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Sep 2006 Version 1 Westchester Regional Westchester Regional Emergency Medical Services Emergency Medical Services On-line Medical Control On-line Medical Control Physician Course Physician Course & Regional System Overview & Regional System Overview Revised September 2006 in accordance with DOH and REMAC requirements for online medical control Katherine O’Connor, BS, EMT-P, Regional Program Coordinator
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Sep 2006 Version1 Westchester Regional Emergency Medical Services On-line Medical Control Physician Course & Regional System Overview Revised September.

Mar 30, 2015

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Page 1: Sep 2006 Version1 Westchester Regional Emergency Medical Services On-line Medical Control Physician Course & Regional System Overview Revised September.

Sep 2006 Version 1

Westchester RegionalWestchester Regional Emergency Medical Services Emergency Medical Services

On-line Medical Control On-line Medical Control Physician CoursePhysician Course

& Regional System Overview& Regional System Overview

Revised September 2006 in accordance with DOH and REMAC requirements for online medical control

Katherine O’Connor, BS, EMT-P, Regional Program Coordinator

Page 2: Sep 2006 Version1 Westchester Regional Emergency Medical Services On-line Medical Control Physician Course & Regional System Overview Revised September.

Sep 2006 Version Westchester REMAC OLMC System Overview 2

Course Objectives

This program will be reviewing: the components of the Westchester Regional EMS

System. the role and structure of the Regional EMS Council,

Program Agency, and REMAC the Quality Improvement (QI) Process for EMS the role of Medical Control (on and off line) New York State and Westchester Regional EMS

protocols and policies the process to obtain and retain Online Medical

Control credentials in the Westchester Region

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Sep 2006 Version Westchester REMAC OLMC System Overview 3

Westchester RegionalWestchester RegionalEmergency Medical Services SystemEmergency Medical Services System

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Sep 2006 Version Westchester REMAC OLMC System Overview 4

The Regional EMS System□ The Region is co-terminus with the

County of Westchester, covering an area of 450 square miles and almost one million residents

□ The Regional EMS System is an amalgam of volunteer and career providers, independent and fire service based organizations

□ There are 11 Medical Control Hospitals

□ Combined EMS Call Volume in Westchester is over 100,000 per year.

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Sep 2006 Version Westchester REMAC OLMC System Overview 5

The Regional EMS System□ Levels of EMS Operations:

□ Basic Life Support First Response (BLSFR) – 33□ Mostly fire and police based services□ CPR, Certified First Responder (CFR) and EMT level trained

providers□ Non-certified EMS, Non-transport

□ Advanced Life Support First Response (ALSFR) – 2□ NYS Certified EMS service – non-transport□ Paramedic Staffed

□ Ambulance (ALS and BLS) – 43□ NYS Certified EMS service - transport□ BLS Ambulance (EMT-B level of care)- 28□ ALS Ambulance (EMT-I / EMT-P) - 15

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Sep 2006 Version Westchester REMAC OLMC System Overview 6

The Regional EMS System□ Levels of Hospital Operations:

□ Medical Control Hospitals – (11)

□ Provide on-line medical control to all levels of EMS providers□ Must meet requirements found in Medical Control Plan□ Representatives are voting members of REMAC

□ 911 Receiving Hospitals – (None currently in region)

□ Accepts acute emergency patients via ambulance, but does not provide on-line medical control

□ Does not meet criteria for Medical Control Hospital□ Status automatically given to hospitals out-of-region □ Cannot vote on REMAC

□ Special Resource Hospital – (One as of 8/1/2006)

□ Out-of-region hospital facility approved by the REMAC to give OLMC to Westchester Regional EMS providers due to an identified need for additional resources in a given response area

□ Must meet requirements found in Medical Control Plan□ Does not vote on REMAC

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Sep 2006 Version Westchester REMAC OLMC System Overview 7

Regional EMS Council

□ Created by law in 2000; Established by NYS DOH Commissioner in June 2001

□ Developed in accordance with NYS Public Health Law (Article 30) and NYS DOH guidelines, in order to assist in the development and maintenance of the EMS System, through facilitation, coordination and provision of technical assistance.

