Information Notice 2006-11, Applicability of Patient Intervention in Determining Medical Events for Gamma Stereotactic Radiosurgery and Other Therapy Procedures

From kanterella
Jump to navigation Jump to search
Applicability of Patient Intervention in Determining Medical Events for Gamma Stereotactic Radiosurgery and Other Therapy Procedures
ML061360026
Person / Time
Issue date: 06/12/2006
From: Chris Miller
NRC/NMSS/IMNS
To:
Zelac R
References
IN-06-011
Download: ML061360026 (9)


UNITED STATES

NUCLEAR REGULATORY COMMISSION

OFFICE OF NUCLEAR MATERIAL SAFETY AND SAFEGUARDS

WASHINGTON, D.C. 20555-0001 June 12, 2006 NRC INFORMATION NOTICE 2006-11: APPLICABILITY OF PATIENT INTERVENTION IN

DETERMINING MEDICAL EVENTS FOR GAMMA

STEREOTACTIC RADIOSURGERY AND OTHER

THERAPY PROCEDURES

ADDRESSEES

All medical licensees.

PURPOSE

The U.S. Nuclear Regulatory Commission (NRC) is issuing this information notice (IN) to inform

addressees of an NRC concern that has arisen, regarding licensees assessing the contribution

of patient activities to errors, in medical administrations, when determining whether the events

constitute reportable medical events under 10 CFR 35.3045, Report and notification of a

medical event. It is expected that recipients will review this information for general applicability

to all their licensed medical use operations and consider actions, as appropriate, to avoid

similar problems. The information contained in this IN does not constitute new NRC

requirements; therefore, no specific action or written response is required.

DESCRIPTION OF CIRCUMSTANCES

Event 1 During a routine inspection of an NRC medical use licensee, NRC inspectors discovered

records of a medical administration involving the licensees gamma stereotactic radiosurgery

(Gamma Knife) unit that should have been reported as a medical event under §35.3045.

Specifically, following a Gamma Knife treatment, the licensee noted that the z-axis (up and

down) coordinate of the head frame had been displaced 7 centimeters (cm) (2.8 inches) during

the course of treatment. The x- and y-coordinates, however, had remained unchanged. The

licensee believed the misalignment occurred when the patient moved vigorously more than

half way through the procedure. The misalignment of the z-axis coordinate of the head frame

resulted in an estimated absorbed dose of 35 Gray (Gy) (3500 rads) [or 35 Sievert (Sv) (3500

rem) dose equivalent] to an unintended site--a dose that was greater than 50 percent of the

dose expected to that unintended site from the administration defined in the written directive.

The patient had complained of discomfort and back pain and had asked attending staff if he

could move his legs to a more comfortable position. Permission was granted to move a little, but the licensee noted that the patient moved vigorously. This occurred approximately 30

minutes into a 51-minute treatment. Although the patient moved vigorously, treatment

continued until completion of the procedure. The licensee stated that there had been no

observable reorientation of the patient in the Gamma Knife after the movement and that no

permanent functional damage to the patient had occurred from the dose delivered to the wrong

site, after the movement of the z-axis coordinate. The latter conclusion was based on the

licensees analysis of subsequent magnetic resonance images.

The licensee inspected the head frame and stated that there was no observable damage to the

z-bar, which controls the positioning of the z-axis coordinate. As a corrective action, the

licensee replaced the z-bars for that particular head frame. Although the z-bars were removed

from service, the licensee did not return them to the manufacturer for component failure

evaluation. Other corrective actions taken or planned included: (1) upgrading to the Model C

head frame with Automatic Positioning System; (2) instructing patients not to move; and (3)

increasing monitoring of patients during treatments that last 30 minutes or longer.

