Opioid Treatment Programs Reported Challenges Encountered During the COVID-19 Pandemic and Actions Taken To Address Them, A-09-20-01001
- Issuer
- Office of Inspector General
- Document type
- Report
- Date
- 2020-06-22
Summary
An audit report by the Department of Health and Human Services Office of Inspector General, Report No. A-09-20-01001, dated November 2020, on challenges opioid treatment programs (OTPs) encountered during the COVID-19 pandemic. OIG interviewed officials at 142 OTPs from June 4 through June 22, 2020, drawn from a random sample of 150 of 1,746 OTPs nationwide. The report lists challenges including maintaining pre-pandemic service levels (124 OTPs), managing impacts on facility operations (113 OTPs) and implementing telehealth (87 OTPs). Actions reported include personal safety measures (141 OTPs), telehealth (128 OTPs) and increased take-home doses (127 OTPs). The report contains no recommendations and includes SAMHSA's comments and an appendix on audit scope and methodology.
Summary drafted by a model from the document's text below and checked by script against that text before publication. It is a navigation aid, not a reading of what the document proves. Where AI is used
Full text
Department of Health and Human Services
OFFICE OF
INSPECTOR GENERAL
OPIOID TREATMENT PROGRAMS
REPORTED CHALLENGES ENCOUNTERED
DURING THE COVID-19 PANDEMIC AND
ACTIONS TAKEN TO ADDRESS THEM
Inquiries about this report may be addressed to the Office of Public Affairs at
Public.Affairs@oig.hhs.gov.
Amy J. Frontz
Deputy Inspector General
for Audit Services
November 2020
A-09-20-01001
Office of Inspector General
https://oig.hhs.gov
The mission of the Office of Inspector General (OIG), as mandated by Public Law 95-452, as amended, is
to protect the integrity of the Department of Health and Human Services (HHS) programs, as well as the
health and welfare of beneficiaries served by those programs. This statutory mission is carried out
through a nationwide network of audits, investigations, and inspections conducted by the following
operating components:
Office of Audit Services
The Office of Audit Services (OAS) provides auditing services for HHS, either by conducting audits with
its own audit resources or by overseeing audit work done by others. Audits examine the performance of
HHS programs and/or its grantees and contractors in carrying out their respective responsibilities and are
intended to provide independent assessments of HHS programs and operations. These audits help reduce
waste, abuse, and mismanagement and promote economy and efficiency throughout HHS.
Office of Evaluation and Inspections
The Office of Evaluation and Inspections (OEI) conducts national evaluations to provide HHS, Congress,
and the public with timely, useful, and reliable information on significant issues. These evaluations focus
on preventing fraud, waste, or abuse and promoting economy, efficiency, and effectiveness of
departmental programs. To promote impact, OEI reports also present practical recommendations for
improving program operations.
Office of Investigations
The Office of Investigations (OI) conducts criminal, civil, and administrative investigations of fraud and
misconduct related to HHS programs, operations, and beneficiaries. With investigators working in all 50
States and the District of Columbia, OI utilizes its resources by actively coordinating with the Department
of Justice and other Federal, State, and local law enforcement authorities. The investigative efforts of OI
often lead to criminal convictions, administrative sanctions, and/or civil monetary penalties.
Office of Counsel to the Inspector General
The Office of Counsel to the Inspector General (OCIG) provides general legal services to OIG, rendering
advice and opinions on HHS programs and operations and providing all legal support for OIG’s internal
operations. OCIG represents OIG in all civil and administrative fraud and abuse cases involving HHS
programs, including False Claims Act, program exclusion, and civil monetary penalty cases. In
connection with these cases, OCIG also negotiates and monitors corporate integrity agreements. OCIG
renders advisory opinions, issues compliance program guidance, publishes fraud alerts, and provides
other guidance to the health care industry concerning the anti-kickback statute and other OIG enforcement
authorities.
Notices
THIS REPORT IS AVAILABLE TO THE PUBLIC
at https://oig.hhs.gov
Section 8M of the Inspector General Act, 5 U.S.C. App., requires
that OIG post its publicly available reports on the OIG website.
OFFICE OF AUDIT SERVICES FINDINGS AND OPINIONS
The designation of financial or management practices as
questionable, a recommendation for the disallowance of costs
incurred or claimed, and any other conclusions and
recommendations in this report represent the findings and
opinions of OAS. Authorized officials of the HHS operating
divisions will make final determination on these matters.
Report in Brief
Date: November 2020
Report No. A-09-20-01001
Why OIG Did This Audit Opioid Treatment Programs Reported Challenges
The United States currently faces two
nationwide public health Encountered During the COVID-19 Pandemic and
emergencies: the opioid crisis and the Actions Taken To Address Them
COVID-19 pandemic. The COVID-19
pandemic has had an impact on the What OIG Found
opioid crisis because individuals with
OTPs reported a variety of: (1) challenges they have encountered during the
an opioid use disorder may be at a
COVID-19 pandemic and (2) actions they have taken to address those
higher risk for COVID-19 infection
challenges while ensuring the continuity of needed services and protecting
and serious consequences from that
the health and safety of their patients and staff.
