81_FR_66378 81 FR 66191 - Medication Assisted Treatment for Opioid Use Disorders Reporting Requirements

81 FR 66191 - Medication Assisted Treatment for Opioid Use Disorders Reporting Requirements

DEPARTMENT OF HEALTH AND HUMAN SERVICES

Federal Register Volume 81, Issue 187 (September 27, 2016)

Page Range66191-66196
FR Document2016-23277

This final rule outlines annual reporting requirements for practitioners who are authorized to treat up to 275 patients with covered medications in an office-based setting. This final rule will require practitioners to provide information on their annual caseload of patients by month, the number of patients provided behavioral health services and referred to behavioral health services, and the features of the practitioner's diversion control plan. These reporting requirements will help the Department of Health and Human Services (HHS) ensure compliance with the requirements of the final rule, ``Medication Assisted Treatment for Opioid Use Disorders,'' published in the Federal Register on July 8, 2016.

Federal Register, Volume 81 Issue 187 (Tuesday, September 27, 2016)
[Federal Register Volume 81, Number 187 (Tuesday, September 27, 2016)]
[Rules and Regulations]
[Pages 66191-66196]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-23277]


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DEPARTMENT OF HEALTH AND HUMAN SERVICES

42 CFR Part 8

RIN 0930-AA22


Medication Assisted Treatment for Opioid Use Disorders Reporting 
Requirements

AGENCY: Substance Abuse and Mental Health Services Administration 
(SAMHSA), HHS.

ACTION: Final rule.

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SUMMARY: This final rule outlines annual reporting requirements for 
practitioners who are authorized to treat up to 275 patients with 
covered medications in an office-based setting. This final rule will 
require practitioners to provide information on their annual caseload 
of patients by month, the number of patients provided behavioral health 
services and referred to behavioral health services, and the features 
of the practitioner's diversion control plan. These reporting 
requirements will help the Department of Health and Human Services 
(HHS) ensure compliance with the requirements of the final rule, 
``Medication Assisted Treatment for Opioid Use Disorders,'' published 
in the Federal Register on July 8, 2016.

DATES: Effective Date: This final rule is effective on October 27, 
2016.

FOR FURTHER INFORMATION CONTACT: Jinhee Lee, Pharm.D., Public Health 
Advisor, Center for Substance Abuse Treatment, 240-276-2700

SUPPLEMENTARY INFORMATION:

Electronic Access

    This Federal Register document is also available from the Federal 
Register online database through Federal Digital System (FDsys), a 
service of the U.S. Government Printing Office. This database can be 
accessed via the Internet at http://www.thefederalregister.org/fdsys.

I. Background

    On July 8, 2016, HHS issued a final rule entitled ``Medication 
Assisted Treatment for Opioid Use Disorders'' in the Federal Register 
(81 FR 44712). That final rule increases access to medication-assisted 
treatment (MAT) with covered medications,\1\ in an office-based 
setting, by allowing eligible physicians to request approval to treat 
up to 275 patients if certain conditions are met. The final rule also 
includes requirements to help ensure that patients receive the full 
array of services that comprise evidence-based MAT and minimize the 
risk that the medications provided for treatment are misused or 
diverted. HHS issued a supplemental Notice of Proposed Rulemaking 
(SNPRM) along with the final rule, which included reporting 
requirements for practitioners who increase their patient limit to 275.
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    \1\ Covered medications means the drugs or combination of drugs 
that are covered under 21 U.S.C. 823(g)(2)(C).
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A. Regulatory History

    On March 30, 2016, HHS issued a Notice of Proposed Rulemaking, 
``Medication Assisted Treatment for Opioid Use Disorders.'' On July 8, 
2016, HHS issued a final rule which finalized the regulation with the 
exception of sections relating to the requirement to provide reports to 
SAMHSA (Sec.  8.630(b)) and the reporting requirements (Sec.  8.635). 
Also on July 8, 2016, HHS published a Supplemental Notice of Proposed 
Rulemaking (SNPRM) in the Federal Register which proposed reporting 
requirements for practitioners whose Request for Patient Limit Increase 
is approved under Section 8.625. The purpose of the reporting 
requirements is to help HHS assess practitioner compliance with the 
additional responsibilities of

[[Page 66192]]

practitioners who are authorized to treat up to the highest patient 
limit, as outlined in the final rule, ``Medication Assisted Treatment 
for Opioid Use Disorders.'' Reporting is an integral component of HHS's 
approach to increase access to MAT while helping to ensure that 
patients receive the full array of services that comprise evidence-
based MAT and minimize the risk that the medications provided for 
treatment are misused or diverted.
    The comment period for the SNPRM ended on August 8, 2016. HHS 
received 37 comments electronically and nine additional comments from a 
public listening session which was held on August 2, 2016. 
Additionally, HHS received 27 comments about the reporting requirements 
during the comment period for the Medication Assisted Treatment Notice 
for Proposed Rulemaking (NPRM) issued in March 2016. Comments primarily 
came from individuals who currently prescribe covered medications and 
national organizations representing practitioners and public health 
agencies. HHS also received several comments during conversations with 
the Department of Defense and the Department of Veterans Affairs and 
incorporated this feedback into this final rule.

B. Overview of Final Rule

    This final rule adopts the same basic structure and framework as 
the supplemental proposed rule. Subpart F, Section[thinsp]8.635 
describes what the reporting requirements are for practitioners whose 
Request for Patient Limit Increase application is approved.
    HHS has made some changes to the proposed reporting requirements 
based on the comments we received with respect to the SNPRM. HHS has 
also updated Section 8.630 by adding the requirement proposed in the 
NPRM that practitioners need to provide reports to SAMHSA as specified 
in Section 8.635 to maintain their approval to treat up to 275 
patients.
    HHS has responded to the comments received in response to the March 
2016 NPRM and this SNPRM, and provided an explanation of each of the 
changes made to the proposed rule in the preamble.

II. Provisions of the Proposed Rule and Analysis and Reponses to Public 
Comments

A. General Comments

    HHS received numerous comments providing support for the proposed 
reporting requirements. Commenters stated that the requirements would 
be particularly valuable in minimizing diversion and improving access 
to and quality of care. However, other commenters expressed concerns 
that the reporting requirements were too burdensome and would limit the 
number of practitioners who apply for the increased patient limit, 
particularly for individual practitioners or small group practices. 
Others expressed that the reporting requirements should be consistent 
for all practitioners prescribing buprenorphine for MAT. Some 
commenters also stated that there was no evidence that the reporting 
requirements would improve the quality of patient care or minimize 
misuse or diversion. Other commenters noted that other areas of 
medicine do not have reporting requirements.
    HHS has modified the reporting requirements in response to the 
comments. Given the importance of ensuring practitioners comply with 
the Medication Assisted Treatment for Opioid Disorders requirements 
while minimizing their reporting burden, we believe that the updated 
reporting requirements as outlined in Sec.  [thinsp]8.635 and further 
specified in report form instructions to be issued after finalization 
of this rule, strike the appropriate balance. Additional detail 
regarding these reporting requirements will be provided in the 
practitioner reporting form which will be available for public comment 
shortly after finalization of this rule.
    HHS also received a variety of comments related to the issue of MAT 
that did not specifically relate to the SNPRM but generally fell into 
five main categories. The categories and comments are described below.
Need for Clarification
    Comment: HHS received a comment requesting clarification on how the 
information collected will be used.
    Response: The information collected through these reporting 
requirements will enable HHS to assess compliance with the requirements 
of 42 CFR part 8, subpart F.
    Comment: HHS received a comment requesting clarification on how to 
calculate the numbers for each reporting requirement.
    Response: Guidance on how to calculate the numbers for each 
reporting requirement will be issued by HHS.
    Comment: HHS received a comment requesting clarification on whether 
the requirements apply to all practitioners approved for the higher 
limit, or only those who qualify with the qualified practice setting 
criteria.
    Response: The reporting requirements apply to all practitioners who 
are approved for the higher patient limit of 275.
    Comment: HHS received a comment requesting clarification about 
what, if any, supporting data and documentation will be required along 
with the annual report.
    Response: Practitioners may be required to submit supporting data 
and documentation along with the annual report. Future guidance will be 
provided for more information.
    Comment: HHS received a comment asking whether there are specific 
benchmarks practitioners are required to meet when they report 
percentages.
    Response: HHS is not requiring practitioners to meet specific 
benchmarks.
    Comment: HHS received a comment inquiring about the implications of 
42 CFR part 2, and how information obtained through the reporting 
requirements will be used if patients do not provide consent to use 
their information.
    Response: 42 CFR part 2 protects the identity of individuals as 
substance use disorder patients and prohibits the disclosure of any 
information that would identify an individual as a substance use 
disorder patient. The reporting requirements do not seek patient 
identifying information; therefore, the requirements are not in 
conflict with the restrictions of 42 CFR part 2.
Final Rule To Increase Patient Limit
    HHS received several comments regarding the final rule, 
``Medication Assisted Treatment for Opioid Use Disorders,'' published 
in the Federal Register on July 8, 2016. One commenter stated that the 
highest patient limit should be higher than 275. Another commenter 
recommended that there be no additional requirements associated with 
increasing the patient limit from 100 to 275. Other commenters 
expressed concerns that the final rule does not require practitioners 
to ensure patients receive the full array of services, prevent 
diversion, or follow nationally recognized evidence-based guidelines. 
An additional commenter recommended that SAMHSA audit practitioners to 
ensure that they are in compliance with the rule. A final commenter 
requested clarification regarding whether hospitalists who work in an 
acute inpatient hospital facility are eligible for the higher patient 
limit because they do not track patients after they are discharged.
    Response: Comments related to the final rule, Medication Assisted 
Treatment for Opioid Use Disorders, that do not directly relate to the

