key: cord-0967840-4kczlqge authors: Clark, Seth A.; Samuels, Elizabeth A.; Wightman, Rachel S.; Wunsch, Caroline; Keeler, Lee Ann Jordison; Reddy, Neha; Davis, Corey title: Using Telehealth to Improve Buprenorphine Access During and After COVID-19: A Rapid Response Initiative in Rhode Island date: 2021-01-20 journal: J Subst Abuse Treat DOI: 10.1016/j.jsat.2021.108283 sha: fc3fe727298be3d76980602548e270d61d74981f doc_id: 967840 cord_uid: 4kczlqge Despite its proven efficacy, buprenorphine remains dramatically underutilized for management of opioid use disorder largely due to onerous barriers to treatment initiation. During the COVID-19 pandemic, many substance use disorder treatment facilities have reduced their hours and services, exacerbating existing barriers. To this end, the U.S. Drug Enforcement Administration and Substance Abuse Mental Health Services Administration adjusted their guidelines to allow for new buprenorphine prescriptions following audio-only telehealth encounters, no longer requiring an in-person evaluation prior to treatment initiation. Under this new guidance, we established a 24/7 telephone hotline to function as a “tele-bridge” clinic where people with opioid use disorder can be linked with a buprenorphine prescriber in real-time for OUD assessment and unobserved buprenorphine initiation with connection to follow-up if appropriate. Additionally, we developed an ED callback protocol to reach patients recently seen for opioid overdose and facilitate their entry into care if interested. In this commentary we describe our hotline and ED callback protocols, discuss theoretical and anecdotal benefits to this approach, and advocate for continuation of current regulatory changes post-COVID-19 to maintain expanded access to novel treatment approaches. Despite its proven efficacy, buprenorphine remains dramatically underutilized for management of opioid use disorder largely due to onerous barriers to treatment initiation. During the COVID-19 pandemic, many substance use disorder treatment facilities have reduced their hours and services, exacerbating existing barriers. To this end, the U.S. Drug Enforcement Administration and Substance Abuse Mental Health Services Administration adjusted their guidelines to allow for new buprenorphine prescriptions following audio-only telehealth encounters, no longer requiring an in-person evaluation prior to treatment initiation. Under this new guidance, we established a 24/7 telephone hotline to function as a "tele-bridge" clinic where people with opioid use disorder can be linked with a buprenorphine prescriber in real-time for OUD assessment and unobserved buprenorphine initiation with connection to follow-up if appropriate. Additionally, we developed an ED callback protocol to reach patients recently seen for opioid overdose and facilitate their entry into care if interested. In this commentary we describe our hotline and ED callback protocols, discuss theoretical and anecdotal benefits to this approach, and advocate for continuation of current regulatory changes post-COVID-19 to maintain expanded access to novel treatment approaches. To initiate buprenorphine, traditional models of care require patients to overcome multiple obstacles during a vulnerable time including stigma, lack of available providers, transportation, and being under-or uninsured. This can delay treatment enrollment, potentially resulting in prolonged opioid withdrawal, continued use of nonprescribed opioids, and deferral of treatment. Currently, the federal Ryan Haight Act ("Ryan Haight Online Pharmacy Consumer their hours and services. Patients may also be reluctant to attend in-person treatment due to governmental stay-at-home orders and fear of contracting COVID-19. Combined, these threaten to worsen treatment access and increase overdose mortality. Without rethinking how we can meet the needs of our patients, we will see the ramifications of this for years to come. In light of the compounded barriers to accessing care during the COVID-19 pandemic, the Drug Enforcement Administration (DEA) has temporarily waived the requirement for an inperson examination to prescribe buprenorphine, allowing providers who are otherwise permitted to prescribe buprenorphine for OUD to initiate buprenorphine treatment via telehealth (video or audio-only) encounters (Drug Enforcement Administration, Mar 31, 2020). Following these changes, in partnership with the Rhode Island Department of Health and the Department of Behavioral Health, Developmental Disabilities, and Hospitals, we established a 24/7 buprenorphine hotline. This hotline functions as a 24-hour "tele-bridge" clinic where people with OUD can be linked with a waivered provider in real-time for an initial assessment and, if appropriate, can initiate buprenorphine through unobserved induction with linkage to longitudinal outpatient care. Patients are co-prescribed naloxone and emailed unobserved buprenorphine induction instructions, local harm-reduction information, community recovery support resources, and behavioral health services. From mid-April 2020 to mid-November 2020, the hotline has fielded 93 calls, resulting in 74 new buprenorphine prescriptions. Concurrently, we also began an emergency department (ED) callback initiative to reach patients recently treated in the ED for an opioid overdose. This initiative identifies patients who recently presented to the ED following opioid overdose but who are not prescribed medication for opioid use disorder (MOUD). If the patient is interested in initiating buprenorphine treatment, they are connected in real-time to a waivered prescriber and undergo evaluation, treatment J o u r n a l P r e -p r o o f initiation, and linkage to care as outlined above. Telephone assessments bypass many socioeconomic and geographic treatment barriers that currently limit buprenorphine access (Goedel et al., 2020; Grimm, 2020) . Patients are able to connect to treatment the moment they feel ready and do not have to accommodate clinic hours or location, Internet availability, or transportation limitations. While this initiative has just begun and research needs to rigorously evaluate it, patients calling the hotline have voiced that they would not have otherwise entered treatment had this service not been available. Likewise, outpatient providers report improved engagement with telehealth. Our primary outpatient followup site, for example, has reported a 50% reduction in their no-show rate for new patient intakes (largely referred from the hotline) following transition to telehealth. Future research should determine whether telehealth can effectively address access barriers and increase the number of patients engaging in treatment, and if the privacy inherent in bypassing waiting rooms will decrease patients' experiences of stigma. There are several regulatory and legal changes that would permit telehealth-delivered buprenorphine to continue. First, Congress could amend the Ryan Haight Act to permit waivered providers to initiate buprenorphine without an initial in-person visit where clinically indicated, as is currently proposed in the recently introduced Telehealth Response for E-prescribing Addiction Therapy Services (TREATS) Act ("Telehealth Response for E-prescribing Addiction Therapy Services Act or the TREATS Act," 2020). Although the TREATS Act currently requires an audiovisual interface, it could be amended to allow for audio-only telehealth encounters. Congressional action is not necessary, however. The Ryan Haight Act's restrictions can be waived for providers practicing telemedicine during any public health emergency. While the current waiver was predicated on the COVID-19 pandemic, the DEA can and should extend the J o u r n a l P r e -p r o o f current waiver to initiate buprenorphine via telemedicine, including use of the telephone only encounters where necessary, for the duration of the opioid public health emergency that has existed since late 2017 (Davis & Samuels 2020). Gaps and inequities in buprenorphine treatment access did not start with COVID-19 and without structural changes in policy and practice, they will persist long after the pandemic ends. Federal law should help to expand access to buprenorphine, not inadvertently obstruct treatment access. COVID-19 has given us an opportunity to develop innovative strategies to improve access to care and address access inequities and we should not abandon them when the COVID-19 public health emergency is resolved. 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