The licensee believed that the 7-cm (2.8-inch) change in the z-axis coordinate was caused by

the patients vigorous movement. Accordingly, the licensee believed that the patients

movement qualified as patient intervention. Since the licensee also determined that the dose

delivered to the wrong site had not resulted in permanent functional damage, the licensee

concluded that the criteria for reporting an event, in §35.3045(b), had not been met, so the

event was not reported to NRC. NRC, however, concluded that this occurrence should have

been reported under §35.3045.

Event 2 During a routine inspection of another NRC medical use licensee, NRC inspectors discovered

records of a medical administration, involving the licensees Gamma Knife unit, that also should

have been reported as a medical event, under §35.3045. Specifically, after an 11-exposure

Gamma Knife treatment, the licensee noted that the left anterior pin attaching the head frame to

the patient's head had been displaced laterally, resulting in a shifting of the isocenter an

estimated 6 millimeters (mm) (0.24 inches) during the course of the treatment. The licensee

initially believed that the movement of the head frame occurred when the patient coughed at the

start of the 11th exposure. The movement of the head frame resulted in a licensee initially

estimated additional absorbed dose of approximately 5 Gy (500 rads), or an additional dose

equivalent of approximately 5 Sv (500 rem), to an unintended site. This movement resulted in a

licensee initially estimated total absorbed dose of approximately 7.6 Gy (760 rads), or a dose

equivalent of approximately 7.6 Sv (760 rem), to an unintended site, which was greater than 50

percent above the approximately 2.6 Gray (260 rads) absorbed dose [or 2.6 Sv (260 rem) dose

equivalent] expected to that unintended site from the administration defined in the written

directive.

In a standard Gamma Knife procedure, the head frame is secured to the patients head using

four sharp pins screwed in place and tightened sufficiently to embed the point of the pin into the

table of the patients skull. During patient preparation, the neurosurgical team performed

physical tests and measurements to determine if there would be collisions between either the

patient's head or frame and the collimator helmet. In this specific case, there would have been

a collision with the right anterior pin, and the licensee made a decision to remove this pin and

proceed with the Gamma Knife procedure, using only three pins (three-pin technique). The

licensee indicated that after the other three pins were tightened, the right anterior pin

was removed. The procedure then continued without event until the final 11th exposure, when the patient

coughed, initially reported as occurring at the beginning of the exposure. It was not until after

the treatment was completed and the patient was removed from the unit that the staff noted the

patient was bleeding because the left anterior pin had moved from its original position.

The licensee determined the shift of the head frame from the movement of the pin from its

original position on the skull. From this observation, the licensee estimated the isocenter

shifted laterally by 6 mm (0.24 inches) and reviewed earlier magnetic resonance images to

approximate the location of the new isocenter and the wrong treatment site. Based on this

analysis, the licensee believed the location of the isocenter for the misdirected final exposure

was inside the auditory canal.

As corrective action, the licensee initially prohibited use of the three-pin technique for Gamma

Knife treatments. No other corrective actions were initially taken or planned. In later discussion

with NRC staff, the licensee indicated it was reevaluating its prohibition of the three-pin

technique.

The licensee believed that the movement of the left anterior pin was caused by the patient's

cough, and that the patients coughing movement constituted patient intervention. The

licensees staff concluded that there was ...no harm to the patient, since the patient received

almost the complete dose to the treatment site, and the wrong treatment site for the one

exposure was in the auditory canal, which did not result in permanent functional damage. The

licensee therefore believed that the criteria for reporting an event, in §35.3045(b), had not been

met, so the event was not reported to NRC. NRC, however, concluded that this occurrence

should have been reported, under §35.3045.

