When harms outweigh benefits of long-term opioid therapy for pain: Need for a new diagnostic entity, research and improved treatments

IF 5.2 1区 医学 Q1 PSYCHIATRY
Addiction Pub Date : 2023-09-27 DOI:10.1111/add.16348
William C. Becker, Joseph W. Frank, Sara N. Edmond, Joanna L. Starrels
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Specifically at issue is the DSM-5 criterion of ‘persistent desire or unsuccessful efforts’ to reduce use. We posit that interpretation of this criterion is unclear and leads to confusion about when to diagnose OUD in the context of LTOT, causing negative consequences for patients and stymying treatment and research. We believe the best path forward is to revise DSM-5 to define a condition specific to LTOT with difficulty tapering (without otherwise meeting criteria for OUD).</p><p>Regarding unsuccessful efforts to cut down and its corollary ‘use for longer than intended’ in the context of LTOT, several points must be considered. First, ‘efforts’ may be driven by the prescriber, conducted at their pace, with prescribers having control rather than patients. Patients may lack desire to cut down, a wholly different scenario than that intended to be captured by the DSM-5, wherein individuals want to curtail substance use, but are unable to. Second, although tolerance and withdrawal were excluded from the DSM-5 definition in the context of LTOT because they are ‘normal, expected’ symptoms, this is also true of difficulty tapering. Prolonged exposure to opioids downregulates μ-opioid receptors, upregulates sympathomimetic hormones and alters in the hypogonadal-pituitary-adrenal axis. Disturbing homeostasis through tapering elicits predictable responses including fear, anxiety and other withdrawal symptoms. Therefore, as DSM-5 asserts tolerance and withdrawal symptoms during LTOT should not be counted when diagnosing OUD, we propose that neither should difficulty tapering.</p><p>A new diagnosis is needed that better aligns with patients' experience on LTOT; by defining and naming it, the field could more effectively conduct research to measure, prognosticate and treat it. To begin the process of consensus-generation on the diagnostic criteria for a new diagnosis, we engaged 38 multi-disciplinary experts in a Delphi study [<span>4, 5</span>]. Although this project will soon expand—because of a recent United States (US) National Institutes of Health award—to include persons with lived experience and a broader array of researchers, policymakers and clinicians, preliminary criteria include (1) benefits not outweighing harms of LTOT; (2) difficulty tapering; and (3) absence of loss of control, marked by overusing medications and running out of prescriptions early. Presence of loss of control would fulfill an OUD criterion.</p><p>Another advantage of a new diagnosis for this scenario is to avoid over-diagnosis of OUD. In a chart review study, Howell <i>et al</i>. [<span>6</span>] found that 29% of OUD diagnoses were likely invalid with a major source of misclassification being clinicians' use of OUD among patients on LTOT without documented issues of taking medications other than how prescribed. Consistent with Centers for Disease Control and Prevention guidelines, assessing LTOT's impact should revolve around comparing improved pain-related function (i.e. benefits) versus harms and should be collaborative and transparent. Should a taper falter, pushing an OUD diagnosis—by asserting the presence of loss of control when the patient has been largely adherent to the treatment plan—can be alienating for the patient and may derail the opportunity to make needed changes. Of course, if clear evidence of loss of control of opioid use emerges (e.g. self-escalating dose) an OUD diagnosis should be strongly considered. As such, we do not advocate for a new diagnosis to spare patients on LTOT the stigma of being correctly diagnosed with OUD; we advocate for a new diagnosis to avoid the stigmatizing and confusing experience of being incorrectly diagnosed with OUD.</p><p>Finally, we need a new diagnosis for this scenario to design studies that will generate evidence to improve quality of care. Guidelines recommend optimizing non-pharmacologic and non-opioid therapies and working with patients to taper LTOT, but these broad concepts need greater detail to help practicing clinicians. One approach, often helpful to improve pain and function while enhancing opioid safety is switching from LTOT to sublingual buprenorphine [<span>7</span>]. However, as sublingual buprenorphine is only approved by the US Food and Drug Administration (FDA) for OUD, prescribers seeking to use it to treat this scenario often face regulatory or insurance coverage barriers. Patients may reject it, not recognizing it as a treatment for their condition or may not be able to afford it.</p><p>One potential solution is for the FDA to expand the indication for sublingual buprenorphine to this scenario, a move we strongly support. It is encouraging that the US Department of Health and Human Services, which oversees the FDA, included switch to buprenorphine as a recommended approach among patients on LTOT for whom tapering is indicated, but not tolerated [<span>8</span>]. However, the FDA cannot approve a medication for an undefined indication; another reason to name this diagnosis and develop criteria for it. 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Frank:</b> Conceptualization (equal); writing—review and editing (supporting). <b>Sara N. Edmond:</b> Conceptualization (equal); writing—review and editing (supporting). <b>Joanna L. Starrels:</b> Conceptualization (equal); writing—review and editing (supporting).</p><p>None.</p>","PeriodicalId":109,"journal":{"name":"Addiction","volume":"119 1","pages":"4-5"},"PeriodicalIF":5.2000,"publicationDate":"2023-09-27","publicationTypes":"Journal Article","fieldsOfStudy":null,"isOpenAccess":false,"openAccessPdf":"https://onlinelibrary.wiley.com/doi/epdf/10.1111/add.16348","citationCount":"0","resultStr":null,"platform":"Semanticscholar","paperid":null,"PeriodicalName":"Addiction","FirstCategoryId":"3","ListUrlMain":"https://onlinelibrary.wiley.com/doi/10.1111/add.16348","RegionNum":1,"RegionCategory":"医学","ArticlePicture":[],"TitleCN":null,"AbstractTextCN":null,"PMCID":null,"EPubDate":"","PubModel":"","JCR":"Q1","JCRName":"PSYCHIATRY","Score":null,"Total":0}
引用次数: 0