□ Made up of members of various EMS stakeholders throughout the region.

□ The Program Agency and the Regional Emergency Medical Advisory Committee (REMAC) work in conjunction with the Regional EMS council.

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Sep 2006 Version Westchester REMAC OLMC System Overview 8

Regional Program Agency□ Westchester County Department of

Emergency Services, EMS Division□ Identified by the Regional EMS Council to

the NYS DOH□ Contractually responsible for supporting,

maintaining and improving emergency medical care in the region.

□ Operates the Regional EMS Office□ Provides staff for all Regional EMS

Council activities□ Facilitates Quality Improvement with

REMAC□ Provides educational programs for

providers and medical control physicians.

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Regional Emergency Medical Advisory Committee

□ The Regional Emergency Medical Advisory Committee (REMAC) is comprised of physician representatives from each of the Medical Control facilities and non-voting individuals representing the following;

•Medical specialties (3)•Pediatrics•Psychiatry•Trauma

•EMS organizations (3)•Municipal•Proprietary•Volunteer

•Fire service (2)•Career•Volunteer

•Public Safety (1)

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REMACREMAC OFFICERSREMAC Chair Dr. Nicholas DeRobertisSEMAC Representative Dr. Timothy HaydockSEMAC Alternate Pending

MC HOSPITALS & REPRESENTATIVES (Voting)□ Dobbs Ferry Comm. Hospital - Dr. Mark Silberman□ Hudson Valley Hospital Ctr - Dr. John McGurty□ Lawrence Hospital - Dr. Carlos Flores□ Mt. Vernon Hospital - Dr. Karlene Chin□ No. Westchester Hospital Ctr - Dr. Robert Marcus□ Phelps Memorial Hospital - Dr. Emil Nigro□ Sound Shore Medical Ctr - Dr. Lawrence Klecatsky□ St. John's Riverside Hospital - Dr. Richard Marino□ St. Joseph's Medical Ctr - Dr. Nicholas DeRobertis□ Westchester Medical Ctr - Dr. David Goldwag□ White Plains Medical Ctr - Dr. Timothy Haydock 

(As of 9/2006)

NON-VOTING MEMBERS□ Medical Specialty (Trauma)

- VACANT□ Medical Specialty (Pediatrics)

- Dr. Joli Yuknek (WPHC)□ Medical Specialty (Psychiatry)

- Dr. Richard Gallagher (WMC)□ EMS - Municipal

- VACANT□ EMS – Proprietary 

- VACANT □ EMS – Voluntary

- Roland Faucher (MVFAVAC)□ Fire – Career

- VACANT□ Fire – Volunteer

- VACANT□ Public Safety

- Police Chief Anthony Chiarlitti (Pleasantville PD)

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Sep 2006 Version Westchester REMAC OLMC System Overview 11

REMACAs per NYS PHL Article 30, the REMAC is responsible for many functions of the regional EMS system, including the following:□Establish prehospital standards consistent with current

emergency medical practices.□Educate /credential physicians to provide online medical

control.□Ensure availability / quality of EMS educational programs.□Coordinate development of the regional medical control

system.□Define roles/responsibilities of REMAC physicians □Develop medical control policies / procedures / protocols for EMS dispatch, triage, treatment and transport.□Develop and implement research projects and studies.□Assist in the coordination of the QI program.

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Westchester RegionalWestchester RegionalQuality Improvement (QI)Quality Improvement (QI)

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Quality Improvement (QI) & EMS

□ QI Programs are REQUIRED for EMS□NYS PUBLIC HEALTH LAW ARTICLE 30

SECTION 3006.

