In comments to the Office of the National Coordinator for Health Information Technology (ONC), the American College of Cardiology, Consumers Union, the National Women's Health Network, the National Research Center for Women and Families, the Trust for America's Health, and The Pew Charitable Trusts urge the ONC to promote adoption of the unique device identification (UDI) system for medical devices to improve the safety of medical care.
February 4, 2013
Farzad Mostashari, MD, ScM
National Coordinator for Health Information Technology
U.S. Department of Health and Human Services
200 Independence Avenue S.W.
Suite 729-D
Washington, DC 20201
RE: Health Information Technology Patient Safety Action and Surveillance Plan for Public Comment
We write on behalf of the American College of Cardiology, Consumers Union, the National Women's Health Network, the National Research Center for Women and Families, the Trust for America's Health, and The Pew Charitable Trusts.
We appreciate the importance of the two patient safety objectives laid out in the document:
Unfortunately, the plan does not outline specific strategies and actions that the government intends to take for the first of these objectives. We urge the Office of the National Coordinator for Health Information Technology (ONC) to expand the next version of the plan to include strategies and actions to use Health IT to make care safer.
In particular, we believe that the ONC should address the potential for the unique device identification (UDI) system for medical devices to improve the safety of medical care. The FDA has issued a proposed rule that would require manufacturers of medical devices, with certain exceptions, to place a unique identifier on the label of medical devices. Some medical devices would also need to be directly marked with the unique identifier.
When the UDI system is implemented by manufacturers and fully taken up by the healthcare system, it has the potential to improve safety in a number of ways:
We encourage the Department to facilitate adoption of the UDI throughout the healthcare system by: 1) including a UDI field as a certification standard for electronic health records, and 2) establishing a new Stage 3 meaningful use core objective to incorporate the UDI into electronic health records for patients whose care involves an implanted medical device.