disease. In response to the
pandemic, the Substance Abuse and
OTPs reported challenges related to: (1) maintaining pre-pandemic service
Mental Health Services
levels (124 OTPs); (2) managing impacts on facility operations (113 OTPs);
Administration (SAMHSA) granted
(3) implementing and using telehealth (87 OTPs); (4) obtaining treatment
opioid treatment programs (OTPs)
medications, personal protective equipment, and cleaning supplies (83 OTPs);
and States increased flexibilities to
(5) maintaining patient participation in OTP activities (77 OTPs); (6) dealing
ensure the delivery of OTP services
with limitations posed by existing Federal guidance (65 OTPs); (7) providing
and to protect patients and staff from
take-home doses to patients (51 OTPs); and (8) implementing governmental
COVID-19 to the greatest extent
guidance (34 OTPs).
possible. To obtain information on
the impact that the COVID-19
OTPs reported actions taken, including: (1) encouraging or requiring various
pandemic has had on OTPs, we
personal safety measures for patients and staff (141 OTPs), (2) implementing
conducted interviews with 142 OTPs.
or expanding the use of telehealth to continue providing services (128 OTPs),
(3) increasing the number of take-home doses to reduce the number of
Our objectives were to identify:
patients visiting facilities (127 OTPs), (4) making physical changes to facilities
(1) challenges that OTPs have
and increasing staffing flexibilities (121 OTPs), and (5) ensuring that patients
encountered during the COVID-19
received treatment medications (92 OTPs).
pandemic and (2) actions that OTPs
have taken to address those
challenges while ensuring the
Conclusion and SAMHSA Comments
continuity of needed services and The information in this report was gathered to support HHS’s goal of reducing
protecting the health and safety of opioid morbidity and mortality and to help SAMHSA by providing information
their patients and staff. on the impact that the COVID-19 pandemic has had on OTPs. This information
was current when we conducted our interviews but may not represent all the
challenges that OTPs have faced or the actions they have taken to address
How OIG Did This Audit those challenges. We recognize that SAMHSA has taken actions to support
Of 1,746 OTPs nationwide, we OTPs as they work on the front lines to treat people diagnosed with opioid use
randomly selected 150 OTPs, and disorders and to ensure the safety of the health care workforce. The
after removing 7 of them for various information in this report provides SAMHSA and other decisionmakers (e.g.,
reasons, we attempted to interview State and Tribal officials and other Federal agencies) with a national snapshot
the remaining 143 OTPs from June 4 of OTPs’ challenges and the actions they have taken to continue providing
through June 22, 2020. We received
services during the pandemic. In written comments on our draft report,
responses from 142 OTPs, located in
SAMHSA described actions that it had taken after becoming aware of
37 States and the District of Columbia
COVID-19’s impact on operations for its behavioral health stakeholders, such
(137 urban areas and 5 rural areas).
as providing technical assistance and training during the pandemic.
The full report can be found at https://oig.hhs.gov/oas/reports/region9/92001001.asp.
TABLE OF CONTENTS
INTRODUCTION ............................................................................................................................... 1
Why We Did This Audit ....................................................................................................... 1
Objectives............................................................................................................................ 2
Background ......................................................................................................................... 2
The Opioid Crisis and the COVID-19 Pandemic ...................................................... 2
Opioid Treatment Programs and Services .............................................................. 4
SAMHSA’s Oversight of Treatment for Opioid Use Disorders and
Certification of Opioid Treatment Programs ....................................................... 4
Federal Opioid Treatment Standards for Opioid Treatment Programs ................. 5
Flexibilities Granted to Opioid Treatment Programs for Delivery of Services
During the COVID-19 Pandemic ........................................................................... 5
CDC Guidance for Health Care Providers Related to Health and Safety
of Patients and Staff During the COVID-19 Pandemic ......................................... 6
How We Conducted This Audit ........................................................................................... 6
RESULTS OF AUDIT .......................................................................................................................... 9
Opioid Treatment Programs Reported a Variety of Challenges Encountered
During the COVID-19 Pandemic ....................................................................................... 9
Maintaining Pre-pandemic Service Levels Was Challenging ................................ 10
Opioid Treatment Program Facility Operations Were Impacted ......................... 12
Implementing and Using Telehealth Was Challenging ......................................... 15
Treatment Medications, Personal Protective Equipment, and
Cleaning Supplies Were More Difficult To Obtain and More Expensive
Than Before the COVID-19 Pandemic ................................................................ 16
Patient Participation in Opioid Treatment Program Activities Was Challenging
To Maintain ........................................................................................................ 17
Dealing With Limitations Posed by Existing Federal Guidance Was Challenging,
and Opioid Treatment Programs Would Like To Have Additional Flexibilities
for Providing Services During the COVID-19 Pandemic ..................................... 18
Providing Take-Home Doses to Patients Posed Some Challenges ....................... 19
Implementing Governmental Guidance Was Not Always Easy ............................ 21
Opioid Treatment Programs Reported a Variety of Actions Taken To Address Challenges
While Ensuring the Continuity of Needed Services and Protecting the Health and
Safety of Patients and Staff ............................................................................................ 21
Opioid Treatment Programs Encouraged or Required Various Personal Safety
Measures for Patients and Staff......................................................................... 22
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001)
Opioid Treatment Programs Implemented or Expanded the Use of Telehealth
To Continue Providing Services .......................................................................... 24
Opioid Treatment Programs Increased the Number of Take-Home Doses
To Reduce the Number of Patients Visiting Facilities ........................................ 25
Opioid Treatment Programs Made Physical Changes to Facilities and
Increased Staffing Flexibilities ............................................................................ 26
Opioid Treatment Programs Took a Variety of Actions To Ensure That
Patients Received Treatment Medications ........................................................ 28
CONCLUSION ................................................................................................................................. 29
SAMHSA COMMENTS ................................................................................................................... 30
OTHER MATTERS ........................................................................................................................... 30
APPENDICES
A: Audit Scope and Methodology ..................................................................................... 32
B: SAMHSA Comments...................................................................................................... 35
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001)
INTRODUCTION
WHY WE DID THIS AUDIT
The United States currently faces two nationwide public health emergencies: the opioid crisis
and the COVID-19 pandemic. Recent Centers for Disease Control and Prevention (CDC) data
identified that nearly 47,000 people died in 2018 from opioid overdoses and more than 120,000
people had died as of June 22, 2020, 1 from complications related to COVID-19.