[[Page 66193]]

proposed reporting requirements which were the subject of the SNPRM, 
are outside the scope of this final rule and will not be addressed in 
this preamble.
Access to Buprenorphine
    HHS received several comments pertaining to access to 
buprenorphine. One comment expressed concerns about the impact of 
workforce shortages on access, and another commenter stated that 
clinical pharmacists should be allowed to prescribe buprenorphine, 
which would increase access. An additional commenter recommended that 
HHS work with stakeholders to explore mechanisms to address systemic 
barriers.
    Response: These comments do not relate to the reporting 
requirements under 42 CFR part 8, subpart F, and therefore, will not be 
addressed in this preamble.
Comprehensive Addiction and Recovery Act of 2016
    Comments: HHS received a small number of comments about the 
Comprehensive Addiction and Recovery Act of 2016 (CARA). One commenter 
asked whether physician assistants and nurse practitioners are required 
to report quality and patient outcomes data. Another commenter 
requested additional information on training requirements.
    Response: Comments related to CARA do not relate to the reporting 
requirements, and therefore, will not be addressed in this preamble.
Other Comments
    Comments: HHS received a number of comments that did not relate to 
reporting requirements, including a comment about the impact of the 
Drug Enforcement Administration's (DEAs) narcotic prescribing 
guidelines on the rights of people living with chronic pain, a comment 
about the impact of negative perceptions on individuals who receive 
MAT, a comment about the importance of ensuring that Drug Addiction 
Treatment Act of 2000 (DATA 2000) patients receive behavioral support 
services, a comment that the proposed reporting requirements would also 
be beneficial for those practitioners who are not seeking the higher 
patient limit increase but treat individuals with opioid use disorders, 
a comment to combine the existing opioid treatment program reporting 
requirements with those stated in this final rule, and a comment about 
the importance of coordination across HHS.
    Response: These comments do not relate to the reporting 
requirements, and therefore, will not be addressed in this preamble.

B. Subpart F

    The average monthly caseload of patients receiving buprenorphine-
based MAT, per year.
    Comments: HHS received a comment recommending that the first 
proposed reporting requirement, ``The average monthly caseload of 
patients receiving buprenorphine-based MAT, per year'' be replaced with 
the following two questions: ``(1) For the final 3 months of the 
reporting year, what was the average monthly caseload of patients 
receiving buprenorphine-based MAT? and (2) Are you currently accepting 
new opioid use disorder patients requiring MAT?''
    An additional commenter recommended that HHS collect the following 
baseline data points: Total number of patients admitted that year, 
total number of patients carried over from the previous year, and total 
number of patients discharged.
    Response: HHS recognized that asking practitioners to calculate and 
report averages could be burdensome and has, therefore, changed this 
reporting requirement. The revised text now asks practitioners to 
report annual caseloads of patients by month. By seeking information on 
the annual caseload of patients by month, HHS believes this updated 
reporting requirement, as further elaborated upon in the proposed 
report form instructions, will strike the appropriate balance between 
collecting valuable information needed to assess compliance with the 
rule and avoiding undue burden to practitioners.
Summary of Regulatory Changes
    For the reasons set forth in the proposed rule and considering the 
comments received, HHS replaced this reporting requirement with one 
that asks the practitioner to report annual caseload of patients by 
month.
    Percentage of active buprenorphine patients (patients in treatment 
as of reporting date) that received psychosocial or case management 
services (either by direct provision or by referral) in the past year 
due to: (1) Treatment initiation and (2) Change in clinical status.
    Comments: HHS received numerous comments about the second proposed 
reporting requirement, ``Percentage of active buprenorphine patients 
(patients in treatment as of reporting date) that received psychosocial 
or case management services (either by direct provision or by referral) 
in the past year due to: (1) Treatment initiation and (2) Change in 
clinical status.'' One commenter requested clarification on how 
psychosocial and case management services are defined and another 
commenter requested clarification on how clinical status is defined. 
Another commenter stated that psychosocial or case management services 
are not required or normative according to the evidence base. Another 
commenter expressed concerns that this reporting requirement will 
require patients to receive behavioral health services, but many will 
be unable to do so and will, therefore, refuse treatment. An additional 
commenter stated that this proposed requirement is irrelevant because 
so many patients receive services from a 12-step program.
    Commenters provided several suggestions for alternative reporting 
requirements about psychosocial and case management services. One 
commenter suggested that practitioners be required to report the 
percentage of patients who had one hour of counseling in the past 
month. Another commenter recommended that the reporting requirement be 
divided into two separate measures: ``(1) The number referred to 
psychosocial or case management services, and (2) the number who 
actually received psychosocial or case management services.'' An 
additional commenter recommended that the proposed reporting 
requirement be replaced with the following two questions: ``(1) The 
percentage of patients receiving psychosocial counseling and/or other 
appropriate support services; and (2) The percentage of patients 
receiving case management services.'' Another commenter recommended 
that the proposed reporting requirement be replaced with: ``(1) The 
number of patients who were provided psychosocial or case management 
services at the same location as the practitioner, and how frequently 
those patients utilized the services; and (2) the number of patients 
the practitioner referred for psychosocial or case management services 
at a different location.'' An additional commenter recommended that 
practitioners be required to report on the number of patients who were 
provided counseling services at the same location as the practitioner 
and how frequently those patients utilized the counseling services. One 
commenter also recommended that practitioners be required to provide 
information on the frequency, location, and type of psychosocial 
services provided. Another commenter recommended that practitioners be 
required to report whether the referral was to a more intensive or less 
intensive level of care.

[[Page 66194]]

Finally, one commenter recommended HHS collect data on referrals and 
behavioral health service provision using a six-point Likert scale.
    Response: This reporting requirement has been revised and now asks 
the practitioner to report on the number of patients provided 
behavioral health services and referred to behavioral health services. 
By seeking information on the number of patients that were provided 
services and referred for behavioral health services, HHS believes this 
updated reporting requirement, as further elaborated upon in the report 
form instructions, will strike the appropriate balance between 
collecting valuable information needed to assess compliance with the 
rule and avoiding undue burden to practitioners.
Summary of Regulatory Changes
    For the reasons set forth in the proposed rule and considering the 
comments received, HHS replaced the second reporting requirement with 
one that requires the practitioner to report on the number of patients 
provided behavioral health services and referred to behavioral health 
services.
    Percentage of patients who had a prescription drug monitoring 
program query in the past month.
    Comments: HHS received several comments about the proposed 
reporting requirement, ``Percentage of patients who had a PDMP query in 
the past month.'' One commenter stated that this data would not be 
informative because his practice conducts these queries for all 
patients. This commenter also stated that the state PDMP should provide 
this information instead. Another commenter suggested that the PDMP 
query should take place quarterly. An additional commenter stated that 
HHS should identify a way to collect similar data in Missouri, which 
does not have a PDMP. One commenter recommended that practitioners also 
be asked about the number of patients who had a PDMP query before the 
prescriptions were filled.
    Another commenter stated that practitioners receive alerts from 
local pharmacies and the State if a patient receiving buprenorphine 
attempts to fill another opioid prescription by any practitioner, and 
asked whether this information could be used as a response for this 
reporting requirement. The commenter noted that they do not routinely 
run PDMP data on patients receiving buprenorphine, but do query PDMP 
data for every controlled substance refilled by phone.
    HHS also received several comments focused more broadly on 
diversion control. One commenter recommended that SAMHSA provide 
guidelines for practitioners to develop diversion control plans. 
Another commenter suggested that HHS require practitioners with a 
waiver under DATA 2000 to participate in PDMPs. Several commenters also 
recommended that HHS ask about the number of patients who received 
urine drug screens, the results of drug screens, and the number of 
patients who received call-backs for pill counts. Several commenters 
noted that not every practitioner has access to a PDMP and encouraged 
HHS to use language that would apply in those situations. Finally, one 
commenter recommended that HHS ask about PDMP use and drug-use 
monitoring screening tests using a six-point Likert scale.
    Response: The intention of including PDMP queries was to assess a 
practitioner's compliance with the rule's requirements related to a 
diversion control plan. In light of the comments received, which 
focused more broadly on various aspects of diversion control, HHS 
determined that the best way to satisfy the intent of the proposal and 
assess compliance is to seek information about the features of the 
practitioner's diversion control plan, as required in Sec.  8.620, more 
generally.
Summary of Regulatory Changes
    For the reasons set forth in the proposed rule and considering the 
comments received, HHS modified the third reporting requirement to 
require the practitioner to report on the features of his or her 
diversion control plan.
    Number of patients at the end of the reporting year who: (1) Have 
completed an appropriate course of treatment with buprenorphine in 
order for the patient to achieve and sustain recovery; (2) Are not 
being seen by the practitioner due to referral by the practitioner to a 
more or less intensive level of care; (3) No longer desire to continue 
use of buprenorphine; and (4) Are no longer receiving buprenorphine for 
reasons other than 1-3.
    Comments: HHS received numerous comments about the proposed 
reporting requirement, ``Number of patients at the end of the reporting 
year who: (1) Have completed an appropriate course of treatment with 
buprenorphine in order for the patient to achieve and sustain recovery; 
(2) Are not being seen by the practitioner due to referral by the 
practitioner to a more or less intensive level of care; (3) No longer 
desire to continue use of buprenorphine; and (4) Are no longer 
receiving buprenorphine for reasons other than 1-3.'' A large number of 
commenters expressed concern with the first item, noting that it 
suggests that buprenorphine treatment is temporary and/or that 
individuals who receive it are not in recovery. One commenter expressed 
concern with the third and fourth item, noting that it is difficult to 
differentiate between these two subsets of patients. Some commenters 
expressed that it is difficult to determine what number of patients 
``sustain recovery'' and that SAMHSA should provide guidance on what 
constitutes an appropriate course of treatment. Another commenter 
stated that a practitioner is unable to control whether a patient 
follows through on a referral.
    Other commenters recommended alternative questions to ask for this 
proposed reporting requirement, including: The percentage of patients 
who are prescribed an average dose of 16 mg or less; the percentage of 
patients who left treatment because the practitioner terminated 
treatment due to non-compliance; patient mortality rates; the number of 
patients who left treatment because of the financial cost of treatment; 
and the number of patients who left treatment to receive treatment in 
an either higher or lower intensity setting or were deemed successful.
    Another commenter stated that the data collected in this reporting 
requirement should not include those lost to follow-up or relapse. 
Finally, an additional commenter stated that some patients at the 
commenter's facility graduate from treatment and only use counselors as 
needed. The commenter stressed that these patients should not be 
counted as patients not receiving treatment.
    Response: HHS determined that the proposed requirement will be too 
burdensome for practitioners. Therefore, HHS is not including this 
reporting requirement in Subpart F.
Additional Reporting Requirements
    Comments: HHS received several comments recommending additional 
reporting requirements for practitioners. One commenter recommended 
that the reporting requirements focus on quality measures rather than 
process measures. Another commenter recommended that HHS create a core 
set of requirements that practitioners attest to on an annual basis, 
which could include both quality and process measures.
    Other commenters recommended HHS collect data on: The amount of 
buprenorphine that patients receive; the number of times they receive 
buprenorphine; the number of active patients for whom third party 
reimbursement was provided; patient mortality rates; frequency of 
patient visits; and the percentage of