DISCUSSION

In each of the two events discussed, the licensee asserted that the patients movement

constituted patient intervention. Each licensee also decided that each event was not

reportable, because §35.3045(b) only requires reporting of an event resulting from intervention

of a patient ...in which the administration of byproduct material or radiation from byproduct

material results or will result in unintended permanent functional damage to an organ or

physiological system, as determined by a physician, and this condition did not occur. However, NRC concluded that neither licensee provided sufficient evidence to exclude equipment setup

as the cause of its medical event, rather than patient movement. Therefore, NRC concluded

that these occurrences should have been reported to NRC as medical events, under

§35.3045(a)(3). This, in part, requires that the licensee report any event (except for an event

that results from patient intervention) in which the administration of byproduct material, or

radiation from byproduct material, results in a dose to the skin, or to an organ or tissue other

than the treatment site, that exceeds by 0.5 Sv (50 rem) or more, and 50 percent or more, of

the dose to the skin, or organ or tissue other than the treatment site, that was expected from

the administration defined in the written directive. See Enclosure 1 for discussion of these two

Gamma Knife events.

For each of these events, the licensees corrective actions are silent about stopping treatments

when a patient moves, in order to ensure that the movement did not result in patient position

changes that could result in a medical event. In fact, the licensee for Event 1, through one of its corrective measures, implies that it is unnecessary for it to increase patient monitoring during

treatments that last less than 30 minutes.

As a measure for prevention of patient movement during Gamma Knife treatment, a licensee

could respond to a patients expression of discomfort by: (1) halting the treatment; (2) assisting

the patient in moving to become comfortable; (3) checking the head frame for correct

positioning; and (4) then resuming the treatment. We also believe that, as a potentially

corrective measure, regardless of the treatment time, a licensee authorized for Gamma Knife

treatments, or other high dose-rate treatments, should monitor the patient and stop the

treatment when a patient moves, in order to ensure that the movement did not result in a

patient position change that could result in a medical event.

The licensees believed that both of these Gamma Knife events resulted from patient

intervention. However, NRC views these as resulting primarily from patient equipment setup.

Similarly, incorrect decisions as to causes of events when patient actions are involved have

also been made by medical use licensees employing other treatment modalities, such as

temporary implant brachytherapy. Medical use licensees employing any treatment modality in

which patient actions may potentially interfere with licensees properly implementing physicians

intentions, as expressed in prescribed doses or dosages, should be aware that patient

movement or other involvement in an occurrence or event alone is not sufficient to rule out the

need to report the occurrence as a medical event. NRCs position is that a medical event has

occurred, even when the occurrence had patient movement or other involvement, if the licensee

has not followed appropriate preventative and corrective procedures for usage, and if the

criteria specified in §35.3045(a) or (b) are met.

Medical use licensees should review this IN and consider whether their procedures for use are

in accordance with the following recommended actions:

  • Monitor patient and/or source placement at reasonable frequencies;
  • Correctly identify patient and/or source displacement during monitoring;
  • Take prompt and appropriate actions should patient and/or source displacement occur;
  • Have trained personnel present or available to prevent or mitigate patient actions during

usage procedures that may impact treatment;

  • Promptly report all medical events to NRC; and
  • Promptly report all equipment malfunctions or problems to the vendors and, if required, to NRC (under 10 CFR 21.21 or §30.50(b)(2)) and the device licensing authorities (NRC

or Agreement States).

CONTACT

This IN requires no specific action nor written response. If you have any questions about the

information in this notice, please contact the technical contact below, or the appropriate

regional office.

/RA/

Charles L. Miller, Director

Division of Industrial and

Medical Nuclear Safety

Office of Nuclear Material Safety

and Safeguards

Technical Contact:

Ronald E. Zelac, Ph.D., NMSS

(301) 415-7635 E-mail: rez@nrc.gov

Enclosures:

1. List of recently issued NMSS Generic Communications

2. Discussion of Gamma Stereotactic Surgery Events 1 and 2

ML061360026 OFFICE MSIB MSIB Tech. Ed. IMNS MSIB IMNS

NAME RZelac SWastler EKraus AMcIntosh TEssig CMiller

DATE 5 /18 /06 5 / 25 /06 5 / 22 /06 5/ 24 /06 5/30/06 6/9/06 Enclosure 1 Recently Issued NMSS Generic Communications

Date GC No. Subject

Addressees

04/23/06 RIS-06-10 Use of Concentration Control for All licensees authorized to possess a

Criticality Safety critical mass of special nuclear material.