COVID-19 is a highly contagious disease that is thought to spread mainly from person to person
through respiratory droplets. 2 Because of the widespread transmission of COVID-19, Federal,
State, Tribal, and local government agencies recommended and implemented extensive
community mitigation activities, including issuing orders to residents to stay at home and
practice social distancing, 3 to help slow and contain the spread of COVID-19.
The COVID-19 pandemic has had an impact on the opioid crisis. Individuals with an opioid use
disorder 4 may be at a higher risk for COVID-19 infection and serious consequences, including
death, from that disease.5, 6 In response to the COVID-19 pandemic, the Substance Abuse and
Mental Health Services Administration (SAMHSA) granted opioid treatment programs (OTPs)
and States increased flexibilities to ensure the delivery of OTP services and to protect patients
and staff from COVID-19 to the greatest extent possible. (OTPs provide medications with
counseling and behavioral therapies to treat substance use disorders and prevent opioid
overdoses.) The extent to which OTPs have been able to implement these flexibilities and the
effect they have had on maintaining services are unknown.
The information in this report was obtained primarily from interviews we conducted with
executives and administrative officials at 142 OTPs from June 4 through June 22, 2020. The
1
The number of COVID-19 deaths as of June 22, 2020, reflected the number of deaths at the end of the data
collection period for our audit. As of November 12, 2020, more than 240,000 people had died from complications
related to COVID-19.
2
CDC, “Coronavirus Disease 2019 (COVID-19) Frequently Asked Questions.” Available at
https://www.cdc.gov/coronavirus/2019-ncov/faq.html. Accessed on October 29, 2020.
3
The purpose of social distancing, also called physical distancing, is to keep space between people outside of the
home. It is recommended that a person stay at least 6 feet from others.
4
Opioid use disorder is the chronic use of opioids, causing clinically significant distress or impairment.
5
Bloomberg Law, Pharmaceutical & Life Sciences News, “Virus Pandemic, Opioid Epidemic Collide Around Social
Distancing.” Available at https://news.bloomberglaw.com/pharma-and-life-sciences/virus-pandemic-opioid-
epidemic-collide-around-social-distancing. Accessed on June 30, 2020.
6
Harvard Health Publishing, Harvard Medical School, “A tale of two epidemics: When COVID-19 and opioid
addiction collide.” Available at https://www.health.harvard.edu/blog/a-tale-of-two-epidemics-when-covid-19-
and-opioid-addiction-collide-2020042019569. Accessed on June 30, 2020.
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 1
information was gathered to support the Department of Health and Human Services’ (HHS’s)
goal of reducing opioid morbidity and mortality and to help SAMHSA by providing information
on the impact that the COVID-19 pandemic has had on OTPs. Among other actions taken by the
Federal Government, the HHS Office of Inspector General was appropriated a total of
$12 million to conduct oversight of HHS’s response to the pandemic.
This audit provides SAMHSA and other decisionmakers (e.g., State and Tribal officials and other
Federal agencies) with a national snapshot of OTPs’ challenges and the actions they have taken
to continue providing services during the COVID-19 pandemic. In addition, OTPs may find the
information about each other’s strategies useful in their own efforts to address the challenges
they are facing. This audit is not an assessment of HHS’s or SAMHSA’s response to the
COVID-19 pandemic.
OBJECTIVES
Our objectives were to identify: (1) challenges that OTPs have encountered during the
COVID-19 pandemic and (2) actions that OTPs have taken to address those challenges while
ensuring the continuity of needed services and protecting the health and safety of their
patients and staff.
BACKGROUND
The Opioid Crisis and the COVID-19 Pandemic
The United States has been faced with an opioid crisis since the late 1990s. Increased
prescribing of opioid medications led to widespread misuse of both prescription and
nonprescription opioids before it became clear that these medications could be highly
addictive. This misuse resulted in an initial wave of opioid overdose deaths. There were two
subsequent waves of opioid overdose deaths: the first wave included an increased number of
deaths involving heroin, and the second wave involved increases in deaths caused by synthetic
opioids, including illicitly manufactured fentanyl. From 1999 through 2018, almost 450,000
people died from opioid overdoses; there were nearly 47,000 deaths in 2018 alone. In
October 2017, the opioid crisis was declared a national public health emergency, authorizing
Federal agencies to use emergency authority to address the crisis.