[[Page 66195]]

prescriptions written for less than 30 days, 30-59 days, 60-89 days, 
and 90 days or more.
    Response: Because HHS aims to strike the appropriate balance 
between collecting valuable information to assess compliance with 
Subpart F and minimizing the burden on practitioners, these proposed 
reporting requirements will not be added. HHS believes that the 
requirements included in this final rule are sufficient to ensure 
compliance with the assurances to which the practitioner attests to in 
the Request for Patient Limit Increase.
Alternative Ways To Meet and Provide Reporting Requirements
    Comments: HHS received a number of comments proposing alternative 
ways to collect data from practitioners. One commenter suggested that 
HHS obtain information by adding questions about psychosocial treatment 
to DEA's questions as an alternative to the proposed reporting 
requirements. Another commenter stated that the DEA audit program 
should be sufficient to ensure compliance. Other commenters suggested 
that data could be obtained from the state PDMP, from electronic 
medical record systems, or from insurance claims data. Finally one 
commenter recommended HHS incorporate these reporting requirements into 
the set of measures associated with financial incentives under the 
Centers for Medicare & Medicaid Services' new Medicare Incentive 
Payment System's program.
    Response: The proposed alternative ways to collect data from 
practitioners will not generate all of the information HHS is seeking 
through the proposed reporting requirements. Therefore, HHS will not 
collect the data using any of these approaches.
    Comments: HHS received several comments recommending that there be 
an electronic form through which practitioners can submit the required 
data.
    Response: HHS will explore developing a form that can be submitted 
electronically through which practitioners can submit the required 
data.
    Comments: HHS received several comments recommending HHS convene an 
expert panel to review and re-evaluate the reporting requirements 
either prior to adoption or after the first reporting period.
    Response: HHS received numerous public comments regarding the 
reporting requirements during the comment period for the Medication 
Assisted Treatment for Opioid Use Disorders NPRM (published in March 
2016), and during the comment period for the reporting requirements 
proposed in the SNPRM (published in July 2016). These comments were 
received from a variety of stakeholders, including experts in the 
field. Therefore, HHS does not believe that convening an expert panel 
is necessary to ensure that the reporting requirements are appropriate.
    Comment: HHS received a comment recommending that reporting 
requirements be voluntary.
    Response: HHS believes that making these requirements voluntary 
would dramatically compromise the quality and amount of data received. 
Therefore, HHS will make these requirements mandatory in order to 
ensure that HHS is able to assess compliance with the requirements of 
42 CFR part 8, subpart F.
    Comment: HHS received a comment recommending using the reporting 
requirement information to determine whether practitioners with the 
100-patient waiver should be able to increase their patient limit to 
275.
    Response: Practitioners who are subject to the 100-patient limit 
are not required to report data.
    Comments: HHS received comments recommending collecting reporting 
data from practitioners more than once per year.
    Response: HHS believes that requiring practitioners to submit data 
more than once per year would be unduly burdensome.

III. Collection of Information Requirements

    The SNPRM called for new collections of information under the 
Paperwork Reduction Act of 1995. The final rule calls for much of the 
same collections of information as the SNPRM. As defined in 
implementing regulations, ``collection of information'' comprises 
reporting, recordkeeping, monitoring, posting, labeling, and other 
similar actions. In this section, HHS first identifies and describes 
the types of information waivered practitioners must collect and report 
and then HHS provides an estimate of the total annual burden. The 
estimate covers the employees' time for reviewing and posting the 
collections required.
    Title: Medication Assisted Treatment for Opioid Use Disorders 
Reporting Requirements.
    Reporting, 42 CFR 8.635: Reporting will be required annually to 
assess compliance with the requirements of 42 CFR part 8, subpart F. 
Reporting requirements will include a request for information 
regarding: (1) Annual caseload of patients by month; (2) number of 
patients provided behavioral health services and referred to behavioral 
health services; and (3) features of the practitioner's diversion 
control plan. These requirements will be further specified in the 
report form instructions to be issued after finalization of this rule.
    Annual burden estimates for these requirements are summarized in 
the following table:

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                                     Purpose of        Number of        Responses/        Burden/        Total burden     Hourly wage    Total wage cost
        42 CFR  citation             submission       respondents       respondent    response  (hr.)       (hrs.)         cost  ($)            ($)
--------------------------------------------------------------------------------------------------------------------------------------------------------
8.635..........................  Annual Report....           1,350                1                3            4,050           $64.47         $261,104
--------------------------------------------------------------------------------------------------------------------------------------------------------

    Comment: HHS received a comment stating that the estimated burden 
of three hours per year is inaccurate.
    Response: While the commenter stated that the estimated burden of 
three hours per year is inaccurate, the commenter did not provide 
evidence to support their claim. As a result, HHS retains the original 
estimate of three hours per year. More information on this estimate can 
be found below in the Regulatory Impact Analysis.

IV. Regulatory Impact Analysis

    HHS has examined the impact of this final rule under Executive 
Order 12866 on Regulatory Planning and Review (September 30, 1993), 
Executive Order 13563 on Improving Regulation and Regulatory Review 
(January 18, 2011), the Regulatory Flexibility Act of 1980 (Pub. L. 96-
354, September 19, 1980), the Unfunded Mandates Reform Act of 1995 
(Pub. L. 104-4, March 22, 1995), and Executive Order 13132 on 
Federalism (August 4, 1999). HHS has determined that this final rule is 
not a significant regulatory action as defined by Executive Order 
12866, and will not have a significant economic impact on a substantial 
number of small entities. Although the reporting requirements

[[Page 66196]]

have changed since the proposed rule, they have not done so in a way 
that would alter their estimated impact. As described below, the 
estimated costs associated with this final rule are below one million 
dollars each year, and the estimated per-practitioner burden is three 
hours annually, supporting the conclusion that this rule will not have 
a significant economic impact on a substantial number of small 
entities.
    Under this final rule practitioners approved to treat up to 275 
patients will have to submit information about their practice annually 
to SAMHSA for purposes of monitoring regulatory compliance. The goal of 
the reporting requirement is to ensure that practitioners are providing 
buprenorphine treatment in compliance with the final rule Medication 
Assisted Treatment for Opioid Use Disorders (81 FR 44711). It is 
anticipated that the data for the reporting requirement can be pulled 
directly from an electronic or paper health record, and that 
practitioners will not have to update their record-keeping practices 
after receiving approval to treat up to 275 patients. We estimate that 
compiling and submitting the report would require approximately 1 hour 
of physician time and 2 hours of administrative time. According to the 
U.S. Bureau of Labor Statistics, the average medical and health 
services manager's hourly pay in 2014 was $49.84, and the average 
hourly wage for a physician was $93.74. After adjusting upward by 100 
percent to account for overhead and benefits, these wages correspond to 
a cost of $99.68 and $187.48 per hour, respectively. The cost of this 
reporting requirement per practitioner approved for the 275-patient 
limit is estimated to be the cost of 1 hour of a practitioner's time 
plus 2 hours of an administrator's time.
    As noted above, using the mid-point estimate, we estimate that 
1,150 practitioners will request approval for the 275-patient limit in 
year 1 and 200 practitioners will request a 275-patient waiver in 
subsequent years. We assume that all of these requests will be 
approved. The costs associated with this reporting requirement are 
reported below. In addition, it is estimated that SAMHSA will incur a 
cost of $100 per practitioner approved for the 275-patient limit to 
process the practitioner data reporting requirement. These costs are 
reported below as well.
    We assume DEA will not incur additional costs in association with 
this final rule as DEA will incorporate site visits for practitioners 
with the 275-patient limit into their regular site visit schedule.

