In the balance: No new diagnosis needed in addition to opioid use disorder to study harms associated with long-term opioid therapy

IF 5.2 1区 医学 Q1 PSYCHIATRY
Addiction Pub Date : 2023-09-27 DOI:10.1111/add.16349
Karen Drexler, Ellen L. Edens, Jodie A. Trafton, Wilson M. Compton
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Diagnostic and Statistical Manual of Mental Disorders, 5th edition (DSM-5) criteria for OUD better describe opioid-related risks than a new diagnosis exclusively for patients prescribed LTOT.</p><p>Decades of research on current and previous DSM criteria support the validity of the OUD diagnosis. Previous editions of the DSM contained two forms of substance use disorders (SUD)—‘substance abuse’ (diagnosed by meeting one of four criteria) and ‘substance dependence’ (diagnosed by meeting three of seven additional criteria including ‘tolerance’ and ‘withdrawal’). The DSM-5 workgroup found no clustering of specific criteria such as ‘loss of control’ with the more severe end of the SUD spectrum [<span>2</span>]. Rather, increasing numbers of criteria met indicated increasing severity of SUD. In DSM-5, an exception was made to exclude ‘tolerance’ and ‘withdrawal’ when diagnosing OUD if opioids are taken ‘under appropriate medical supervision’ [<span>3</span>]. This exclusion was created to avoid an OUD diagnosis in patients prescribed LTOT because these signs are routinely expected. The exclusion was not because these signs did not predict harm or correlate with other OUD criteria.</p><p>Both elements of the proposed new LTOT diagnosis are already described by DSM-5 OUD criteria 2 and 9 (see Table 1). ‘Difficulty tapering LTOT’ is indistinguishable from DSM-5 OUD criterion 2 ‘unsuccessful efforts to cut down or control opioid use’. In those with OUD, difficulty cutting down or discontinuing opioid use is driven both by a desire for the positive effects of intoxication and by an imperative to avoid withdrawal and other aversive symptoms such as pain. As tolerance increases, these aversive symptoms are exacerbated during withdrawal. Gradually, avoidance of withdrawal-associated discomfort becomes the major driver for continued substance use [<span>4</span>].</p><p>Criterion 9 states that one continues opioid use ‘despite knowledge of having a persistent or recurrent physical or psychological problem that is likely to have been caused or exacerbated by the substance’; that is, patients continue opioid use although ‘benefits do not outweigh harms’. Clinically, this occurs when patients, after being informed of LTOT harms and risks and evidence of low benefit, nonetheless decline a change in opioid prescribing. If OUD criteria 2 and 9 are present, then a diagnosis of mild OUD is indicated and sufficient for medication treatment (e.g. buprenorphine). The proposal to create a new diagnosis that includes two of the 11 DSM-5 SUD criteria may have unintended consequences including underestimating opioid-related harms, undermining informed consent for pain treatment and further disenfranchising those with illicit OUD.</p><p>There is urgent need to help clinicians and patients determine harms and benefits of LTOT for chronic pain. This is best done by following the 2022 Centers for Disease Control and Prevention (CDC) Guidelines for Prescribing Opioids for Pain Recommendation 12 to use DSM-5 OUD criteria [<span>5</span>]. Research determining harms would be enhanced by systematically assessing all 11 DSM-5 SUD criteria in patients receiving LTOT. Assessing all 11 DSM-5 criteria including tolerance and withdrawal would provide insight into additional LTOT-related harms not assessed by the proposed new diagnosis and empirically test whether ‘tolerance’ and ‘withdrawal’ are associated with additional opioid-related harms in this population.</p><p>Patients who have difficulty tapering LTOT should receive seamless management by their opioid prescriber. The elimination of the waiver requirement to prescribe buprenorphine for OUD obviates the need for a new diagnosis, as now every United States (US) Drug Enforcement Administration-licensed provider can treat OUD.</p><p>It is essential that healthcare providers who prescribe LTOT for chronic pain and patients who receive LTOT understand the continuum between mild, moderate and severe OUD. The problem is not that DSM-5 does not adequately identify LTOT-related harms. Instead, the central problem is that the OUD diagnosis is misunderstood by both clinicians and patients to equate OUD with ‘addiction’—commonly regarded as an epithet rather than a substance-induced chronic illness. The DSM-5 specifically notes that ‘the term “substance use disorder” is used to describe the wide range of the disorder from a mild form to a severe state of chronically relapsing compulsive drug taking.’ By eliminating the potentially stigmatizing and misleading ‘abuse’ and ‘dependence’ nomenclature, DSM-5 already provides a reasonable home for this newly described non-stigmatizing LTOT subcategory within the broad category of OUD.</p><p>We assert that CDC recommendation 1 to inform patients of opioid-related risks would be best accomplished by informing patients of all 11 OUD criteria prior to initiating opioids. This would empower patients to make a better-informed choice about the risks of opioid analgesics, to alert their healthcare provider early of emerging signs and symptoms of OUD, and to collaborate to find better safer pain management strategies before they develop OUD. If despite following guidelines for safer opioid prescribing, patients develop an inability to reduce opioid use despite knowledge that opioid-related medical harms outweigh benefits, the discussion about medication treatment for OUD would be less difficult and more collaborative.</p><p>We propose that a separate diagnosis may cause public health harm, further stigmatizing people with OUD and widening healthcare disparities among vulnerable populations. If there is a silver lining to the opioid crisis, it is that the nation can no longer ignore OUD and its negative impact on individuals, families and communities, including reductions in life expectancy in the United States [<span>1</span>]. 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Creating a separate diagnosis for those with prescription OUD may undermine this singular benefit and increase disparities in care for those with illicit OUD who are disproportionately persons in minoritized communities.</p><p><b>Karen P Drexler:</b> Conceptualization (equal); project administration (lead); writing—original draft (lead); writing—review and editing (equal). <b>Ellen Lockard Edens:</b> Conceptualization (equal); writing—original draft (supporting); writing—review and editing (equal). <b>Jodie Anne Trafton:</b> Conceptualization (equal); writing—original draft (supporting); writing—review and editing (equal). <b>Wilson Compton:</b> Conceptualization (equal); writing—original draft (supporting); writing—review and editing (equal).</p><p>W.M.C. reports long-term holdings in General Electric Company, 3M Companies and Pfizer, Incorporated, unrelated to the present work. E.L.E is a member of the Advisory board of Aspire-365, a substance use disorder treatment company. 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引用次数: 0