Abstract

Given myriad harms and modest or absent benefit of long-term opioid therapy (LTOT) for chronic pain [1], guidelines recommend prescribers frequently reassess LTOT and, in a patient-centered fashion using shared-decision making, taper when harms outweigh benefit [2, 3]. When tapering is indicated, a subset of patients are unsuccessful; some experts suggest that struggling to taper represents impaired control over opioid use, a hallmark of opioid use disorder (OUD), described by the Diagnostic and Statistical Manual of Mental Disorders, 5th edition (DSM-5) as a problematic pattern of opioid use leading to problems or distress. Specifically at issue is the DSM-5 criterion of ‘persistent desire or unsuccessful efforts’ to reduce use. We posit that interpretation of this criterion is unclear and leads to confusion about when to diagnose OUD in the context of LTOT, causing negative consequences for patients and stymying treatment and research. We believe the best path forward is to revise DSM-5 to define a condition specific to LTOT with difficulty tapering (without otherwise meeting criteria for OUD).

Regarding unsuccessful efforts to cut down and its corollary ‘use for longer than intended’ in the context of LTOT, several points must be considered. First, ‘efforts’ may be driven by the prescriber, conducted at their pace, with prescribers having control rather than patients. Patients may lack desire to cut down, a wholly different scenario than that intended to be captured by the DSM-5, wherein individuals want to curtail substance use, but are unable to. Second, although tolerance and withdrawal were excluded from the DSM-5 definition in the context of LTOT because they are ‘normal, expected’ symptoms, this is also true of difficulty tapering. Prolonged exposure to opioids downregulates μ-opioid receptors, upregulates sympathomimetic hormones and alters in the hypogonadal-pituitary-adrenal axis. Disturbing homeostasis through tapering elicits predictable responses including fear, anxiety and other withdrawal symptoms. Therefore, as DSM-5 asserts tolerance and withdrawal symptoms during LTOT should not be counted when diagnosing OUD, we propose that neither should difficulty tapering.