----------------------------------------------------------------------------------------------------------------
                                                                Number of
                                                                physician      Physician costs    SAMHSA costs
                                                                 reports
----------------------------------------------------------------------------------------------------------------
Year 1....................................................             1,150          $445,000          $115,000
Year 2....................................................             1,350           522,000           135,000
Year 3....................................................             1,550           600,000           155,000
Year 4....................................................             1,750           677,000           175,000
Year 5....................................................             1,950           754,000           195,000
----------------------------------------------------------------------------------------------------------------

List of Subjects in 42 CFR Part 8

    Health professions, Methadone, Reporting and recordkeeping 
requirements.

    For the reasons stated in the preamble, HHS amends 42 CFR part 8 as 
follows:

PART 8--MEDICATION ASSISTED TREATMENT FOR OPIOID USE DISORDERS

0
1. The authority citation for part 8 continues to read as follows:

    Authority:  21 U.S.C. 823; 42 U.S.C. 257a, 290bb-2a, 290aa(d), 
290dd-2, 300x-23, 300x-27(a), 300y-11.


0
2. Amend Sec.  8.630 by adding paragraph (b) to read as follows:


Sec.  8.630  What must practitioners do in order to maintain their 
approval to treat up to 275 patients?

* * * * *
    (b) All practitioners whose Request for Patient Limit Increase has 
been approved under Sec.  [thinsp]8.625 must provide reports to SAMHSA 
as specified in Sec.  [thinsp]8.635.

0
3. Add Sec.  8.635 to read as follows:


Sec.  8.635  What are the reporting requirements for practitioners 
whose Request for Patient Limit Increase is approved?

    (a) General. All practitioners whose Request for Patient Limit 
Increase is approved under Sec.  [thinsp]8.625 must submit to SAMHSA 
annually a report along with documentation and data, as requested by 
SAMHSA, to demonstrate compliance with applicable provisions in 
Sec. Sec.  [thinsp]8.610, 8.620, and 8.630.
    (b) Schedule. The report must be submitted within 30 days following 
the anniversary date of a practitioner's Request for Patient Limit 
Increase approval under Sec.  8.625, and during this period on an 
annual basis thereafter or on another annual schedule as determined by 
SAMHSA.
    (c) Content of the Annual Report. The report shall include 
information concerning the following, as further detailed in report 
form instructions issued by the Secretary:
    (1) The annual caseload of patients by month.
    (2) Numbers of patients provided behavioral health services and 
referred to behavioral health services.
    (3) Features of the practitioner's diversion control plan.
    (d) Discrepancies. SAMHSA may check reports from practitioners 
prescribing under the higher patient limit against other data sources 
to the extent allowable under applicable law. If discrepancies between 
reported information and other data are identified, SAMHSA may require 
additional documentation from the practitioner.
    (e) Noncompliance. Failure to submit reports under this section, or 
deficient reports, may be deemed a failure to satisfy the requirements 
for a patient limit increase, and may result in the withdrawal of 
SAMHSA's approval of the practitioner's Request for Patient Limit 
Increase.

    Dated: September 21, 2016.
Kana Enomoto,
Principal Deputy Administrator, Substance Abuse and Mental Health 
Services Administration.
    Approved: September 22, 2016.
Sylvia M. Burwell,
Secretary, Department of Health and Human Services.
[FR Doc. 2016-23277 Filed 9-23-16; 4:15 pm]
 BILLING CODE 4162-20-P



                                                                   Federal Register / Vol. 81, No. 187 / Tuesday, September 27, 2016 / Rules and Regulations                                             66191

                                                  F. Executive Order 13175: Consultation                  document, including the basis for that                ‘‘Medication Assisted Treatment for
                                                  and Coordination With Indian Tribal                     finding.                                              Opioid Use Disorders,’’ published in the
                                                  Governments                                                                                                   Federal Register on July 8, 2016.
                                                                                                          IV. Statutory Authority
                                                    This action does not have tribal                                                                            DATES: Effective Date: This final rule is
                                                  implications, as specified in Executive                    The statutory authority for this action            effective on October 27, 2016.
                                                  Order 13175. This good cause final                      is provided by sections 110, 126 and                  FOR FURTHER INFORMATION CONTACT:
                                                  action simply extends the date for the                  307 of the CAA as amended (42 U.S.C.                  Jinhee Lee, Pharm.D., Public Health
                                                  EPA to take action on a petition. Thus,                 7410, 7426 and 7607).                                 Advisor, Center for Substance Abuse
                                                  Executive Order 13175 does not apply                    V. Judicial Review                                    Treatment, 240–276–2700
                                                  to this rule.                                                                                                 SUPPLEMENTARY INFORMATION:
                                                                                                            Under section 307(b)(1) of the CAA,
                                                  G. Executive Order 13045: Protection of                 judicial review of this final rule is                 Electronic Access
                                                  Children From Environmental Health                      available only by the filing of a petition              This Federal Register document is
                                                  and Safety Risks                                        for review in the U.S. Court of Appeals               also available from the Federal Register
                                                    The EPA interprets Executive Order                    for the appropriate circuit by November               online database through Federal Digital
                                                  13045 as applying only to those                         28, 2016. Under section 307(b)(2) of the              System (FDsys), a service of the U.S.
                                                  regulatory actions that concern                         CAA, the requirements that are the                    Government Printing Office. This
                                                  environmental health or safety risks that               subject of this final rule may not be                 database can be accessed via the
                                                  the EPA has reason to believe may                       challenged later in civil or criminal                 Internet at http://www.gpo.gov/fdsys.
                                                  disproportionately affect children, per                 proceedings brought by us to enforce
                                                                                                          these requirements.                                   I. Background
                                                  the definition of ‘‘covered regulatory
                                                  action’’ in section 2–202 of the                        List of Subjects in 40 CFR Part 52                       On July 8, 2016, HHS issued a final
                                                  Executive Order. This action is not                                                                           rule entitled ‘‘Medication Assisted
                                                  subject to Executive Order 13045                          Environmental protection,                           Treatment for Opioid Use Disorders’’ in
                                                  because it does not concern an                          Administrative practices and                          the Federal Register (81 FR 44712). That
                                                  environmental health risk or safety risk.               procedures, Air pollution control,                    final rule increases access to
                                                                                                          Electric utilities, Incorporation by                  medication-assisted treatment (MAT)
                                                  H. Executive Order 13211: Actions That                  reference, Intergovernmental relations,               with covered medications,1 in an office-
                                                  Significantly Affect Energy Supply,                     Nitrogen oxides, Ozone.                               based setting, by allowing eligible
                                                  Distribution or Use                                                                                           physicians to request approval to treat
                                                                                                            Dated: September 19, 2016.
                                                    This action is not subject to Executive               Gina McCarthy,                                        up to 275 patients if certain conditions
                                                  Order 13211 because it is not a                         Administrator.                                        are met. The final rule also includes
                                                  significant regulatory action under                                                                           requirements to help ensure that
                                                                                                          [FR Doc. 2016–23155 Filed 9–26–16; 8:45 am]
                                                  Executive Order 12866.                                                                                        patients receive the full array of services
                                                                                                          BILLING CODE 6560–50–P
                                                  I. National Technology Transfer and                                                                           that comprise evidence-based MAT and
                                                  Advancement Act (NTTAA)                                                                                       minimize the risk that the medications
                                                                                                                                                                provided for treatment are misused or
                                                     This rulemaking does not involve                     DEPARTMENT OF HEALTH AND                              diverted. HHS issued a supplemental
                                                  technical standards.                                    HUMAN SERVICES                                        Notice of Proposed Rulemaking
                                                  J. Executive Order 12898: Federal                                                                             (SNPRM) along with the final rule,
                                                                                                          42 CFR Part 8
                                                  Actions To Address Environmental                                                                              which included reporting requirements
                                                  Justice in Minority Populations and                     RIN 0930–AA22                                         for practitioners who increase their
                                                  Low-Income Populations                                                                                        patient limit to 275.
                                                                                                          Medication Assisted Treatment for
                                                     The EPA believes that this action is                 Opioid Use Disorders Reporting                        A. Regulatory History
                                                  not subject to Executive Order 12898 (59                Requirements                                             On March 30, 2016, HHS issued a
                                                  FR 7629, February 16, 1994) because it                                                                        Notice of Proposed Rulemaking,
                                                  does not establish an environmental                     AGENCY:  Substance Abuse and Mental                   ‘‘Medication Assisted Treatment for
                                                  health or safety standard. This good                    Health Services Administration                        Opioid Use Disorders.’’ On July 8, 2016,
                                                  cause final action simply extends the                   (SAMHSA), HHS.                                        HHS issued a final rule which finalized
                                                  date for the EPA to take action on a                    ACTION: Final rule.                                   the regulation with the exception of
                                                  petition and does not have any impact                                                                         sections relating to the requirement to
                                                  on human health or the environment.                     SUMMARY:   This final rule outlines                   provide reports to SAMHSA (§ 8.630(b))
                                                                                                          annual reporting requirements for                     and the reporting requirements
                                                  K. Congressional Review Act (CRA)                       practitioners who are authorized to treat             (§ 8.635). Also on July 8, 2016, HHS
                                                    This action is subject to the CRA, and                up to 275 patients with covered                       published a Supplemental Notice of
                                                  the EPA will submit a rule report to                    medications in an office-based setting.               Proposed Rulemaking (SNPRM) in the
                                                  each House of the Congress and to the                   This final rule will require practitioners            Federal Register which proposed
                                                  Comptroller General of the United                       to provide information on their annual                reporting requirements for practitioners
                                                  States. The CRA allows the issuing                      caseload of patients by month, the                    whose Request for Patient Limit
                                                  agency to make a rule effective sooner                  number of patients provided behavioral                Increase is approved under Section
asabaliauskas on DSK3SPTVN1PROD with RULES