Abstract

The inability to reduce or discontinue opioids when benefits do not outweigh harms is concerning and needs to be assessed in patients on long-term opioid therapy for pain (LTOT). Overwhelming evidence finds that increased opioid prescribing fueled by assurances that addiction is rare during LTOT has led to opioid-related harms including falls, overdoses, suicides and opioid use disorder (OUD) [1]. Diagnostic and Statistical Manual of Mental Disorders, 5th edition (DSM-5) criteria for OUD better describe opioid-related risks than a new diagnosis exclusively for patients prescribed LTOT.

Decades of research on current and previous DSM criteria support the validity of the OUD diagnosis. Previous editions of the DSM contained two forms of substance use disorders (SUD)—‘substance abuse’ (diagnosed by meeting one of four criteria) and ‘substance dependence’ (diagnosed by meeting three of seven additional criteria including ‘tolerance’ and ‘withdrawal’). The DSM-5 workgroup found no clustering of specific criteria such as ‘loss of control’ with the more severe end of the SUD spectrum [2]. Rather, increasing numbers of criteria met indicated increasing severity of SUD. In DSM-5, an exception was made to exclude ‘tolerance’ and ‘withdrawal’ when diagnosing OUD if opioids are taken ‘under appropriate medical supervision’ [3]. This exclusion was created to avoid an OUD diagnosis in patients prescribed LTOT because these signs are routinely expected. The exclusion was not because these signs did not predict harm or correlate with other OUD criteria.

Both elements of the proposed new LTOT diagnosis are already described by DSM-5 OUD criteria 2 and 9 (see Table 1). ‘Difficulty tapering LTOT’ is indistinguishable from DSM-5 OUD criterion 2 ‘unsuccessful efforts to cut down or control opioid use’. In those with OUD, difficulty cutting down or discontinuing opioid use is driven both by a desire for the positive effects of intoxication and by an imperative to avoid withdrawal and other aversive symptoms such as pain. As tolerance increases, these aversive symptoms are exacerbated during withdrawal. Gradually, avoidance of withdrawal-associated discomfort becomes the major driver for continued substance use [4].

Criterion 9 states that one continues opioid use ‘despite knowledge of having a persistent or recurrent physical or psychological problem that is likely to have been caused or exacerbated by the substance’; that is, patients continue opioid use although ‘benefits do not outweigh harms’. Clinically, this occurs when patients, after being informed of LTOT harms and risks and evidence of low benefit, nonetheless decline a change in opioid prescribing. If OUD criteria 2 and 9 are present, then a diagnosis of mild OUD is indicated and sufficient for medication treatment (e.g. buprenorphine). The proposal to create a new diagnosis that includes two of the 11 DSM-5 SUD criteria may have unintended consequences including underestimating opioid-related harms, undermining informed consent for pain treatment and further disenfranchising those with illicit OUD.