□ ALL certified EMS agencies □Ambulance Services□Advanced First Responder (ALS FR)

□ Westchester REMAC Policy 04-05□Outlines committee structures□Lists review topics□Report submission criteria

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Hospital Role & EMS QI

Requirements for hospital participation in pre-hospital QI can be found in:

□ Article 28 – NYS PHL, Hospitals□ 405 Regulations, NYS Hospital Code (Section 405.19)□ Chapter VI of Title 10 (Health) – Part 80 – Rules and

Regulations on Controlled Substances□ Joint Commission on Accreditation of Healthcare Organizations (JCAHO)□ Consolidated Omnibus Budget Reconciliation Act (COBRA)

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Hospital Role & EMS QI

In supporting EMS QI, hospitals should:

□Ensure adequate QI training and familiarity with WREMAC QI Guidelines of all emergency department physician and nursing staff

□Develop and implement an effective QI program for continuous system and patient care improvement

□Direct and facilitate an on-going review of the medical control system and QI program.

□Report any EMS personnel or ALS agency complaint, protocol violation or lack of cooperation with other aspects of medical control and or quality improvement activities

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QI & EMS: What OLMC Physicians Should Know

□ While each ED physician shouldn’t know each and every EMS protocol verbatim, physicians should know some background about the protocols in the region and where to look if he/she has any questions.

□ Additionally, there are items that MUST be immediately reported to the Emergency Department Director or EMS Liaison.

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QI & EMS:Reportable Events

□ A Medical Control Physician should advise his or her Emergency Department Director of any violation of prehospital protocols or standards of care.

□ While the majority of QI issues are usually handled on an agency level with the Service Medical Director, reportable events shouldbe referred to the Regional EMS Office andthe REMAC.

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QI & EMS:Reportable Events

□ These types of protocol or treatment violations will result in an immediate investigation by the Regional EMS Office and REMAC:

□Unrecognized Esophageal Intubation.□Practicing without NYS certification / Regional

Credentials.□Patient Abandonment.□Medication Errors.□Any other situation that places the patient in

danger.

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Westchester RegionalWestchester RegionalMedical Control SystemMedical Control System

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Perspectives on Medical Control / Direction

□ American College Of Emergency Physicians (ACEP) □ Policy on Medical Direction:

□All aspects of organizing and providing basic and advanced emergency medical service requires active participation and involvement of physicians.

□Medical Director has authority over all aspects of the EMS System, including, but not limited to on-line and off-line medical direction.

□Every service that provides advanced level life support must have an identifiable medical director that is a physician at the agency, region and state levels.

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Perspectives on Medical Control / Direction

□ National Association of EMS Physicians (NAEMSP)□ Position Statement on Physician Medical

Direction of EMS□Authority and responsibilities of a medical

director will depend on the specific system structure, community needs and resources, etc

□Medical direction should be integrated throughout the EMS system and have the ability to offer prospective, concurrent and retrospective influence

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EMS Medical Direction in NYS

□ NYSDOH Policy Statement 03-07: Providing Medical Direction□ Reviews Agency Level Direction

□ NYSDOH Policy Statement 95-01: Medical Control□ Clarifies roles and

responsibilities in the development and provision of medical control in the prehospital environment.

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EMS Medical Direction in NYSPHILOSOPHY OF MEDICAL OVERSIGHT

NYS Commissioner of Health

SEMSCO / SEMAC

REMSCO(s) / REMAC(s)

ServiceMedical Director(s)

Medical Control

Online(Direct)

Offline(Indirect)

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Medical Direction

□ Three Parts:□Prospective

(Off-line medical direction)□Concurrent

(On-line medical direction)□Retrospective

(Off-line medical direction)

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Prospective Direction

• Prospective Medical Direction is done through the following:

• Training and Testing• Continuing Medical Education (CME’s)• Protocol Development• Policy and Procedure