                                                  than otherwise provided by the CRA if                   health services and referred to                       8.625. The purpose of the reporting
                                                  the agency makes a good cause finding                   behavioral health services, and the                   requirements is to help HHS assess
                                                  that notice-and-comment rulemaking                      features of the practitioner’s diversion              practitioner compliance with the
                                                  procedures are impracticable,                           control plan. These reporting                         additional responsibilities of
                                                  unnecessary or contrary to the public                   requirements will help the Department
                                                  interest (5 U.S.C. 808(2)). The EPA has                 of Health and Human Services (HHS)                      1 Covered medications means the drugs or
                                                  made a good cause finding for this rule                 ensure compliance with the                            combination of drugs that are covered under 21
                                                  as discussed in Section II.B of this                    requirements of the final rule,                       U.S.C. 823(g)(2)(C).



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                                                  66192            Federal Register / Vol. 81, No. 187 / Tuesday, September 27, 2016 / Rules and Regulations

                                                  practitioners who are authorized to treat               diversion and improving access to and                 approved for the higher patient limit of
                                                  up to the highest patient limit, as                     quality of care. However, other                       275.
                                                  outlined in the final rule, ‘‘Medication                commenters expressed concerns that the                  Comment: HHS received a comment
                                                  Assisted Treatment for Opioid Use                       reporting requirements were too                       requesting clarification about what, if
                                                  Disorders.’’ Reporting is an integral                   burdensome and would limit the                        any, supporting data and documentation
                                                  component of HHS’s approach to                          number of practitioners who apply for                 will be required along with the annual
                                                  increase access to MAT while helping to                 the increased patient limit, particularly             report.
                                                  ensure that patients receive the full                   for individual practitioners or small                   Response: Practitioners may be
                                                  array of services that comprise                         group practices. Others expressed that                required to submit supporting data and
                                                  evidence-based MAT and minimize the                     the reporting requirements should be                  documentation along with the annual
                                                  risk that the medications provided for                  consistent for all practitioners                      report. Future guidance will be
                                                  treatment are misused or diverted.                      prescribing buprenorphine for MAT.                    provided for more information.
                                                     The comment period for the SNPRM                     Some commenters also stated that there                  Comment: HHS received a comment
                                                  ended on August 8, 2016. HHS received                   was no evidence that the reporting                    asking whether there are specific
                                                  37 comments electronically and nine                     requirements would improve the quality                benchmarks practitioners are required to
                                                  additional comments from a public                       of patient care or minimize misuse or                 meet when they report percentages.
                                                  listening session which was held on                     diversion. Other commenters noted that                  Response: HHS is not requiring
                                                  August 2, 2016. Additionally, HHS                       other areas of medicine do not have                   practitioners to meet specific
                                                  received 27 comments about the                          reporting requirements.                               benchmarks.
                                                  reporting requirements during the                                                                               Comment: HHS received a comment
                                                                                                             HHS has modified the reporting
                                                  comment period for the Medication                                                                             inquiring about the implications of 42
                                                                                                          requirements in response to the
                                                  Assisted Treatment Notice for Proposed                                                                        CFR part 2, and how information
                                                                                                          comments. Given the importance of
                                                  Rulemaking (NPRM) issued in March                                                                             obtained through the reporting
                                                                                                          ensuring practitioners comply with the
                                                  2016. Comments primarily came from                                                                            requirements will be used if patients do
                                                                                                          Medication Assisted Treatment for
                                                  individuals who currently prescribe                                                                           not provide consent to use their
                                                                                                          Opioid Disorders requirements while
                                                  covered medications and national                                                                              information.
                                                                                                          minimizing their reporting burden, we                   Response: 42 CFR part 2 protects the
                                                  organizations representing practitioners                believe that the updated reporting                    identity of individuals as substance use
                                                  and public health agencies. HHS also                    requirements as outlined in § 8.635 and               disorder patients and prohibits the
                                                  received several comments during                        further specified in report form                      disclosure of any information that
                                                  conversations with the Department of                    instructions to be issued after                       would identify an individual as a
                                                  Defense and the Department of Veterans                  finalization of this rule, strike the                 substance use disorder patient. The
                                                  Affairs and incorporated this feedback                  appropriate balance. Additional detail                reporting requirements do not seek
                                                  into this final rule.                                   regarding these reporting requirements                patient identifying information;
                                                  B. Overview of Final Rule                               will be provided in the practitioner                  therefore, the requirements are not in
                                                                                                          reporting form which will be available                conflict with the restrictions of 42 CFR
                                                     This final rule adopts the same basic                for public comment shortly after
                                                  structure and framework as the                                                                                part 2.
                                                                                                          finalization of this rule.
                                                  supplemental proposed rule. Subpart F,                     HHS also received a variety of                     Final Rule To Increase Patient Limit
                                                  Section 8.635 describes what the                        comments related to the issue of MAT                     HHS received several comments
                                                  reporting requirements are for                          that did not specifically relate to the               regarding the final rule, ‘‘Medication
                                                  practitioners whose Request for Patient                 SNPRM but generally fell into five main               Assisted Treatment for Opioid Use
                                                  Limit Increase application is approved.                 categories. The categories and                        Disorders,’’ published in the Federal
                                                     HHS has made some changes to the                     comments are described below.                         Register on July 8, 2016. One
                                                  proposed reporting requirements based                                                                         commenter stated that the highest
                                                  on the comments we received with                        Need for Clarification
                                                                                                                                                                patient limit should be higher than 275.
                                                  respect to the SNPRM. HHS has also                        Comment: HHS received a comment                     Another commenter recommended that
                                                  updated Section 8.630 by adding the                     requesting clarification on how the                   there be no additional requirements
                                                  requirement proposed in the NPRM that                   information collected will be used.                   associated with increasing the patient
                                                  practitioners need to provide reports to                  Response: The information collected                 limit from 100 to 275. Other
                                                  SAMHSA as specified in Section 8.635                    through these reporting requirements                  commenters expressed concerns that the
                                                  to maintain their approval to treat up to               will enable HHS to assess compliance                  final rule does not require practitioners
                                                  275 patients.                                           with the requirements of 42 CFR part 8,               to ensure patients receive the full array
                                                     HHS has responded to the comments                    subpart F.                                            of services, prevent diversion, or follow
                                                  received in response to the March 2016                    Comment: HHS received a comment                     nationally recognized evidence-based
                                                  NPRM and this SNPRM, and provided                       requesting clarification on how to                    guidelines. An additional commenter
                                                  an explanation of each of the changes                   calculate the numbers for each reporting              recommended that SAMHSA audit
                                                  made to the proposed rule in the                        requirement.                                          practitioners to ensure that they are in
                                                  preamble.                                                 Response: Guidance on how to                        compliance with the rule. A final
                                                  II. Provisions of the Proposed Rule and                 calculate the numbers for each reporting              commenter requested clarification
                                                  Analysis and Reponses to Public                         requirement will be issued by HHS.                    regarding whether hospitalists who
asabaliauskas on DSK3SPTVN1PROD with RULES




                                                  Comments                                                  Comment: HHS received a comment                     work in an acute inpatient hospital
                                                                                                          requesting clarification on whether the               facility are eligible for the higher patient
                                                  A. General Comments                                     requirements apply to all practitioners               limit because they do not track patients
                                                    HHS received numerous comments                        approved for the higher limit, or only                after they are discharged.
                                                  providing support for the proposed                      those who qualify with the qualified                     Response: Comments related to the
                                                  reporting requirements. Commenters                      practice setting criteria.                            final rule, Medication Assisted
                                                  stated that the requirements would be                     Response: The reporting requirements                Treatment for Opioid Use Disorders,
                                                  particularly valuable in minimizing                     apply to all practitioners who are                    that do not directly relate to the