There is urgent need to help clinicians and patients determine harms and benefits of LTOT for chronic pain. This is best done by following the 2022 Centers for Disease Control and Prevention (CDC) Guidelines for Prescribing Opioids for Pain Recommendation 12 to use DSM-5 OUD criteria [5]. Research determining harms would be enhanced by systematically assessing all 11 DSM-5 SUD criteria in patients receiving LTOT. Assessing all 11 DSM-5 criteria including tolerance and withdrawal would provide insight into additional LTOT-related harms not assessed by the proposed new diagnosis and empirically test whether ‘tolerance’ and ‘withdrawal’ are associated with additional opioid-related harms in this population.

Patients who have difficulty tapering LTOT should receive seamless management by their opioid prescriber. The elimination of the waiver requirement to prescribe buprenorphine for OUD obviates the need for a new diagnosis, as now every United States (US) Drug Enforcement Administration-licensed provider can treat OUD.

It is essential that healthcare providers who prescribe LTOT for chronic pain and patients who receive LTOT understand the continuum between mild, moderate and severe OUD. The problem is not that DSM-5 does not adequately identify LTOT-related harms. Instead, the central problem is that the OUD diagnosis is misunderstood by both clinicians and patients to equate OUD with ‘addiction’—commonly regarded as an epithet rather than a substance-induced chronic illness. The DSM-5 specifically notes that ‘the term “substance use disorder” is used to describe the wide range of the disorder from a mild form to a severe state of chronically relapsing compulsive drug taking.’ By eliminating the potentially stigmatizing and misleading ‘abuse’ and ‘dependence’ nomenclature, DSM-5 already provides a reasonable home for this newly described non-stigmatizing LTOT subcategory within the broad category of OUD.

We assert that CDC recommendation 1 to inform patients of opioid-related risks would be best accomplished by informing patients of all 11 OUD criteria prior to initiating opioids. This would empower patients to make a better-informed choice about the risks of opioid analgesics, to alert their healthcare provider early of emerging signs and symptoms of OUD, and to collaborate to find better safer pain management strategies before they develop OUD. If despite following guidelines for safer opioid prescribing, patients develop an inability to reduce opioid use despite knowledge that opioid-related medical harms outweigh benefits, the discussion about medication treatment for OUD would be less difficult and more collaborative.

We propose that a separate diagnosis may cause public health harm, further stigmatizing people with OUD and widening healthcare disparities among vulnerable populations. If there is a silver lining to the opioid crisis, it is that the nation can no longer ignore OUD and its negative impact on individuals, families and communities, including reductions in life expectancy in the United States [1]. Adding a new diagnosis in an attempt to protect LTOT patients from stigma may have the unintended consequence of leaving those with more severe OUD behind while those with milder disease enjoy preferential access to life-saving medication. This moment in history offers an important opportunity to remove barriers to care for all patients who have opioid-related harms and yet cannot stop their opioid use without medication treatment. Creating a separate diagnosis for those with prescription OUD may undermine this singular benefit and increase disparities in care for those with illicit OUD who are disproportionately persons in minoritized communities.

Karen P Drexler: Conceptualization (equal); project administration (lead); writing—original draft (lead); writing—review and editing (equal). Ellen Lockard Edens: Conceptualization (equal); writing—original draft (supporting); writing—review and editing (equal). Jodie Anne Trafton: Conceptualization (equal); writing—original draft (supporting); writing—review and editing (equal). Wilson Compton: Conceptualization (equal); writing—original draft (supporting); writing—review and editing (equal).

W.M.C. reports long-term holdings in General Electric Company, 3M Companies and Pfizer, Incorporated, unrelated to the present work. E.L.E is a member of the Advisory board of Aspire-365, a substance use disorder treatment company. Other authors report no competing interests.

The findings and conclusions in this article are those of the authors and do not necessarily represent the official position of the National Institute on Drug Abuse, the National Institutes of Health, the US Department of Health and Human Services, or the US Department of Veterans Affairs.