In early 2020, a new health-related crisis emerged. On January 31, 2020, the Secretary of
Health and Human Services declared a national public health emergency as a result of
confirmed U.S. cases of COVID-19, a highly contagious disease caused by the SARS-CoV-2
coronavirus. On March 11, 2020, the World Health Organization characterized COVID-19 as a
pandemic (an epidemic7 that has spread over several countries or continents, usually affecting
7
An epidemic refers to an increase, often sudden, in the number of cases of a disease above what is normally
expected in that population in that area.
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 2
a large number of people). As of June 22, 2020, CDC had reported 2,302,288 confirmed cases in
the United States and 120,333 deaths from COVID-19.
COVID-19 is thought to spread mainly from person to person through respiratory droplets
produced when an infected person coughs, sneezes, talks, or breathes. These droplets can land
in the mouths or noses of people who are nearby or possibly be inhaled into the lungs.
Transmission is more likely to occur when people are in close contact with one another (within
about 6 feet). Some infected individuals may exhibit symptoms (symptomatic), while others
may exhibit no symptoms (asymptomatic). The risk for developing more serious complications
from COVID-19 increases with age or having severe underlying medical conditions, such as
heart or lung disease or diabetes.
The COVID-19 pandemic has had an impact on the opioid crisis. Individuals with an opioid use
disorder may be at a higher risk for COVID-19 and serious consequences, including death, from
that disease. 8 These individuals tend to be more vulnerable to contracting COVID-19 because
they are more likely to: (1) be homeless, poor, smokers with lung or cardiovascular disease, or
uninsured or underinsured or (2) have serious health and socioeconomic issues from drug
addiction.9 Many of these individuals also have mental health conditions that are exacerbated
by the effects of the COVID-19 pandemic. 10, 11 For instance, these individuals may experience
increased feelings of isolation and depression as the result of stay-at-home orders and the need
for social distancing.12, 13 Anecdotal evidence indicates that opioid overdoses may be increasing
during the pandemic.14
8
Bloomberg Law, Pharmaceutical & Life Sciences News, “Virus Pandemic, Opioid Epidemic Collide Around Social
Distancing.” Available at https://news.bloomberglaw.com/pharma-and-life-sciences/virus-pandemic-opioid-
epidemic-collide-around-social-distancing. Accessed on June 30, 2020.
9
Harvard Health Publishing, Harvard Medical School, “A tale of two epidemics: When COVID-19 and opioid
addiction collide.” Available at https://www.health.harvard.edu/blog/a-tale-of-two-epidemics-when-covid-19-
and-opioid-addiction-collide-2020042019569. Accessed on June 30, 2020.
10
MedPage Today, “Addressing the Opioid Crisis During COVID-19.” Available at
https://www.medpagetoday.com/publichealthpolicy/opioids/86655. Accessed on May 28, 2020.
11
Kaiser Family Foundation, “The Implications of COVID-19 for Mental Health and Substance Use.” Available at
https://www.kff.org/coronavirus-covid-19/issue-brief/the-implications-of-covid-19-for-mental-health-and-
substance-use. Accessed on October 29, 2020.
12
UCLA Health, “As Stay-at-Home Orders Increase, so do Feelings of Loneliness and Depression.” Available at
https://connect.uclahealth.org/2020/03/23/as-stay-at-home-orders-increase-so-do-feelings-of-loneliness-and-
depression. Accessed on July 3, 2020.
13
MedPage Today, “Addressing the Opioid Crisis During COVID-19.” Available at
https://www.medpagetoday.com/publichealthpolicy/opioids/86655. Accessed on May 28, 2020.
14
American Medical Association, Advocacy Resource Center, “Issue brief: Reports of increases in opioid- and other
drug-related overdose and other concerns during COVID pandemic.” Available at https://www.ama-
assn.org/system/files/2020-06/issue-brief-increases-in-opioid-related-overdose.pdf. Accessed on October 29, 2020.
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 3
Opioid Treatment Programs and Services
OTPs are on the front line in responding to the opioid crisis. They provide medication-assisted
treatment (MAT) 15 for people diagnosed with an opioid use disorder. 16 OTPs tailor the
treatment to meet each patient’s needs. OTPs also focus on improving patients’ quality of life
through a range of services designed to reduce, eliminate, and prevent the use of illicit drugs,
the spread of infectious disease, and potential criminal activity by providing medical,
counseling, vocational, educational, and other assessment and treatment services. Collectively,
all the services that OTPs provide are referred to as “OTP services” in this report.
MAT is primarily used to treat opioid dependence and addiction to short-acting opioids (e.g.,
heroin, morphine, and codeine) as well as semisynthetic and fully synthetic opioids (e.g.,
oxycodone, hydrocodone, and fentanyl). Medications approved by the Food and Drug
Administration for use in MAT include methadone, buprenorphine, and naltrexone. 17 The
oversight of treatment medications used in MAT is a coordinated effort involving States; HHS,
including SAMHSA; the Department of Justice; and the Drug Enforcement Administration (DEA).
Patients who are prescribed MAT generally visit an OTP facility daily to receive their medication
and necessary counseling or therapy. However, patients may receive take-home doses18 of
their medication for days on which an OTP facility is closed (e.g., Sundays and holidays) or if the
OTP has determined that the patient has met certain requirements identified in Federal
regulations.