Development• QI Programs

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Concurrent Direction

□Concurrent Medical Direction is usually provided via the Medical Control Physician through:□Telemetry

□Radio□Phone

(Cellular or landline)

□On scene

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Retrospective Direction

□Retrospective Medical Direction is instituted via:

□Call audits and reviews□“Bed-side” Call Audits

(one-on-one)□“Ground Rounds” Style

(group setting)

□Remedial education□Corrective action□QI Programs

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ProtocolsProtocolsNew York StateNew York State

Basic Life Support (BLS)Basic Life Support (BLS)

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NYS BLS Protocols

□Developed by State EMS Council and NYSDOH

□Applies to:□EMT-Basic□Advanced EMT Providers

□Basic Standard of Care for EMS

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NYS BLS Protocols

Directives to contact Medical Control:□Confer regarding transport decisions

when necessary(for all protocols)

□Swallowed poisons(for instructions for treatment)

□Any time EMT requires direction / advice

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ProtocolsProtocolsWestchester RegionalWestchester Regional

Basic Life Support (BLS)Basic Life Support (BLS)Special ProceduresSpecial Procedures

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BLS Special Procedure Protocols

□ Developed by Westchester REMAC in conjunction with protocols and polices developed by SEMAC/SEMSCO and NYSDOH

□ EMS Agency applies to REMAC for notification or approval (as required)

□ Only specially trained providers working within approved agencies can perform skills:□ Epi-Pen□ Nebulized Albuterol□ Mark I Kit

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BLS Special Procedure Protocols

Directives to contact Medical Control:□ Nebulized Albuterol

□Must contact prior to administration for Pts w/ history of angina, MI, arrhythmia, or CHF

□ Epi-Pen Administration□Must contact if Pt has not had an epinephrine

auto-injector previously prescribed□ Mark I Kit

□Possible identification / notification of aWMD event

□Must have contact prior to pediatric administration

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ProtocolsProtocolsWestchester RegionalWestchester Regional

EMT – Intermediate (EMT-I)EMT – Intermediate (EMT-I)

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EMT-I Protocols□ Developed and revised by the REMAC.□ Protocols establish medically sound algorithms for

provision of Intermediate Life Support (ILS) care in the field.

□ EMT-I providers may perform limited ALS interventions based on patient presentation (for both adult and pediatric patients)□ Endotracheal Intubation (ETT)□ Intravenous (IV) catheterization for fluid resuscitation

NOTE : EMT-Is are NOT to initiate ALS care without requesting Paramedic response

□ Protocol handbooks are available to each credentialed EMT-I provider, and should be in each ILS equipped vehicle and Medical Control or Special Resource Hospital in the region.

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EMT-I ProtocolsDirectives to contact Medical Control:□ IV Therapy (Adult)

□ Additional fluid bolus of Normal Saline above the 1000 cc limit under standing orders.

NOTE : EMT-Is are NOT to initiate ALS care without requesting Paramedic response. If the patient is transported to the hospital after receiving ALS care from an EMT-I without a Paramedic on board, THIS IS A REPORTABLE INCIDENT AND SUBJECT TO QI REVIEW whether or not extenuating circumstances may have made the transport necessary.

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ProtocolsProtocolsWestchester RegionalWestchester Regional

EMT-Paramedic (EMT-P)EMT-Paramedic (EMT-P)

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Paramedic Protocols

□ Developed and revised by the REMAC.□ Protocols establish medically sound

algorithms for provision of Paramedic-level Advanced Life Support (ALS) care in the field.

□ Protocol handbooks are available to each Paramedic and Medical Control Physician, and should be in each ALS equipped vehicle, as well as all Westchester Medical Control and Special Resource Hospitals.

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Paramedic Protocols□ Paramedics ARE NOT allowed to deviate from

the protocols unless directed by a Westchester REMAC Authorized Medical Control Physician.

□ Clinical judgment is allowed where a patient does not exactly fit any one particular protocol.