01/26/06 RIS-02-15, NRC Approval of Commercial Data All authorized recipients and holders of

Rev. 1 Encryption Products For the sensitive unclassified safeguards

Electronic Transmission Of information (SGI).

Safeguards Information

01/24/06 RIS-06-01 Expiration Date for NRC-Approved The U.S. Nuclear Regulatory Commission

Spent Fuel Transportation Routes (NRC) licensees who transport, or deliver

to a carrier for transport, irradiated

reactor fuel (spent nuclear fuel (SNF)).

01/13/06 RIS-05-27, NRC Regulatory Issue Summary All 10 CFR Parts 71 and 72 licensees

Rev. 1 2005-27, Rev. 1, NRC Timeliness and certificate holders.

Goals, Prioritization of Incoming

License Applications and

Voluntary Submittal of Schedule

for Future Actions for NRC Review

03/31/06 IN-06-07 Inappropriate Use of a Single- All licensees authorized to possess a

parameter Limit as a Nuclear critical mass of special nuclear material.

Criticality Safety Limit

03/21/06 IN-02-23, Unauthorized Administration of All medical licensees.

Supl. 1 Byproduct Material for Medical Use

01/19/06 IN-06-02 Use of Galvanized Supports and All holders of operating licenses for

Cable Trays with Meggitt Si 2400 nuclear reactors except those who have

Stainless- Steel-jacketed Electrical permanently ceased operations and have

Cables certified that fuel has been permanently

removed from the reactor vessel; and fuel

cycle licensees and certificate holders.

Note: NRC generic communications may be found on the NRC public website at http://www.nrc.gov, under Electronic

Reading Room/Document Collections. Enclosure 2 Discussion of Gamma Stereotactic Surgery Events 1 and 2 In Event 1, the licensee believed that the change in z-bar position was caused by two factors:

(1) the large stature of the patient (mass); and (2) the vigorous movement of the patients

legs and torso (force-of-movement). However, historical evidence from the device

manufacturer has shown that z-bar movement has only been observed when the associated

screws were not properly tightened, or there was a lubricant on the z-bar. Although the patient

movement in this case may have contributed to the medical event, the purpose of the head

frame design and function is to keep the head from moving in spite of patient movement. The

head frame essentially immobilizes the patients head, limiting the patients degree of upper

body movement. For movement of a properly secured z-bar to occur, the patient would have to

exert an extreme force on the head frame. Since the pins that secure the head frame to the

patients head are screwed directly into the patients skull, the extreme amount of force that

must be exerted to move the z-bar would be expected to also cause one or more of the pins to

move. There was no indication that these pins moved during the vigorous movement.

Also, 7 cm (2.8 inches) of z-bar slippage at one time would be expected to result in an

observable reorientation of the patient, which should have prompted the licensee to stop the

treatment and recheck the coordinates before continuing treatment. As stated earlier, the

treatment was not interrupted, and the licensee claimed that there was no observable

reorientation of the patient after the vigorous movement. The licensees not noting observable

patient reorientation, after the vigorousmovement, is inconsistent with the licensees belief that

the patients vigorous movement caused the 7-cm (2.8-inch) change in the z-axis coordinate.

This administration of radiation resulted in an unintended dose of 35 Sv (3500 rem), in an area

of the brain that was 7 cm (2.8 inches) away from the intended treatment site, and the patient

was expected to receive negligible dose in this area, which is distant from the treatment site.

Therefore, NRC staff has concluded that the licensee should have reported this event, under

§35.3045(a)(3).