SAMHSA’s Oversight of Treatment for Opioid Use Disorders and Certification of
Opioid Treatment Programs
SAMHSA, an agency within HHS, leads public health efforts focused on behavioral health and
improving the lives of those with mental and substance use disorders. It provides guidance
related to the treatment of opioid use disorders and administers grants aimed at combating the
opioid crisis, including funding of prevention, treatment, and recovery services for opioid use
disorders.
15
MAT is the use of medications with counseling and behavioral therapies to treat substance use disorders and
prevent opioid overdose.
16
OTPs refer to the individuals who are enrolled in an OTP for MAT as “patients.”
17
Methadone and buprenorphine are medications that reduce opioid cravings and withdrawal and can blunt the
effects of other opioids. Methadone is dispensed or administered only through OTPs. In addition to being
dispensed at OTPs, buprenorphine can be prescribed or dispensed in physician offices by qualified practitioners.
Naltrexone is a medication that blocks the euphoric and sedative effects of other opioids. It can be prescribed by
any health care provider licensed to prescribe medications.
18
Take-home doses refer to medications dispensed to patients for unsupervised use.
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 4
OTPs must be certified by SAMHSA and accredited by an independent, SAMHSA-approved
accrediting body to dispense opioid treatment medications. In addition, OTPs must be licensed
by the State in which they operate and must register with DEA.
Federal Opioid Treatment Standards for Opioid Treatment Programs
Federal regulations contain requirements for OTPs to provide adequate medical, counseling,
vocational, educational, and other assessment and treatment services. 19 The regulations
require each patient to undergo a complete, fully documented physical evaluation before
admission to an OTP.20 OTPs are allowed to use only those medications that the Food and Drug
Administration has approved for use in the treatment of opioid addiction, and methadone must
be dispensed in oral form. 21 Adequate drug testing must be conducted, including a minimum of
eight random drug tests per year.22 To determine whether a patient is responsible for handling
MAT drugs for unsupervised (i.e., take-home) use, OTPs must consider eight requirements.23
The maximum number of days of take-home doses is limited based on the length of time the
patient has been in treatment.24 SAMHSA may grant exemptions to some of these
requirements. 25
Flexibilities Granted to Opioid Treatment Programs for Delivery of Services
During the COVID-19 Pandemic
In March 2020, SAMHSA and DEA granted OTPs and States increased flexibilities and temporary
exemptions affecting the delivery of services during the COVID-19 pandemic. For example,
SAMHSA allowed States to request exceptions to Federal requirements related to take-home
doses. Specifically, SAMHSA granted States and OTPs the flexibility to provide patients with
more take-home doses than Federal regulations allow: “stable” patients may receive 28 days of
take-home doses and “less stable” patients may receive 14 days of take-home doses, as long as
19
42 CFR § 8.12(f)(1).
20
42 CFR § 8.12(f)(2).
21
42 CFR §§ 8.12(h)(2) and (h)(3)(i).
22
42 CFR § 8.12(f)(6).
23
Federal regulations (42 CFR § 8.12(i)(2)) require that an OTP’s medical director consider the following in
determining whether a patient is responsible for handling take-home doses: (1) absence of recent abuse of drugs,
including alcohol; (2) regularity of clinic attendance; (3) absence of serious behavioral problems at the clinic;
(4) absence of known recent criminal activity; (5) stability of the patient’s home environment and social
relationships; (6) length of time in comprehensive maintenance treatment; (7) assurance that take-home
medication can be safely stored within the patient’s home; and (8) whether the rehabilitative benefit the patient
derived from decreasing the frequency of clinic attendance outweighs the potential risks of diversion.
24
42 CFR § 8.12(i).
25
42 CFR § 8.11(h).
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 5
the OTP believes that the patient can safely handle it. In addition, SAMHSA and DEA granted a
temporary exemption to OTPs from having to perform in-person physical evaluations of
patients who will be treated with buprenorphine, 26 with intake of new patients and treatment
permitted using telehealth. 27 SAMHSA and DEA also provided guidance on implementing
flexibilities affecting the delivery of medications to patients who were quarantined at home
with COVID-19.
CDC Guidance for Health Care Providers Related to Health and Safety of Patients and Staff
During the COVID-19 Pandemic
In response to the COVID-19 pandemic, CDC issued guidance to health care providers, including
OTPs, addressing the health and safety of patients and staff. The intent of the guidance is to
reduce OTP facility risk (e.g., screening those entering a facility), isolate symptomatic patients
as soon as possible, and protect health care personnel. Measures include having patients and
staff wear face coverings while at a facility, limiting and monitoring points of entry to the
facility, posting visual alerts to provide instructions on hand and respiratory hygiene,
implementing alternatives to face-to-face visits (e.g., telehealth), and canceling or modifying in-
person group health care activities.
HOW WE CONDUCTED THIS AUDIT
As of April 17, 2020, there were 1,746 OTPs nationwide (excluding U.S. territories) that SAMHSA
had either certified or provisionally certified 28 to provide MAT. Of these OTPs, we randomly
selected 150 OTPs from 49 States (excluding Wyoming, which had no operating OTPs) and the
District of Columbia. From the sample, we removed seven OTPs for various reasons, including
one OTP that was no longer in operation. We attempted to interview the remaining 143 OTPs.
We received responses from 142 of the 143 OTPs, for a response rate of 99.3 percent. The
OTPs that responded were located in 37 States and the District of Columbia. 29 (The blue dots
on the map in Figure 1 on the following page show the locations of the OTPs.)