□ OLMC may authorize alternative treatment IF it falls within the boundaries of the NYS and/or Regional protocols AND the scope of practice of a paramedic in New York State.

□ All Medical Control Physicians must pass an exam based on the Paramedic Protocols

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SPECIAL SITUATIONSSPECIAL SITUATIONS

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Special Situations□Do Not Resuscitate (DNR)□Termination of Resuscitation

(Paramedic Protocol 15)□Pronouncement of Death

(REMAC Policy 01-01)□Refusal of Medical Assistance (RMA)□“By-stander” Physician On Scene□Transfer of Care (ALS to BLS)□Specialty Care Centers□Transportation to an Out-of-Region Facility

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Do Not Resuscitate (DNR)

□ Non-hospital DNR orders are allowed by Chapter 370 of the New York State Laws of 1991.

□ NYSDOH

Policy Statement 99-10: FAQs Re DNRs

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DNR□ Non-hospital DNR – A physician signed, non-hospital DNR

order on the NYS form MUST be available to EMS on scene to be honored.□ NOTE: A non-hospital order may be expired, but

MUST be signed.

□ Hospital DNR - Article 28 licensed facilities (i.e. skilled nursing homes) are required to issue, review and maintain DNR orders. EMS providers may honor hospital DNR orders for patient transports from the facility. The facility staff MUST provide a copy of the order and/or patient's chart with the recorded DNR order to the ambulance crew to be honored.□ NOTE: A hospital DNR order CAN NOT be expired.

□ A living will, health care proxy or other advanced care directives ARE NOT valid in the prehospital setting.

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DNR□ The following are circumstances that an EMS Provider

may DISREGARD a DNR order:

□Reasonable evidence exists that suggests that the DNR Order has been revoked or cancelled.

□Patient is conscious, and states that they want resuscitative measures, the DNR should be ignored.

□Patient is unable to state his/her desire, a family member present requests resuscitative measures for the patient, and a confrontational situation is likely to result if the request is denied.

□A physician requests that the order be disregarded.

□An Out-of-Hospital DNR is NOT SIGNED by the ordering physician

□An Article 28 facility DNR order is EXPIRED

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DNR: What can be done?

□ A DNR is ONLY an order not to perform resuscitation in the event of cardiac or pulmonary arrest – IT DOES NOT INFER THAT ANY OTHER TREATMENT IS TO BE WITHHELD.

□ If a valid DNR exists, AND the patient is in respiratory or cardiac arrest: □NO :

□Chest compressions□Ventilations□Defibrillation□Endotracheal Intubation□Medication administration

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DNR: What can be done?□ If a valid DNR exists, AND the patient is NOT in

cardiac or respiratory arrest: □ Appropriate treatment for all injuries, pain, difficult or

insufficient breathing, hemorrhage and/or other medical conditions MUST be provided.

□ Relief of choking caused by a foreign body is appropriate, but if breathing has stopped, ventilations should not be assisted.

□ For unusual circumstances or questions on individual patient circumstances, the EMS provider will contact On-line Medical Control.

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Termination of Resuscitation

Paramedics may contact On-line Medical Control and request approval to terminate resuscitation efforts if following 20 - 30 minutes application of ACLS to a continuous and documented pulseless, non-traumatic adult cardiac arrest, which includes:

□Advanced airway control (ie ET, Combi-tube) providing effective oxygenation and ventilation.

□VT/VF shocked when present.□IV access achieved and antiarrhythmics

administered as appropriate.□All reversible causes or special resuscitation

circumstances have been considered, searched for, and corrected.

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Termination of Resuscitation

Termination of Resuscitation MAY NOT be requested or conducted if:

□Profound hypothermia is present.□Toxin or drug ingestion is suspected or

documented.□Communication failure prevents contact

with On-line Medical Control□An environmental situation is not

conducive to termination.

