to prison.”

“These interventions have cast a chilling effect on the prescribing practices of healthcare providers. The total number of opioid prescriptions dispensed peaked in 2012 (see Figure 3). Data from the National Survey on Drug Use and Health show that nonmedical use of prescription opioids also peaked in 2012.

The prescription rate is now below the 2002 rate, and total opioid use, including heroin, was lower in 2014 than in 2012.  High-dose opioid prescribing (90 morphine milligram equivalents or greater) fell by 58 percent from 2008 to 2017.  Total opioid prescribing fell 29 percent from 2010 to 2017. Multiple reviews of the efficacy of PDMPs have shown their association with the drop in prescription volume, but they have failed to demonstrate any effect on the overdose rate, and it has been suggested that they have directly increased the rate of overdoses from heroin.”

DOJ-DEA

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FDA

The Food and Drug Administration has encouraged the development of abuse-deterrent formulations of prescription opioids to prevent them from being crushed for consumption by snorting or dissolved for injection. Considerable evidence suggests that this has only induced nonmedical users to migrate to cheaper and more available heroin and now to mixtures of heroin and fentanyl. “

DEA

The DEA is tasked with establishing quotas on the production of all types of prescription opioids for medical use, in all situations, allocated to individual manufacturers.

This assignment presumes that a federal agency can accurately predict how many specific formulations of opioids are necessary to serve a population of 330 million people in hospital and nonhospital settings in the coming year. The agency has reduced these quotas since 2016, announcing in late 2019 plans to reduce the production of opioids to 53 percent of 2016 levels (see Figure 4).”

THE MYTH OF MORPHINE MILLIGRAM EQUIVALENT DAILY DOSE

In 2016, the CDC issued its Guidelines for Prescribing Opioids for Chronic Pain Patients. In publishing the guidelines, the CDC explicitly stated that they were meant to be voluntary and “not prescriptive,” stating that healthcare practitioners knew their patients’ unique clinical situation and should weigh the potential risks and benefits when prescribing opioids. Many of its recommendations were based on what the CDC characterized as “Type 3” or “Type 4” evidence, which are categories of evidence that are less probative and carry a significant risk of inaccuracy. The guidelines thus came under significant criticism from many pain and addiction specialists for lacking a strong basis in the evidence.

Others criticized the use of morphine milligram equivalents (MMEs) in determining the appropriate dosing of different opioids. As Fudin and others have argued, MME dosing was designed in an attempt to examine opioids with similar analgesic effects and should not be used to determine an exact mathematical dosing conversion.

The pharmacology and unique properties of each opioid and patient individuality must be considered when a therapeutic opioid conversion is contemplated. Conversion should not simply rely on a mathematical formula embedded within the CDC calculator software.

Furthermore, the current calculation for methadone employed by the calculator could allow for potentially dangerous conversions. This is especially problematic, considering this calculator is intended to target nonspecialist general practitioners. We expect a higher level of scientific accuracy and integrity from an agency entrusted to protect citizens’ health and welfare.

Recognizing the controversy surrounding MMEs, in August 2021, the FDA held a “public workshop” entitled “Morphine Milligram Equivalents: Current Applications and Knowledge Gaps, Research Opportunities, and Future Directions.” The workshop’s stated purpose was to “provide an understanding of the science and data underlying existing MME calculations for opioid analgesics, discussing the gaps in these data, and discussing future directions to refine and improve the scientific basis of MME applications.”

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NABARUN DASGUPTA et al. DOES THE MATH

During the workshop, Nabarun Dasgupta of the University of North Carolina Injury Prevention Research Center presented research stating: “Contrary to conventional wisdom, conversion values are not

based on pharmacologic properties. Instead, they arose 60 years ago from small single-dose clinical studies in post-operative or cancer populations with pain score outcomes; toxicologic effects (e.g., respiratory depression) were not evaluated.”

The research concluded: “The overlooked inconsistency among daily MME definitions revealed by our study calls into question the clinical validity of a single numerical risk threshold. . . . Our findings call into question state laws and third-party payer MME threshold mandates. Without harmonization, the scientific basis for these mandates may need to be revisited.”86 Some critics consider the use of MMEs to be “junk science.”

Nevertheless, many states implemented statutory or regulatory limits on the dose (in MMEs) and number of opioids that may be prescribed to patients in acute, chronic, and postoperative situations, respectively, and they encouraged policies promoting the rapid or abrupt tapering of chronic pain patients off the opioid therapies on which they had been maintained long-term.

In 2018, Oregon proposed a mandatory reduction to zero opioids calculation for methadone employed by the calculator could allow for potentially dangerous conversions. This is especially problematic, considering this calculator is intended to target nonspecialist general practitioners. We expect a higher level of scientific accuracy and integrity from an agency entrusted to protect citizens’ health and welfare in Medicaid patients over 12 months. The state reversed itself after receiving fierce criticism from pain management and addiction specialists.

AUSA WAYNE F. PRATT, SOUTHEASTERN MICHIGAN

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THE MYTH OF MORPHINE MILLIGRAM EQUIVALENT DAILY DOSE

BY MARKS IPSEN MD

FROM THE STATE OF MONTANA

“Narcotics Analgesics medications are no different, as they, too, carry with them the dangers of any other types of drug medications when abused or taken in numbers beyond the prescribed doses or, for that matter, their FDA-approved therapeutic dose. Morphine Milligram Equivalent or MME is not a standard or guide used by the FDA for dosing. Specifically, it is well established because of genetic pleomorphism; the fact that humans metabolize opiates at variable rates through the CYP 450 system indicates that MME is irrelevant to physician practice and physiology. 

In addition, it has no statutory basis at all. Once we have dosed a patient, we reevaluate to see the effect. This is the scientific model in action. Using  MME to inform medical practice is more dangerous than a coin flip and makes a mockery of all of our Hippocratic Oaths. 

Morphine Milligram Equivalent (MME) dosing was designed in an attempt to examine opioids with similar analgesic effects and should not be used to determine an exact mathematical dosing conversion. However, it is based on zero science and has been debunked in numerous articles in the literature. Thus law enforcement has adopted a false equivalency to define (or redefine) the medical science of Narcotic prescribing, treatment, and dispensing.”

CONCLUSION 

This again represents a profound set of intervening circumstances of which both substantial and controlling effects are serious displays of the preponderance of other substantial scientific factual grounds not previously presented.” 

DANGER OF MEDICAL PSEUDO-SCIENCE

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2 Comments

  1. What they attempt to do is force every patient into a little pie chart that cannot and should not be the “norm.” The only way to fit that chart is if they shut out every thing that is different about you. As always kudos to Andrew Kolodney, the framer of the great opioid witch hunt. How long ago did lives start being bulldozed?

    + For instance:
    How tall? well 5’6 is normal but I m 6’8″ (or 4’9)
    Weight? 236 is normal but I weigh 290 (or 120)
    Disease do you have causing pain? Broken spine.. Well, yes but add fibromyalgia and horrible allergies that preclude me from taking any other supplemental help to relieve pain.
    Is stress a problem? Yes but if I want pain relief I can’t take anything to destress.

    + That is just a story (above) but how many people do you know who fit the narrative?
    + Older, taller, those with part of their stomach surgically removed so metabolaism is way faster, Way more pain, way less pain.

    If they think about it, no patient is exactly like the others.

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