26
New patients who will be prescribed methadone must still be evaluated in person. SAMHSA, “FAQs: provision of
methadone and buprenorphine for the treatment of Opioid Use Disorder in the COVID-19 emergency.” Available
at https://www.samhsa.gov/sites/default/files/faqs-for-oud-prescribing-and-dispensing.pdf. Accessed on
July 7, 2020.
27
Telehealth is the use of electronic information and telecommunication technologies to support and promote
long-distance clinical health care, patient and professional health-related education, public health, and health
administration.
28
Provisional certification is a temporary certification that SAMHSA grants to a new OTP for up to 1 year. During
that period, the OTP must become accredited.
29
Of the 142 OTPs that responded to our request for an interview, 137 were located in urban areas (i.e., areas with
2,500 or more people) and 5 were located in rural areas (i.e., areas with fewer than 2,500 people), based on 2010
census data from the U.S. Bureau of the Census.
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 6
Figure 1: Locations of the 142 OTPs (in 37 States and the District of Columbia)
The information in this report was obtained primarily from telephone interviews 30 of one or
more OTP executives and administrative officials (e.g., the program director, medical director,
or clinical director) 31 from June 4 through June 22, 2020, and reflects OTPs’ responses at a
specific point in time. During each interview, we obtained information related to challenges
that the OTP stated that it had encountered during the COVID-19 pandemic and the actions
that the OTP stated that it was taking or had taken to address those challenges.
We asked each OTP to answer four primary questions: 32
• What challenges are you encountering in providing OTP services to patients during the
COVID-19 pandemic?
30
Two OTPs responded to our interview questions through email.
31
Most interview responses were provided by OTP officials. However, in some cases, we spoke with officials from
an OTP’s parent company instead of or in addition to an OTP official. We considered the interviews with parent
company officials to be formal responses from those OTPs owned by the parent company.
32
In addition to these four questions, we asked each OTP about the impact that the COVID-19 pandemic has had
on the number of patients who: (1) were enrolled in the OTP, (2) were visiting its facility for MAT, (3) were seeking
enrollment in the OTP, (4) had experienced a relapse, or (5) had experienced an overdose.
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 7
• What strategies or actions has your facility employed to ensure the availability and
delivery of OTP services to your patients during the COVID-19 pandemic?
• What strategies or actions have you taken to protect the health and safety of your
patients and staff?
• What strategies or actions would you like to implement but are unable to and why are
you not able to implement them?
The information in this report represents a range of challenges, actions, experiences, and
perceptions that OTP officials conveyed to us, as of a point in time, during the interviews. This
information may not represent all the challenges that OTPs have faced or the actions they have
taken during the COVID-19 pandemic. Since our interviews, OTPs may have addressed some of
the challenges and identified new challenges. Additionally, during our interviews, OTPs may
not have shared with us all their challenges or all the actions they have taken. Although some
OTPs may have faced the same challenges or taken the same actions that other OTPs reported,
these OTPs did not describe them to us in response to our questions. We did not
independently verify the information that the OTPs provided to us or determine the
effectiveness of the actions that the OTPs identified.
The information in this report is provided for informational purposes only and, therefore, the
report does not contain any recommendations. We gathered this information to support HHS’s
goal of reducing opioid morbidity and mortality and to help SAMHSA by providing information
on the impact that the COVID-19 pandemic has had on OTPs. This report provides SAMHSA and
other decisionmakers (e.g., State and Tribal officials and other Federal agencies) with a national
snapshot of OTPs’ challenges and the actions they have taken to continue providing services
during the COVID-19 pandemic. In addition, OTPs may find the information about each other’s
strategies useful in their own efforts to address the challenges they are facing. This audit is not
an assessment of HHS’s or SAMHSA’s response to the COVID-19 pandemic.
We conducted this performance audit in accordance with generally accepted government
auditing standards. Those standards require that we plan and perform the audit to obtain
sufficient, appropriate evidence to provide a reasonable basis for our findings and conclusions
based on our audit objectives. We believe that the evidence obtained provides a reasonable
basis for our findings and conclusions based on our audit objectives.
Appendix A describes our audit scope and methodology.
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 8
RESULTS OF AUDIT
OTPs reported a variety of: (1) challenges they have encountered during the COVID-19
pandemic and (2) actions they have taken to address those challenges while ensuring the
continuity of needed services and protecting the health and safety of their patients and staff. 33
(Figure 2 provides a summary of the challenges encountered and the actions taken.)
Figure 2: Challenges That Opioid Treatment Programs Encountered and
Actions Taken To Address Challenges 34
OPIOID TREATMENT PROGRAMS REPORTED A VARIETY OF CHALLENGES ENCOUNTERED
DURING THE COVID-19 PANDEMIC
OTPs reported a variety of challenges they have encountered during the COVID-19 pandemic,
including challenges related to: (1) maintaining pre-pandemic service levels (124 OTPs);
33
At the beginning of the sections in which we describe the challenges that OTPs encountered and the actions they
took, we show the number of OTPs who reported challenges in different categories. When we describe the
specific challenges or actions that OTPs reported to us, we provide various examples of the challenges that OTPs
faced or actions they took to address their challenges. The examples we provide do not represent a
comprehensive list of all of the examples that OTPs reported to us. Additionally, because of the open-ended
nature of our questions and the varied responses we received from OTPs, we do not report the number of OTPs
that described any specific challenge encountered or action taken. We also are not representing that the majority
of OTPs, or any specific number of OTPs (other than a single OTP), reported a specific challenge encountered or
action taken.