A new diagnosis is needed that better aligns with patients' experience on LTOT; by defining and naming it, the field could more effectively conduct research to measure, prognosticate and treat it. To begin the process of consensus-generation on the diagnostic criteria for a new diagnosis, we engaged 38 multi-disciplinary experts in a Delphi study [4, 5]. Although this project will soon expand—because of a recent United States (US) National Institutes of Health award—to include persons with lived experience and a broader array of researchers, policymakers and clinicians, preliminary criteria include (1) benefits not outweighing harms of LTOT; (2) difficulty tapering; and (3) absence of loss of control, marked by overusing medications and running out of prescriptions early. Presence of loss of control would fulfill an OUD criterion.

Another advantage of a new diagnosis for this scenario is to avoid over-diagnosis of OUD. In a chart review study, Howell et al. [6] found that 29% of OUD diagnoses were likely invalid with a major source of misclassification being clinicians' use of OUD among patients on LTOT without documented issues of taking medications other than how prescribed. Consistent with Centers for Disease Control and Prevention guidelines, assessing LTOT's impact should revolve around comparing improved pain-related function (i.e. benefits) versus harms and should be collaborative and transparent. Should a taper falter, pushing an OUD diagnosis—by asserting the presence of loss of control when the patient has been largely adherent to the treatment plan—can be alienating for the patient and may derail the opportunity to make needed changes. Of course, if clear evidence of loss of control of opioid use emerges (e.g. self-escalating dose) an OUD diagnosis should be strongly considered. As such, we do not advocate for a new diagnosis to spare patients on LTOT the stigma of being correctly diagnosed with OUD; we advocate for a new diagnosis to avoid the stigmatizing and confusing experience of being incorrectly diagnosed with OUD.

Finally, we need a new diagnosis for this scenario to design studies that will generate evidence to improve quality of care. Guidelines recommend optimizing non-pharmacologic and non-opioid therapies and working with patients to taper LTOT, but these broad concepts need greater detail to help practicing clinicians. One approach, often helpful to improve pain and function while enhancing opioid safety is switching from LTOT to sublingual buprenorphine [7]. However, as sublingual buprenorphine is only approved by the US Food and Drug Administration (FDA) for OUD, prescribers seeking to use it to treat this scenario often face regulatory or insurance coverage barriers. Patients may reject it, not recognizing it as a treatment for their condition or may not be able to afford it.

One potential solution is for the FDA to expand the indication for sublingual buprenorphine to this scenario, a move we strongly support. It is encouraging that the US Department of Health and Human Services, which oversees the FDA, included switch to buprenorphine as a recommended approach among patients on LTOT for whom tapering is indicated, but not tolerated [8]. However, the FDA cannot approve a medication for an undefined indication; another reason to name this diagnosis and develop criteria for it. Beyond buprenorphine, other treatments, including non-pharmacological interventions such as mindfulness-based stress reduction [9] or behavioral therapies [10], also need to be examined.

In our experience, for patients on LTOT for whom harms outweigh benefit, but tapering is stalling, misapplying a diagnosis of OUD rarely leads to improvements in patient function or the patient-provider relationship. This condition needs a different treatment approach. Often, such patients will not receive the care they need within OUD treatment programs where clinicians may not be trained to address chronic pain. We believe a new diagnostic entity would align well with guidelines encouraging continuous reassessment of benefits and harms of LTOT and help generate evidence for how to proceed when that balance becomes unfavorable.

William C. Becker: Conceptualization (equal); writing—original draft (supporting). Joseph W. Frank: Conceptualization (equal); writing—review and editing (supporting). Sara N. Edmond: Conceptualization (equal); writing—review and editing (supporting). Joanna L. Starrels: Conceptualization (equal); writing—review and editing (supporting).

None.