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Termination of Resuscitation

□ If Medical Control provides the order to terminate resuscitative efforts:

□The Paramedic is to leave all ALS adjuncts in place

□The body is left in the custody of the Police on-scene, who will contact the Medical Examiner’s Office

□A PCR is completed by the Paramedic and brought to the hospital to have it signed by the ordering Medical Control Physician. A copy of the PCR should be left at the hospital for the ED Director.

□ EMS should transport the body to the hospital if:□The arrest occurred in a public place.□No police agency is present to take custody□The family is requesting transport

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Pronouncement of Death

□ REMAC Policy 01-01: Pronouncement of Death □Clarifies difference between:

□Pronouncement of Death □process of recognition and documentation

of the physical signs of death - basis of the decision not to engage in resuscitation efforts

□Certification of Death□legal documentation required at the end of

a life - concise and complete statement of the terminal event and its causes, witnessed by the signature of a physician as per NYS Public Health Law.

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Pronouncement of Death□ REMAC Policy 01-01: Pronouncement of

Death (cont’d)□Reviews reporting of out of hospital deaths to

Police and Medical Examiners office□Directs body to remain on scene with Police

until removal has been effectuated by ME or funeral director

NOTE: Due to special situations EMS may be ordered to transport the body to the closest hospital if, in the judgment of the Police, expedient removal of the corpse is necessary.

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Pronouncement of Death□ EMS Must Document “Obvious Death” -

In addition to apnea and pulselessness, one or more of following conditions MUST exist:

□Tissue decomposition□Rigor mortis□Extreme dependent lividity□Obvious mortal injury (decapitation,

exsanguination, etc.)□A Valid Do Not Resuscitate (DNR) order

□ Also EMS should attempt to determine:□Confirmation with an AED that “No Shock

Advised” or presence of asystole in more than one ECG lead

□Any significant medical history or traumatic event

□Time lapse since patient was last seen alive

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Pronouncement of Death

□ As with any patient, EMS can contact On-Line Medical Control for consultation if there are questions regarding the patient’s presentation and the decision not to attempt resuscitation.

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Patient Refusals of Medical Assistance/Transport (RMA)

□ Often, EMS providers are faced with individuals that, for a number of reasons, refuse medical care.

□ Recently, the NYS Department of Health has updated its position on RMAs to allow for the most appropriate use of resources. □ EMS are no longer required to complete a

refusal on those patients that have no complaint.

□ A PCR must still be completed for that call describing the details and interaction with the individuals at the scene.

□ However, any incident with a mechanism ofinjury (MOI) that indicates that the patient could be injured, even without complaint, requires that a refusal be completed.

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RMAs□ RMAs MAY NOT be EMS initiated

□ “You don’t want to go to the hospital, do you?”

□ Providers are urged to make every effort to encourage, but not force, patients to be transported.

□ If a patient is unwilling to go, the provider may ask family/friends to encourage the patient to go

□ If ALS care is indicated, or has been initiated, and the patient is still refusing transport to the hospital, OLMC MUST be contacted, and the physician allowed the opportunity to speak to the patient.

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RMAs□ If the patient is still unwilling to be

transported, then the patient may refuse care, given the following:□ Patient is over the age of 18, or is an emancipated

minor, or the mother of a child.□ Alert and oriented X 3/GCS of 15.□ Suicide has not been attempted/threatened.□ EMS has ruled out the potential for serious illness or

child abuse when the patient’s parent or guardian is refusing care

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RMAs□ A Patient CANNOT refuse if:

□ He or she has an altered mental status□ He or she is suicidal□ The potential for child abuse exists

□ If these situations exist:□ EMS is to contact Medical Control□ Law enforcement assistance is to be

requested if necessary.□ EMS providers are not to let themselves be

placed in a dangerous situation attemptingto obtain a refusal, if the potential exists, thecrew is to withdraw to a safe area and awaitlaw enforcement assistance