34
The order in which we list the categories of challenges that OTPs encountered and the actions they took is based
on the number of OTPs that reported to us information related to each category and does not necessarily reflect
the importance of the categories.
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 9
(2) managing impacts on facility operations (113 OTPs); (3) implementing and using telehealth
(87 OTPs); (4) obtaining treatment medications, personal protective equipment (PPE),35 and
cleaning supplies (83 OTPs); (5) maintaining patient participation in OTP activities (77 OTPs);
(6) dealing with limitations posed by existing Federal guidance (65 OTPs); (7) providing take-
home doses to patients (51 OTPs); and (8) implementing governmental guidance (34 OTPs).
Maintaining Pre-pandemic Service Levels Was Challenging
Of the 142 OTPs that we interviewed, 124 reported challenges in maintaining the levels of
service they provided before the COVID-19 pandemic and maintaining safe contact with
patients.
Maintaining Service Levels
OTPs reported challenges in maintaining the level of services they normally provided because
they were trying to find the appropriate balance between keeping patients and staff safe and
providing quality care to patients. Before the COVID-19 pandemic, some OTPs provided a
broad range of services,36 mostly in their facilities. Since the beginning of the pandemic,
however, OTPs have not been able to provide their normal range of services because of
reductions in revenues, staffing, operating hours, and the number of patients visiting their
facilities; as a result, OTPs have reduced the amount of services they provide to focus on
providing MAT to their patients.
OTPs found it challenging to maintain services because staff were afraid to be in facilities. OTPs
stated that it was challenging to perform services that required close personal contact (e.g.,
new admissions, examinations of patients requiring methadone treatment, and drug testing)
and, at the same time, adhere to social distancing guidelines. Even after implementing social
distancing practices, some OTPs discontinued or postponed all annual physical exams of
patients for a period of time to limit close contact
between patients and staff. In addition, OTPs stopped One OTP administrator
providing or delayed some services because they did not commented: “[MAT] hinges
have PPE for patients and staff and discontinued on face-to-face interaction
providing group counseling sessions to eliminate the as it is personalized to each
need for patients and staff to gather in large groups. patient, so some of the
One OTP stated that after implementing social- effectiveness is lost from
distancing measures in its facility, staff were not able to not being onsite and having
observe the collection of patients’ urine samples for [personal or face-to-face]
required drug tests. interaction.”
35
As used in this report, PPE refers to protective clothing, helmets, gloves, face shields, goggles, face masks,
respirators, or other equipment designed to protect the wearer from injury or the spread of infection or illness.
36
In addition to providing MAT (i.e., medications and counseling services), some OTPs provided other services,
such as primary care, psychiatric, and social services.
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 10
OTPs also reported that some patients have been afraid or unwilling to visit a facility for
medication or counseling because of the increased risk of being exposed to COVID-19. OTPs
stated that, in some cases, patients visited a facility for medication and counseling but did not
stay long because they feared exposure to COVID-19. In other cases, patients skipped their
scheduled appointments because they were symptomatic.
OTPs reported other challenges related to:
• determining how best to provide services to each of their patients, including those who
had tested positive for COVID-19 or were in quarantine because of exposure to
someone who had tested positive;
• admitting new patients because medical staff who performed physical examinations of
patients were working limited schedules;
• obtaining physical examinations or blood tests from outside providers because the
providers were no longer furnishing those services;
• scheduling patients for counseling sessions because OTPs did not always have accurate
contact information for patients, OTPs were challenged by coordinating patient
schedules with clinic counseling schedules, and some patients would not participate in
telehealth; and
• following up with patients who were approved for take-home doses.
Maintaining Safe Contact With Patients
OTPs reported challenges in implementing CDC’s guidance on protecting the health and safety
of patients and staff. OTPs stated that they were not prepared for a situation like the COVID-19
pandemic. PPE was in short supply or not available, and social distancing measures had to be
put in place.
Early in the COVID-19 pandemic, because OTPs were unable to purchase PPE, they struggled to
implement their policies requiring the use of PPE. After PPE was available, OTPs stated that it
was difficult to get patients to wear PPE that facilities provided (i.e., masks) and to follow other
safety measures (e.g., frequent hand washing) that facilities put in place.
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 11
OTPs reported many challenges in implementing and
One OTP said that its
enforcing social distancing (i.e., maintaining at least 6 feet
patients were not taking
of distance between people in a facility) to maintain safe
the threat of contracting
contact with patients. OTPs stated that they had to
COVID-19 as seriously as
determine how many patients could safely be in a facility;
they were at the
by limiting the number of patients, some OTP facilities had
beginning of the
long lines of patients waiting outside to enter. OTPs stated
pandemic (i.e., treating
that while patients were waiting in line, they did not follow
COVID-19 as if it were
social distancing guidelines, and OTPs were unable to
the seasonal flu).
enforce the guidelines.
OTPs stated that many of their patients were considered to be at high risk for COVID-19
complications because they were older or had underlying health conditions. OTPs stated that it
was challenging to schedule visits for those patients and other patients who had tested positive
for COVID-19 and to ensure that they were isolated from others while at a facility.