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                                                                   Federal Register / Vol. 81, No. 187 / Tuesday, September 27, 2016 / Rules and Regulations                                       66193

                                                  proposed reporting requirements which                   therefore, will not be addressed in this              how psychosocial and case management
                                                  were the subject of the SNPRM, are                      preamble.                                             services are defined and another
                                                  outside the scope of this final rule and                                                                      commenter requested clarification on
                                                                                                          B. Subpart F
                                                  will not be addressed in this preamble.                                                                       how clinical status is defined. Another
                                                                                                            The average monthly caseload of                     commenter stated that psychosocial or
                                                  Access to Buprenorphine                                 patients receiving buprenorphine-based                case management services are not
                                                     HHS received several comments                        MAT, per year.                                        required or normative according to the
                                                  pertaining to access to buprenorphine.                    Comments: HHS received a comment                    evidence base. Another commenter
                                                  One comment expressed concerns about                    recommending that the first proposed                  expressed concerns that this reporting
                                                  the impact of workforce shortages on                    reporting requirement, ‘‘The average                  requirement will require patients to
                                                  access, and another commenter stated                    monthly caseload of patients receiving                receive behavioral health services, but
                                                  that clinical pharmacists should be                     buprenorphine-based MAT, per year’’ be                many will be unable to do so and will,
                                                  allowed to prescribe buprenorphine,                     replaced with the following two                       therefore, refuse treatment. An
                                                  which would increase access. An                         questions: ‘‘(1) For the final 3 months of            additional commenter stated that this
                                                  additional commenter recommended                        the reporting year, what was the average              proposed requirement is irrelevant
                                                  that HHS work with stakeholders to                      monthly caseload of patients receiving                because so many patients receive
                                                  explore mechanisms to address systemic                  buprenorphine-based MAT? and (2) Are                  services from a 12-step program.
                                                  barriers.                                               you currently accepting new opioid use
                                                                                                                                                                   Commenters provided several
                                                     Response: These comments do not                      disorder patients requiring MAT?’’
                                                                                                            An additional commenter                             suggestions for alternative reporting
                                                  relate to the reporting requirements
                                                                                                          recommended that HHS collect the                      requirements about psychosocial and
                                                  under 42 CFR part 8, subpart F, and
                                                                                                          following baseline data points: Total                 case management services. One
                                                  therefore, will not be addressed in this
                                                                                                          number of patients admitted that year,                commenter suggested that practitioners
                                                  preamble.
                                                                                                          total number of patients carried over                 be required to report the percentage of
                                                  Comprehensive Addiction and Recovery                    from the previous year, and total                     patients who had one hour of
                                                  Act of 2016                                             number of patients discharged.                        counseling in the past month. Another
                                                    Comments: HHS received a small                          Response: HHS recognized that asking                commenter recommended that the
                                                  number of comments about the                            practitioners to calculate and report                 reporting requirement be divided into
                                                  Comprehensive Addiction and Recovery                    averages could be burdensome and has,                 two separate measures: ‘‘(1) The number
                                                  Act of 2016 (CARA). One commenter                       therefore, changed this reporting                     referred to psychosocial or case
                                                  asked whether physician assistants and                  requirement. The revised text now asks                management services, and (2) the
                                                  nurse practitioners are required to                     practitioners to report annual caseloads              number who actually received
                                                  report quality and patient outcomes                     of patients by month. By seeking                      psychosocial or case management
                                                  data. Another commenter requested                       information on the annual caseload of                 services.’’ An additional commenter
                                                  additional information on training                      patients by month, HHS believes this                  recommended that the proposed
                                                  requirements.                                           updated reporting requirement, as                     reporting requirement be replaced with
                                                    Response: Comments related to CARA                    further elaborated upon in the proposed               the following two questions: ‘‘(1) The
                                                  do not relate to the reporting                          report form instructions, will strike the             percentage of patients receiving
                                                  requirements, and therefore, will not be                appropriate balance between collecting                psychosocial counseling and/or other
                                                  addressed in this preamble.                             valuable information needed to assess                 appropriate support services; and (2)
                                                                                                          compliance with the rule and avoiding                 The percentage of patients receiving
                                                  Other Comments                                                                                                case management services.’’ Another
                                                                                                          undue burden to practitioners.
                                                     Comments: HHS received a number of                                                                         commenter recommended that the
                                                  comments that did not relate to                         Summary of Regulatory Changes                         proposed reporting requirement be
                                                  reporting requirements, including a                        For the reasons set forth in the                   replaced with: ‘‘(1) The number of
                                                  comment about the impact of the Drug                    proposed rule and considering the                     patients who were provided
                                                  Enforcement Administration’s (DEAs)                     comments received, HHS replaced this                  psychosocial or case management
                                                  narcotic prescribing guidelines on the                  reporting requirement with one that                   services at the same location as the
                                                  rights of people living with chronic                    asks the practitioner to report annual                practitioner, and how frequently those
                                                  pain, a comment about the impact of                     caseload of patients by month.                        patients utilized the services; and (2) the
                                                  negative perceptions on individuals                        Percentage of active buprenorphine                 number of patients the practitioner
                                                  who receive MAT, a comment about the                    patients (patients in treatment as of                 referred for psychosocial or case
                                                  importance of ensuring that Drug                        reporting date) that received                         management services at a different
                                                  Addiction Treatment Act of 2000                         psychosocial or case management                       location.’’ An additional commenter
                                                  (DATA 2000) patients receive                            services (either by direct provision or by            recommended that practitioners be
                                                  behavioral support services, a comment                  referral) in the past year due to: (1)                required to report on the number of
                                                  that the proposed reporting                             Treatment initiation and (2) Change in                patients who were provided counseling
                                                  requirements would also be beneficial                   clinical status.                                      services at the same location as the
                                                  for those practitioners who are not                        Comments: HHS received numerous                    practitioner and how frequently those
                                                  seeking the higher patient limit increase               comments about the second proposed                    patients utilized the counseling
                                                  but treat individuals with opioid use                   reporting requirement, ‘‘Percentage of                services. One commenter also
asabaliauskas on DSK3SPTVN1PROD with RULES




                                                  disorders, a comment to combine the                     active buprenorphine patients (patients               recommended that practitioners be
                                                  existing opioid treatment program                       in treatment as of reporting date) that               required to provide information on the
                                                  reporting requirements with those stated                received psychosocial or case                         frequency, location, and type of
                                                  in this final rule, and a comment about                 management services (either by direct                 psychosocial services provided. Another
                                                  the importance of coordination across                   provision or by referral) in the past year            commenter recommended that
                                                  HHS.                                                    due to: (1) Treatment initiation and (2)              practitioners be required to report
                                                     Response: These comments do not                      Change in clinical status.’’ One                      whether the referral was to a more
                                                  relate to the reporting requirements, and               commenter requested clarification on                  intensive or less intensive level of care.


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                                                  66194            Federal Register / Vol. 81, No. 187 / Tuesday, September 27, 2016 / Rules and Regulations