当长期阿片类药物治疗疼痛的害处大于益处时:需要一个新的诊断实体、研究和改进的治疗方法。
鉴于长期阿片类药物治疗(LTOT)对慢性疼痛有诸多危害,且疗效甚微或根本没有疗效[1],指南建议处方者经常重新评估长期阿片类药物治疗,并以患者为中心,采用共同决策的方式,在弊大于利时减量[2, 3]。一些专家建议,难以减量表明患者对阿片类药物使用的控制能力受损,而这正是阿片类药物使用障碍(OUD)的特征,《精神疾病诊断与统计手册》第 5 版(DSM-5)将其描述为一种导致问题或痛苦的阿片类药物使用模式。具体而言,DSM-5 的标准是 "持续渴望或努力减少使用"。我们认为,对这一标准的解释并不明确,导致在 LTOT 的背景下何时诊断 OUD 存在混淆,给患者造成负面影响,并阻碍治疗和研究。我们认为,最好的办法是修订 DSM-5,将 LTOT 界定为一种难以减量(但不符合 OUD 标准)的特殊情况。首先,"努力 "可能是由处方者推动的,按照处方者的节奏进行,由处方者而非患者控制。患者可能缺乏减少用药的意愿,这与《疾病分类与健康手册》(DSM-5)所描述的情况完全不同,即患者希望减少用药,但却无法做到。其次,虽然耐受和戒断被排除在《疾病分类与健康手册》第 5 版关于 LTOT 的定义之外,因为它们是 "正常的、预期的 "症状,但减量困难也是如此。长期接触阿片类药物会下调μ-阿片受体,上调拟交感激素,并改变性腺-垂体-肾上腺轴。通过减量扰乱体内平衡会引起可预见的反应,包括恐惧、焦虑和其他戒断症状。因此,DSM-5 断言,在诊断 OUD 时,不应将 LTOT 期间的耐受和戒断症状计算在内,我们建议也不应将减量困难计算在内。为了就新诊断的诊断标准达成共识,我们邀请了 38 位多学科专家参与德尔菲研究[4, 5]。由于最近获得了美国国立卫生研究院的一项奖励,该项目很快就会扩大范围,将有生活经验的人以及更广泛的研究人员、决策者和临床医生纳入其中,但初步标准包括:(1)LTOT 的益处不大于弊端;(2)难以减量;(3)不存在失控现象,即过度用药和处方药过早用完。在这种情况下进行新诊断的另一个好处是避免过度诊断 OUD。Howell 等人[6] 在一项病历回顾研究中发现,29% 的 OUD 诊断很可能是无效的,造成误诊的主要原因是临床医生在服用 LTOT 的患者中使用了 OUD,但没有记录患者服用处方外药物的问题。根据美国疾病控制和预防中心的指导方针,评估 LTOT 的影响应围绕疼痛相关功能的改善(即益处)与危害进行比较,并应具有协作性和透明度。如果减量治疗失败,在患者基本遵守治疗计划的情况下,通过断言存在失控现象来推动 OUD 诊断,可能会疏远患者,并可能破坏做出必要改变的机会。当然,如果出现阿片类药物使用失控的明确证据(如自行增加剂量),则应大力考虑对其进行 OUD 诊断。因此,我们并不主张采用新的诊断方法,以避免因被正确诊断为 OUD 而使接受 LTOT 治疗的患者蒙受耻辱;我们主张采用新的诊断方法,以避免因被错误诊断为 OUD 而蒙受耻辱和产生困惑。最后,我们需要针对这种情况采用新的诊断方法来设计研究,从而为提高护理质量提供证据。指南建议优化非药物和非阿片类疗法,并与患者合作减少 LTOT,但这些宽泛的概念需要更多细节来帮助临床医生实践。一种通常有助于改善疼痛和功能,同时提高阿片类药物安全性的方法是从 LTOT 转为舌下丁丙诺啡[7]。然而,由于丁丙诺啡舌下含片仅被美国食品和药物管理局(FDA)批准用于治疗 OUD,因此处方者在寻求使用丁丙诺啡舌下含片治疗这种情况时往往面临监管或保险覆盖方面的障碍。
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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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