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RMAs□ If patients meets criteria, then they can

refuse. EMS Providers must:□ Perform and document at least 2 sets of vital

signs (with patient permission)□ Inform patient of all possible negative

consequences of refusal AMA□ Encourage patient to call EMS again if

anything changes or as needed.□ Have patient read and sign PCR refusal section□ Have a witness sign the PCR refusal section

(not a crew member if at all possible)□ Document any consultations with On-line

Medical Control (MD/DO name, facility)

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“By-stander” Physician On Scene

Occasionally, a physician will present at an EMS scene offering his/her assistance and seeking to direct patient care:

□Personal physicians (whose relationship with the patient can be verified at the scene) may assume medical control if he/she desires, without prior consultation of OLMC.

Note: EMS should still contact OLMC to advise of the presence of this physician.

□A “By-stander” physician (a doctor without a professional relationship with the patient), MAY NOT assume medical control WITHOUT permission from OLMC.

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“By-stander” Physician On-Scene

If a “By-stander” Physician on scene is seeking to direct patient care:

□EMS will contact On-line Medical Control and have the physicians speak to one another.

NOTE: Direction may not be assumed if there is a communications failure.

□On-line Medical Control will then determine ifthe “By-stander” physician will be allowed toprovide direction to the EMS on the scene

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“By-stander” Physician On-Scene

□ If given permission by OLMC to direct patient care: □ The “By-stander” physician will be required to sign the

“Physician Release Form” (found in the Paramedic Protocols), assuming all liability for the care of the patient and indemnifying the EMS crew from responsibility

□ Any care requested that falls outside of the protocols or scope of practice of the EMS providers on the scene must be completed by the “By-stander” physician with his or her own equipment

□ The “By-stander” physician MUST accompany the EMS crew to the hospital in the ambulance.

□ ON-LINE MEDICAL CONTROL MAY RE-ESTABLISH AUTHORITY AT ANY TIME.

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Transfer of CareALS providers are authorized to transfer care to a lower level provider (EMT-P to EMT-B or EMT-I; EMT-I to EMT-B) ONLY if an ALS assessment has been performed, AND:

□Neither the nature of illness (NOI) or mechanism of injury (MOI) indicates that there is a current need OR an anticipated need for ALS.

□The physical assessment indicates that there is neither a current need OR an anticipated need for ALS.

□No invasive ALS procedures have been initiated

NOTE: Either the ALS or BLS provider may contact OLMC to confirm this decision.

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Specialty Care Centers

□ New York State Department of Health (NYSDOH) has designated certain hospitals as Specialty Care Centers.

□ Some of these designations require active diversion of patients by EMS to those facilities based on patient presentation and onset of illness or injury.

□ Patients who are experiencing the following acute morbidities are must be transported to a Specialty Care Center:□Trauma□Stroke

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Specialty Care Centers□ Hospitals that have been designated Specialty

Care Centers in the Westchester Region are:

□Trauma Centers□Regional Trauma Center (Level I)

□Westchester Medical Center□Area Trauma Center (Level II)

□Sound Shore Medical Center□Stroke Centers (As of 9/2006 - other regional hospitals are

in the process of seeking Stroke Center designation.)□Hudson Valley Hospital Center □Mt. Vernon Hospital□Northern Westchester Hospital Center□Sound Shore Medical Center□Westchester Medical Center□White Plains Hospital Center

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Specialty Care Centers:Trauma Centers

Transport to a NYS designated Trauma center is based on an algorithm using:□Physiological presentation

□GCS < 13□BP < 90□RR <10 or <29

□Anatomy of injury□Mechanism of injury

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Specialty Care Centers:Trauma Centers

Automatic Criteria□<12 years old□Thoracic Injury w/shock or respiratory distress□Limb amputation/severe crush injury□Spinal Trauma w/ hemi or paraplegia□Unstable multi-systems trauma w/open pelvis

fracture□Burns – facial, airway, electrical, >15% BSA

Special Considerations□<5 or >55 years old□Cardiac / respiratory distress□Pregnant□Immuniosupressed□Bleeding disorder