平衡:除了阿片类药物使用障碍外,不需要新的诊断来研究与长期阿片类治疗相关的危害。
当阿片类药物利大于弊时无法减少或停用阿片类药物令人担忧,需要对长期接受阿片类药物治疗(LTOT)的疼痛患者进行评估。大量证据表明,由于阿片类药物在长期阿片类药物治疗(LTOT)期间极少成瘾,因此阿片类药物处方量的增加导致了与阿片类药物相关的伤害,包括跌倒、过量用药、自杀和阿片类药物使用障碍(OUD)[1]。与专门针对开具 LTOT 处方的患者的新诊断相比,《精神疾病诊断与统计手册》第五版(DSM-5)的 OUD 标准能更好地描述阿片类药物相关风险。以前版本的 DSM 包含两种形式的药物使用障碍 (SUD)--"药物滥用"(符合四项标准中的一项即可诊断)和 "药物依赖"(符合七项附加标准中的三项即可诊断,包括 "耐受 "和 "戒断")。DSM-5 工作组发现,"失控 "等特定标准并不与 SUD 病谱的严重程度相关[2]。相反,符合标准的数量越多,表明 SUD 的严重程度越高。在《DSM-5》中,如果阿片类药物是 "在适当的医疗监督下 "服用的,那么在诊断 OUD 时,"耐受 "和 "戒断 "被排除在外[3]。设立这一例外情况是为了避免在开具 LTOT 处方的患者中诊断出 OUD,因为这些症状是常规预期症状。拟议的新 LTOT 诊断的两个要素已在 DSM-5 OUD 标准 2 和 9 中有所描述(见表 1)。减量 LTOT 困难 "与 DSM-5 OUD 标准 2 "减少或控制阿片类药物使用的努力不成功 "没有区别。对于那些患有 OUD 的人来说,减少或停止使用阿片类药物的困难既是出于对麻醉的积极作用的渴望,也是出于避免戒断和其他厌恶症状(如疼痛)的迫切需要。随着耐受性的增加,这些厌恶症状在戒断时会加剧。标准 9 规定,"尽管知道持续或反复出现的生理或心理问题很可能是由该药物引起或加剧的",但仍继续使用阿片类药物;也就是说,尽管 "利大于弊",但患者仍继续使用阿片类药物。在临床上,当患者被告知LTOT的危害和风险以及低益处的证据后,仍然拒绝改变阿片类药物的处方时,就会出现这种情况。如果存在 OUD 标准 2 和 9,则可诊断为轻度 OUD,并足以进行药物治疗(如丁丙诺啡)。建立一个包含 11 个 DSM-5 SUD 标准中的两个标准的新诊断的建议可能会产生意想不到的后果,包括低估阿片类药物相关的危害、破坏疼痛治疗的知情同意以及进一步剥夺非法 OUD 患者的权利。要做到这一点,最好遵循 2022 年美国疾病控制和预防中心(CDC)《阿片类药物治疗疼痛处方指南》建议 12,使用 DSM-5 OUD 标准[5]。通过系统地评估接受 LTOT 患者的全部 11 项 DSM-5 SUD 标准,可以加强确定危害的研究。对包括耐受和戒断在内的所有 11 项 DSM-5 标准进行评估,将有助于深入了解拟议的新诊断未评估的与 LTOT 相关的其他危害,并通过经验检验 "耐受 "和 "戒断 "是否与该人群中阿片类药物相关的其他危害有关。由于取消了为 OUD 开丁丙诺啡处方的豁免要求,因此不再需要新的诊断,因为现在每个获得美国缉毒署许可的医疗服务提供者都可以治疗 OUD。问题并不在于 DSM-5 没有充分识别与 LTOT 相关的危害。相反,核心问题在于临床医生和患者对 OUD 诊断的误解,将 OUD 等同于 "成瘾"--通常被视为一种称谓,而不是一种由药物引起的慢性疾病。DSM-5 特别指出,"'药物使用障碍'一词用于描述从轻微形式到长期复发强迫性服药的严重状态等各种障碍。
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来源期刊
Addiction
Addiction 医学-精神病学
CiteScore
10.80
自引率
6.70%
发文量
319
审稿时长
3 months
期刊介绍: Addiction publishes peer-reviewed research reports on pharmacological and behavioural addictions, bringing together research conducted within many different disciplines. Its goal is to serve international and interdisciplinary scientific and clinical communication, to strengthen links between science and policy, and to stimulate and enhance the quality of debate. We seek submissions that are not only technically competent but are also original and contain information or ideas of fresh interest to our international readership. We seek to serve low- and middle-income (LAMI) countries as well as more economically developed countries. Addiction’s scope spans human experimental, epidemiological, social science, historical, clinical and policy research relating to addiction, primarily but not exclusively in the areas of psychoactive substance use and/or gambling. In addition to original research, the journal features editorials, commentaries, reviews, letters, and book reviews.
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