At NRCs request, the licensee subsequently returned the z-bars to the manufacturer for

testing. The manufacturer determined that the z-bars failed (slipped) at 50 percent of their

designed locking force specification. After dismantling and thoroughly cleaning the z-bars, lubricating the locking screw and nut, and then reassembling the component, the z-bars

functioned at 100 percent of their design specification. The manufacturer concluded that the

slippage was caused by the reduced locking force of the z-bars, which was corrected by the

manufacturers dismantling, cleaning, and lubricating process. The licensee indicated that it

cleaned the z-bars before sending them to the manufacturer. But the licensees routine

cleaning, which involves soaking the intact components, is not as rigorous as the cleaning

performed by the manufacturer. The manufacturer revised its cleaning and lubricating

instructions, but those instructions do not include the dismantling and rigorous cleaning

performed by the manufacturer.

In Event 2, the licensee believed that the patients cough caused the movement of the left

anterior pin. An article from the 2002 Journal of Neurosurgery that the licensee provided to Enclosure 2 NRC, confirms that the three-pin technique the licensee used does not provide the same level

of immobility as the four-pin procedure. The manufacturer of the Gamma Knife offers a number

of different size screws and posts to permit repositioning of the patients head within the head

frame, if it appears a collision will occur. The manufacturer has also designed a front piece, specifically for a three-pin technique, that more evenly spaces the attachment pins and

distributes the forces on the pins around the skull. Further, historical evidence from the

manufacturer has shown that the attachment pins will move when the screws are not properly

tightened into the table of the skull. Movement of improperly tightened screws is also more

likely to happen in certain screw positions (e.g., when the screws are not positioned almost

perpendicularly to the tangential skull plane). Additionally, a loose screw may not be apparent

until the patient has gone through a number of preparation steps, such as pre-treatment

imaging or other movements that put dynamic stresses on the pin-skull interface. The

movement is usually detected by the presence of blood, caused as the sharp pin moves from its

initial location. The licensees failure to retighten the three remaining screws may have

contributed to the pin slippage; the angle of the screws and positioning of the head frame

medially, to accommodate the patients head size, may have also contributed to the slippage.

The licensee in this medical use occurrence did not provide sufficient evidence to justify the

claim of patient intervention. Specifically, the licensee did not provide sufficient evidence to

exclude improper tightening of the left anterior pin once the right anterior pin was removed or to

demonstrate that the three-pin technique used would provide the same immobilization provided

by either use of the fourth pin or equipment designed by the manufacturer specifically for a

three-pin head frame attachment. As noted previously, §35.3045 (a)(3) requires a license to

report any event (except for an event that results from patient intervention) where the

administration of byproduct material, or radiation from byproduct material, results in a dose to

the skin, or an organ or tissue other than the treatment site, that exceeds by 0.5 Sv (50 rem) or

more, and 50 percent or more, the dose to the skin, or organ or tissue other than the treatment

site, that was expected from the administration defined in the written directive. Based on the

licensees initial assessment, this administration resulted in an unintended dose of 7.6 Sv (760

rem) in an area of the brain that was 6 mm (0.24 inches) away from the intended treatment site

and was expected to receive approximately 2.6 Sv (260 rem). Therefore, at the time of the

licensees initial assessment, the licensee should have reported this event under

§35.3045(a)(3).

Subsequent to NRCs determination that the administration was a reportable medical event, the

licensee provided additional information that corrected errors in earlier information, concerning

the location of the unintended site and the dose to that site. The new information more

accurately set the time of the head frame slippage to halfway through the 11th exposure. This

reduced the estimated dose to the unintended site to 2.5 Sv (250 rem). The licensee also

corrected the location of the unintended site to the 30 percent isodose line, and not the 10

percent isodose line, as previously reported. The result of these corrections is that the event is

no longer considered a reportable medical event, under §35.3045(a)(3), because the additional

dose to the unintended site was 32 percent of the dose to that site (7.8 Sv, or 780 rem)

expected from the administration defined in the written directive, which is less than the 50

percent threshold for reporting a medical event under this criterion. However, the event is

included in the IN because the additional information the licensee subsequently provided did not

change NRCs conclusion that the event was not the result of patient intervention.