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Specialty Care Centers:Trauma Centers

Transport of a trauma patient meeting Trauma Center criteria to the closest appropriate hospital is REQUIRED if:

□Cardiac arrest□Unmanageable airway□Transport time from injury to arrival at

Trauma Center is greater than 1 hour□On-line Medical Control so directs

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Specialty Care Centers:Stroke Centers

Transport to a NYS designated Stroke Center is REQUIRED if:□Positive Cincinnati Stroke Scale assessment

(1 or more signs present)□Facial Droop□Arm Drift□Abnormal Speech

□Transport time from onset of symptoms to arrival at a designated Stroke Center is less than 2 hours

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Specialty Care Centers:Stroke Centers

Patients meeting Stroke Center criteria MUST be transported to closest appropriate hospital emergency department (ED) if:

□Cardiac arrest□Unmanageable airway□Other medical condition(s) warrant(s) transport

to the closest appropriate ED as per NYS and/ or Regional protocol

□Time from onset of stroke symptoms to arrival at a Stroke Center is greater than 2 hours

□On-line Medical Control so directs

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Transportation to an Out-of-Region Facility

(Not a Special Resource Hospital)

□ Due to geographical variables and transportation concerns around the region, there may be occasions where EMS may transport a patient from an emergency scene to a hospital outside of the Westchester Region that is not authorized to provide On-line Medical Control.

□ If Medical Control Orders are needed for management of a patient being transported to one of these facilities, a Westchester based OLMC Physician must be contacted to provide on-line direction.

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Transportation to an Out-of-Region Facility

□ When OLMC is contacted:□ If transport out-of-region is due to patient’s choice,

OLMC should first determine if patient's status permits transport to the facility of choice, or if the patient should be directed to a different, more appropriate facility, per Westchester REMAC and NYSDOH transport policies and protocols.

□ If medical control orders are given, the Westchester OLMC physician MUST notify the receiving hospital of the following:□ Physician’s understanding of the patient's presenting

problem and results of EMS assessment□ All reported BLS and/or ALS treatments

completed under standing orders□ Patient's reported response to therapy given□ Medical control orders given to the ALS provider

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Westchester RegionalWestchester RegionalMedical Control Physician CredentialingMedical Control Physician Credentialing

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On-Line Medical Control Registry

To be credentialed as OLMC in the Westchester Region, a physician must:□ Be employed by a Regional Medical Control or Special

Resource Hospital□ Be New York State Licensed MD or DO□ Complete an OLMC Application, support section signed

by the MC or SR Hospital ED Director□ Review the System Overview presentation and

successfully complete a test based on the material□ Successfully complete a written OLMC test based on the

Paramedic Protocol exam (80% or better)□ Mail the completed application package (with

attachments) to the Westchester Regional EMS Office (may be sent via the MC or SR ED Director)

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On-Line Medical Control Registry

To be maintained as On-line Medical Control in the Westchester Region, a physician must:□ Remain employed by a Regional Medical Control or

Special Resource Hospital□ Promptly seek to change official primary MC or SR

hospital if regional affiliation changes□ Notify Westchester Regional EMS Office of changes in

contact information (address, email, etc.)□ Complete any required MC updates issued by the REMAC

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Contact Information:

Westchester Regional EMS Office□ Address: 4 Dana Rd. , Valhalla, NY 10595

□ Website: www.wremsco.org

□ Main phone: 914-231-1616

□ Main fax: 914-813-4161

□ Staff:

□Katherine O’Connor, BS, AEMT-PProgram Coordinator - [email protected]

□Phyllis Smalley, BS, EMT-BAdministrative Assistant - [email protected]

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Please print out and complete the short exam for this

presentation.

Please submit the completed test to your ED Director.

Thank you.