                                                  Finally, one commenter recommended                      that SAMHSA provide guidelines for                    it suggests that buprenorphine treatment
                                                  HHS collect data on referrals and                       practitioners to develop diversion                    is temporary and/or that individuals
                                                  behavioral health service provision                     control plans. Another commenter                      who receive it are not in recovery. One
                                                  using a six-point Likert scale.                         suggested that HHS require practitioners              commenter expressed concern with the
                                                    Response: This reporting requirement                  with a waiver under DATA 2000 to                      third and fourth item, noting that it is
                                                  has been revised and now asks the                       participate in PDMPs. Several                         difficult to differentiate between these
                                                  practitioner to report on the number of                 commenters also recommended that                      two subsets of patients. Some
                                                  patients provided behavioral health                     HHS ask about the number of patients                  commenters expressed that it is difficult
                                                  services and referred to behavioral                     who received urine drug screens, the                  to determine what number of patients
                                                  health services. By seeking information                 results of drug screens, and the number               ‘‘sustain recovery’’ and that SAMHSA
                                                  on the number of patients that were                     of patients who received call-backs for               should provide guidance on what
                                                  provided services and referred for                      pill counts. Several commenters noted                 constitutes an appropriate course of
                                                  behavioral health services, HHS believes                that not every practitioner has access to             treatment. Another commenter stated
                                                  this updated reporting requirement, as                  a PDMP and encouraged HHS to use                      that a practitioner is unable to control
                                                  further elaborated upon in the report                   language that would apply in those                    whether a patient follows through on a
                                                  form instructions, will strike the                      situations. Finally, one commenter                    referral.
                                                  appropriate balance between collecting                  recommended that HHS ask about                           Other commenters recommended
                                                  valuable information needed to assess                   PDMP use and drug-use monitoring                      alternative questions to ask for this
                                                  compliance with the rule and avoiding                   screening tests using a six-point Likert              proposed reporting requirement,
                                                  undue burden to practitioners.                          scale.                                                including: The percentage of patients
                                                                                                             Response: The intention of including               who are prescribed an average dose of
                                                  Summary of Regulatory Changes
                                                                                                          PDMP queries was to assess a                          16 mg or less; the percentage of patients
                                                     For the reasons set forth in the                     practitioner’s compliance with the rule’s             who left treatment because the
                                                  proposed rule and considering the                       requirements related to a diversion                   practitioner terminated treatment due to
                                                  comments received, HHS replaced the                     control plan. In light of the comments                non-compliance; patient mortality rates;
                                                  second reporting requirement with one                   received, which focused more broadly                  the number of patients who left
                                                  that requires the practitioner to report                on various aspects of diversion control,              treatment because of the financial cost
                                                  on the number of patients provided                      HHS determined that the best way to                   of treatment; and the number of patients
                                                  behavioral health services and referred                 satisfy the intent of the proposal and                who left treatment to receive treatment
                                                  to behavioral health services.                          assess compliance is to seek information              in an either higher or lower intensity
                                                     Percentage of patients who had a                     about the features of the practitioner’s              setting or were deemed successful.
                                                  prescription drug monitoring program                    diversion control plan, as required in                   Another commenter stated that the
                                                  query in the past month.                                § 8.620, more generally.                              data collected in this reporting
                                                     Comments: HHS received several                                                                             requirement should not include those
                                                  comments about the proposed reporting                   Summary of Regulatory Changes
                                                                                                                                                                lost to follow-up or relapse. Finally, an
                                                  requirement, ‘‘Percentage of patients                      For the reasons set forth in the                   additional commenter stated that some
                                                  who had a PDMP query in the past                        proposed rule and considering the                     patients at the commenter’s facility
                                                  month.’’ One commenter stated that this                 comments received, HHS modified the                   graduate from treatment and only use
                                                  data would not be informative because                   third reporting requirement to require                counselors as needed. The commenter
                                                  his practice conducts these queries for                 the practitioner to report on the features            stressed that these patients should not
                                                  all patients. This commenter also stated                of his or her diversion control plan.                 be counted as patients not receiving
                                                  that the state PDMP should provide this                    Number of patients at the end of the               treatment.
                                                  information instead. Another                            reporting year who: (1) Have completed                   Response: HHS determined that the
                                                  commenter suggested that the PDMP                       an appropriate course of treatment with               proposed requirement will be too
                                                  query should take place quarterly. An                   buprenorphine in order for the patient                burdensome for practitioners. Therefore,
                                                  additional commenter stated that HHS                    to achieve and sustain recovery; (2) Are              HHS is not including this reporting
                                                  should identify a way to collect similar                not being seen by the practitioner due to             requirement in Subpart F.
                                                  data in Missouri, which does not have                   referral by the practitioner to a more or
                                                  a PDMP. One commenter recommended                       less intensive level of care; (3) No longer           Additional Reporting Requirements
                                                  that practitioners also be asked about                  desire to continue use of buprenorphine;                Comments: HHS received several
                                                  the number of patients who had a PDMP                   and (4) Are no longer receiving                       comments recommending additional
                                                  query before the prescriptions were                     buprenorphine for reasons other than                  reporting requirements for practitioners.
                                                  filled.                                                 1–3.                                                  One commenter recommended that the
                                                     Another commenter stated that                           Comments: HHS received numerous                    reporting requirements focus on quality
                                                  practitioners receive alerts from local                 comments about the proposed reporting                 measures rather than process measures.
                                                  pharmacies and the State if a patient                   requirement, ‘‘Number of patients at the              Another commenter recommended that
                                                  receiving buprenorphine attempts to fill                end of the reporting year who: (1) Have               HHS create a core set of requirements
                                                  another opioid prescription by any                      completed an appropriate course of                    that practitioners attest to on an annual
                                                  practitioner, and asked whether this                    treatment with buprenorphine in order                 basis, which could include both quality
                                                  information could be used as a response                 for the patient to achieve and sustain                and process measures.
                                                  for this reporting requirement. The                     recovery; (2) Are not being seen by the                 Other commenters recommended
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                                                  commenter noted that they do not                        practitioner due to referral by the                   HHS collect data on: The amount of
                                                  routinely run PDMP data on patients                     practitioner to a more or less intensive              buprenorphine that patients receive; the
                                                  receiving buprenorphine, but do query                   level of care; (3) No longer desire to                number of times they receive
                                                  PDMP data for every controlled                          continue use of buprenorphine; and (4)                buprenorphine; the number of active
                                                  substance refilled by phone.                            Are no longer receiving buprenorphine                 patients for whom third party
                                                     HHS also received several comments                   for reasons other than 1–3.’’ A large                 reimbursement was provided; patient
                                                  focused more broadly on diversion                       number of commenters expressed                        mortality rates; frequency of patient
                                                  control. One commenter recommended                      concern with the first item, noting that              visits; and the percentage of


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                                                                      Federal Register / Vol. 81, No. 187 / Tuesday, September 27, 2016 / Rules and Regulations                                          66195

                                                  prescriptions written for less than 30                      practitioners can submit the required                    Comments: HHS received comments
                                                  days, 30–59 days, 60–89 days, and 90                        data.                                                 recommending collecting reporting data
                                                  days or more.                                                  Response: HHS will explore                         from practitioners more than once per
                                                     Response: Because HHS aims to strike                     developing a form that can be submitted               year.
                                                  the appropriate balance between                             electronically through which                             Response: HHS believes that requiring
                                                  collecting valuable information to assess                   practitioners can submit the required                 practitioners to submit data more than
                                                  compliance with Subpart F and                               data.                                                 once per year would be unduly
                                                  minimizing the burden on practitioners,                        Comments: HHS received several                     burdensome.
                                                  these proposed reporting requirements                       comments recommending HHS convene
                                                  will not be added. HHS believes that the                    an expert panel to review and re-                     III. Collection of Information
                                                  requirements included in this final rule                    evaluate the reporting requirements                   Requirements
                                                  are sufficient to ensure compliance with                    either prior to adoption or after the first              The SNPRM called for new
                                                  the assurances to which the practitioner                    reporting period.                                     collections of information under the
                                                  attests to in the Request for Patient                          Response: HHS received numerous                    Paperwork Reduction Act of 1995. The
                                                  Limit Increase.                                             public comments regarding the                         final rule calls for much of the same
                                                                                                              reporting requirements during the                     collections of information as the
                                                  Alternative Ways To Meet and Provide                        comment period for the Medication
                                                  Reporting Requirements                                                                                            SNPRM. As defined in implementing
                                                                                                              Assisted Treatment for Opioid Use                     regulations, ‘‘collection of information’’
                                                     Comments: HHS received a number of                       Disorders NPRM (published in March                    comprises reporting, recordkeeping,
                                                  comments proposing alternative ways to                      2016), and during the comment period                  monitoring, posting, labeling, and other
                                                  collect data from practitioners. One                        for the reporting requirements proposed               similar actions. In this section, HHS first
                                                  commenter suggested that HHS obtain                         in the SNPRM (published in July 2016).                identifies and describes the types of
                                                  information by adding questions about                       These comments were received from a                   information waivered practitioners must
                                                  psychosocial treatment to DEA’s                             variety of stakeholders, including                    collect and report and then HHS
                                                  questions as an alternative to the                          experts in the field. Therefore, HHS                  provides an estimate of the total annual
                                                  proposed reporting requirements.                            does not believe that convening an                    burden. The estimate covers the
                                                  Another commenter stated that the DEA                       expert panel is necessary to ensure that              employees’ time for reviewing and
                                                  audit program should be sufficient to                       the reporting requirements are                        posting the collections required.
                                                  ensure compliance. Other commenters                         appropriate.
                                                  suggested that data could be obtained                          Comment: HHS received a comment                       Title: Medication Assisted Treatment
                                                  from the state PDMP, from electronic                        recommending that reporting                           for Opioid Use Disorders Reporting
                                                  medical record systems, or from                             requirements be voluntary.                            Requirements.
                                                  insurance claims data. Finally one                             Response: HHS believes that making                    Reporting, 42 CFR 8.635: Reporting
                                                  commenter recommended HHS                                   these requirements voluntary would                    will be required annually to assess
                                                  incorporate these reporting                                 dramatically compromise the quality                   compliance with the requirements of 42
                                                  requirements into the set of measures                       and amount of data received. Therefore,               CFR part 8, subpart F. Reporting
                                                  associated with financial incentives                        HHS will make these requirements                      requirements will include a request for
                                                  under the Centers for Medicare &                            mandatory in order to ensure that HHS                 information regarding: (1) Annual
                                                  Medicaid Services’ new Medicare                             is able to assess compliance with the                 caseload of patients by month; (2)
                                                  Incentive Payment System’s program.                         requirements of 42 CFR part 8, subpart                number of patients provided behavioral
                                                     Response: The proposed alternative                       F.                                                    health services and referred to
                                                  ways to collect data from practitioners                        Comment: HHS received a comment                    behavioral health services; and (3)
                                                  will not generate all of the information                    recommending using the reporting                      features of the practitioner’s diversion
                                                  HHS is seeking through the proposed                         requirement information to determine                  control plan. These requirements will be
                                                  reporting requirements. Therefore, HHS                      whether practitioners with the 100-                   further specified in the report form
                                                  will not collect the data using any of                      patient waiver should be able to                      instructions to be issued after
                                                  these approaches.                                           increase their patient limit to 275.                  finalization of this rule.
                                                     Comments: HHS received several                              Response: Practitioners who are                       Annual burden estimates for these
                                                  comments recommending that there be                         subject to the 100-patient limit are not              requirements are summarized in the
                                                  an electronic form through which                            required to report data.                              following table:

                                                                                                                                                   Burden/                             Hourly wage   Total wage
                                                     42 CFR                                                Number of        Responses/                            Total burden
                                                                        Purpose of submission                                                     response                                cost          cost
                                                     citation                                             respondents       respondent                               (hrs.)
                                                                                                                                                     (hr.)                                 ($)           ($)

                                                  8.635 ...........    Annual Report .................       1,350                 1                   3              4,050              $64.47      $261,104



                                                    Comment: HHS received a comment                           this estimate can be found below in the               (Pub. L. 96–354, September 19, 1980),
                                                  stating that the estimated burden of                        Regulatory Impact Analysis.                           the Unfunded Mandates Reform Act of
                                                  three hours per year is inaccurate.                                                                               1995 (Pub. L. 104–4, March 22, 1995),
                                                                                                              IV. Regulatory Impact Analysis
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                                                    Response: While the commenter                                                                                   and Executive Order 13132 on
                                                  stated that the estimated burden of three                      HHS has examined the impact of this                Federalism (August 4, 1999). HHS has
                                                  hours per year is inaccurate, the                           final rule under Executive Order 12866                determined that this final rule is not a
                                                                                                              on Regulatory Planning and Review                     significant regulatory action as defined
                                                  commenter did not provide evidence to
                                                                                                              (September 30, 1993), Executive Order                 by Executive Order 12866, and will not
                                                  support their claim. As a result, HHS
                                                                                                              13563 on Improving Regulation and                     have a significant economic impact on
                                                  retains the original estimate of three
                                                                                                              Regulatory Review (January 18, 2011),                 a substantial number of small entities.
                                                  hours per year. More information on                         the Regulatory Flexibility Act of 1980                Although the reporting requirements


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                                                  66196               Federal Register / Vol. 81, No. 187 / Tuesday, September 27, 2016 / Rules and Regulations

                                                  have changed since the proposed rule,                                        for the reporting requirement can be                                     of 1 hour of a practitioner’s time plus 2
                                                  they have not done so in a way that                                          pulled directly from an electronic or                                    hours of an administrator’s time.
                                                  would alter their estimated impact. As                                       paper health record, and that                                               As noted above, using the mid-point
                                                  described below, the estimated costs                                         practitioners will not have to update                                    estimate, we estimate that 1,150
                                                  associated with this final rule are below                                    their record-keeping practices after                                     practitioners will request approval for
                                                  one million dollars each year, and the                                       receiving approval to treat up to 275                                    the 275-patient limit in year 1 and 200
                                                  estimated per-practitioner burden is                                         patients. We estimate that compiling                                     practitioners will request a 275-patient
                                                  three hours annually, supporting the                                         and submitting the report would require                                  waiver in subsequent years. We assume
                                                  conclusion that this rule will not have                                      approximately 1 hour of physician time                                   that all of these requests will be
                                                  a significant economic impact on a                                           and 2 hours of administrative time.                                      approved. The costs associated with this
                                                  substantial number of small entities.                                        According to the U.S. Bureau of Labor                                    reporting requirement are reported
                                                     Under this final rule practitioners                                       Statistics, the average medical and                                      below. In addition, it is estimated that
                                                  approved to treat up to 275 patients will                                    health services manager’s hourly pay in                                  SAMHSA will incur a cost of $100 per
                                                  have to submit information about their                                                                                                                practitioner approved for the 275-
                                                                                                                               2014 was $49.84, and the average hourly
                                                  practice annually to SAMHSA for                                                                                                                       patient limit to process the practitioner
                                                                                                                               wage for a physician was $93.74. After
                                                  purposes of monitoring regulatory                                                                                                                     data reporting requirement. These costs
                                                                                                                               adjusting upward by 100 percent to
                                                  compliance. The goal of the reporting                                                                                                                 are reported below as well.
                                                                                                                               account for overhead and benefits, these
                                                  requirement is to ensure that                                                                                                                            We assume DEA will not incur
                                                                                                                               wages correspond to a cost of $99.68
                                                  practitioners are providing                                                                                                                           additional costs in association with this
                                                  buprenorphine treatment in compliance                                        and $187.48 per hour, respectively. The                                  final rule as DEA will incorporate site
                                                  with the final rule Medication Assisted                                      cost of this reporting requirement per                                   visits for practitioners with the 275-
                                                  Treatment for Opioid Use Disorders (81                                       practitioner approved for the 275-                                       patient limit into their regular site visit
                                                  FR 44711). It is anticipated that the data                                   patient limit is estimated to be the cost                                schedule.

                                                                                                                                                                                                 Number of          Physician costs    SAMHSA costs
                                                                                                                                                                                              physician reports

                                                  Year   1   ..............................................................................................................................              1,150             $445,000           $115,000
                                                  Year   2   ..............................................................................................................................              1,350              522,000            135,000
                                                  Year   3   ..............................................................................................................................              1,550              600,000            155,000
                                                  Year   4   ..............................................................................................................................              1,750              677,000            175,000
                                                  Year   5   ..............................................................................................................................              1,950              754,000            195,000



                                                  List of Subjects in 42 CFR Part 8                                            § 8.635 What are the reporting                                              (d) Discrepancies. SAMHSA may
                                                                                                                               requirements for practitioners whose                                     check reports from practitioners
                                                    Health professions, Methadone,                                             Request for Patient Limit Increase is                                    prescribing under the higher patient
                                                  Reporting and recordkeeping                                                  approved?
                                                  requirements.                                                                                                                                         limit against other data sources to the
                                                                                                                                 (a) General. All practitioners whose                                   extent allowable under applicable law.
                                                    For the reasons stated in the                                              Request for Patient Limit Increase is                                    If discrepancies between reported
                                                  preamble, HHS amends 42 CFR part 8                                           approved under § 8.625 must submit to                                    information and other data are
                                                  as follows:                                                                  SAMHSA annually a report along with                                      identified, SAMHSA may require
                                                                                                                               documentation and data, as requested                                     additional documentation from the
                                                  PART 8—MEDICATION ASSISTED                                                   by SAMHSA, to demonstrate
                                                  TREATMENT FOR OPIOID USE                                                                                                                              practitioner.
                                                                                                                               compliance with applicable provisions
                                                  DISORDERS                                                                    in §§ 8.610, 8.620, and 8.630.                                             (e) Noncompliance. Failure to submit
                                                                                                                                 (b) Schedule. The report must be                                       reports under this section, or deficient
                                                  ■ 1. The authority citation for part 8                                       submitted within 30 days following the                                   reports, may be deemed a failure to
                                                  continues to read as follows:                                                anniversary date of a practitioner’s                                     satisfy the requirements for a patient
                                                    Authority: 21 U.S.C. 823; 42 U.S.C. 257a,                                  Request for Patient Limit Increase                                       limit increase, and may result in the
                                                  290bb–2a, 290aa(d), 290dd–2, 300x–23,                                        approval under § 8.625, and during this                                  withdrawal of SAMHSA’s approval of
                                                  300x–27(a), 300y–11.                                                         period on an annual basis thereafter or                                  the practitioner’s Request for Patient
                                                  ■ 2. Amend § 8.630 by adding paragraph                                       on another annual schedule as                                            Limit Increase.
                                                  (b) to read as follows:                                                      determined by SAMHSA.                                                      Dated: September 21, 2016.
                                                                                                                                  (c) Content of the Annual Report. The                                 Kana Enomoto,
                                                  § 8.630 What must practitioners do in                                        report shall include information
                                                  order to maintain their approval to treat up                                                                                                          Principal Deputy Administrator, Substance
                                                                                                                               concerning the following, as further
                                                  to 275 patients?                                                                                                                                      Abuse and Mental Health Services
                                                                                                                               detailed in report form instructions
                                                  *     *     *     *    *                                                                                                                              Administration.
                                                                                                                               issued by the Secretary:
                                                    (b) All practitioners whose Request                                                                                                                   Approved: September 22, 2016.
                                                                                                                                  (1) The annual caseload of patients by
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                                                  for Patient Limit Increase has been                                          month.                                                                   Sylvia M. Burwell,
                                                  approved under § 8.625 must provide                                             (2) Numbers of patients provided                                      Secretary, Department of Health and Human
                                                  reports to SAMHSA as specified in                                            behavioral health services and referred                                  Services.
                                                  § 8.635.                                                                     to behavioral health services.                                           [FR Doc. 2016–23277 Filed 9–23–16; 4:15 pm]
                                                  ■ 3. Add § 8.635 to read as follows:                                            (3) Features of the practitioner’s                                    BILLING CODE 4162–20–P
                                                                                                                               diversion control plan.




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Document Created: 2016-09-27 01:19:11
Document Modified: 2016-09-27 01:19:11
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal rule.
ContactJinhee Lee, Pharm.D., Public Health Advisor, Center for Substance Abuse Treatment, 240-276-2700
FR Citation81 FR 66191 
RIN Number0930-AA22
CFR AssociatedHealth Professions; Methadone and Reporting and Recordkeeping Requirements

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