OTPs also stated that they found it difficult to maintain social distancing within their facilities
when telehealth was not an option for certain patients. OTPs stated that patients need to
closely interact with OTP staff to complete paperwork and sign required forms. In addition,
physical examinations of new patients who are prescribed methadone must be conducted in
person. One OTP also expressed concerns with maintaining social distancing if there were to be
a major weather event, such as a hurricane, during the COVID-19 pandemic. For example,
patients would need to visit the facility to obtain take-home doses during a short period before
evacuation.
Opioid Treatment Program Facility Operations Were Impacted
Of the 142 OTPs that we interviewed, 113 reported that the COVID-19 pandemic had an impact
on their facilities’ operations. For example, OTPs reported that their operating budgets,
staffing, and hours of operation were impacted. In addition, OTPs reported that it was difficult
to implement social distancing in their facilities.
Operating Budgets
OTPs reported that their operating expenditures increased while operating revenues
decreased:
• Expenditures increased because of: (1) higher salary and compensation costs incurred
(e.g., overtime pay, hazard pay, and sick leave costs); (2) hiring of additional staff to
meet the changing needs of delivering OTP services (i.e., curbside dosing37 or third-party
37
Curbside dosing refers to providing medication outside of the OTP facility. For example, OTP staff administered
or delivered treatment medication to patients outside the facility who were symptomatic, had tested positive for
COVID-19, or had underlying health conditions.
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 12
transfers38), to offset staff absences or departures related to the COVID-19 pandemic
and to perform additional tasks, such as screening patients for symptoms of COVID-19
(e.g., temperature checks); (3) acquisition of PPE (such as masks) for patients and staff;
(4) acquisition of cleaning supplies and sanitizers; (5) procurement of additional
janitorial services; (6) acquisition of larger than normal quantities of medication and
related supplies to fulfill increased numbers of take-home doses; and
(7) implementation of telework and telehealth.
• Revenues decreased because State reimbursements declined, patients visited facilities
less often, and patients did not have the ability to pay for services themselves. OTPs
reported that some State Medicaid agencies did not pay providers for some services
(e.g., take-home doses and telehealth) or did not pay providers for telehealth services at
the same rates they paid for in-person services. In addition, fewer patients visiting
facilities resulted in fewer reimbursements from State Medicaid programs, private
insurance companies, and patients. Further, some patients were unable to pay for
services received because their work hours had been reduced, they had lost their jobs,
or they had no insurance coverage. OTPs stated that they continued to treat patients
irrespective of their ability to pay.
Staffing
OTPs reported that staffing was impacted, with some OTPs expressing that they needed more
staff, while other OTPs needed to reduce the number of staff. OTPs also reported that existing
staff were required to work more hours to comply with and implement COVID-19-related safety
protocols (e.g., additional cleaning of facilities, screening of patients for COVID-19, and
delivering curbside dosing or transferring medication to third parties).
Some OTPs reported that staff spent more time than they did before the COVID-19 pandemic
doing the following:
• training patients to properly secure, manage, and account for their take-home doses
and to use telehealth;
• helping teleworking colleagues with sending and receiving faxes and gathering
information; and
38
A third-party transfer is the delivery of medication to a designated individual on the patient’s behalf, who then
delivers it to the patient. The designated individual is verified by the OTP, and a chain-of-custody record
documenting the transfer of the medication must be maintained.
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 13
• performing the work of colleagues
One OTP stated that at one point,
who could not work because of
50 percent of its staff was not working
personal situations. For example,
because of the COVID-19 pandemic.
staff may not have been able to work
Staff tested positive, had relatives who
because they had underlying health
had tested positive, were fearful of
conditions that put them in a high-risk
coming into the facility, or were
category, may have tested positive for
immunocompromised. This same OTP
COVID-19, or may have been
reported that one staff member had
quarantined because of exposure to
died because of COVID-19.
someone who tested positive. In
addition, staff may have needed to
care for family members or feared possible exposure to COVID-19 when working in the
facility.
Other OTPs reported that they: (1) had reduced the number of staff within their facilities to
limit staff members’ exposure to COVID-19 or (2) had to let go some of their administrative and
part-time staff because of reductions in services and revenues.
In addition, OTPs reported that they were concerned with staff members’ mental health
because staff were working under stressful conditions. OTPs reported that some staff
experienced fatigue and burnout and eventually resigned. The staffing problems were
compounded by the difficulty of hiring new staff, because the entities that performed
background checks and fingerprinting services were also working at reduced capacities.
Hours of Operation
OTPs reported that they had closed facilities temporarily or reduced facilities’ hours of
operation 39 because: (1) facilities had to be cleaned as a result of patients or staff testing
positive for COVID-19 or being exposed to someone who had tested positive, (2) facilities were
short-staffed because staff members who tested positive for COVID-19 or were exposed to
someone who tested positive had to be quarantined, (3) staff were concerned about working in
facilities without PPE and other safety measures in place, and (4) OTPs wanted to limit face-to-
face interactions between patients and staff as much as possible.
Implementing Social Distancing in Facilities
OTPs reported that they had difficulties implementing social distancing in facilities because the
facilities were small and were not designed or arranged to implement the recommended
amount of space between people. Areas such as lobbies, reception and waiting areas, dosing
areas, and counseling rooms did not provide for adequate distance between patients and staff
39
Although OTPs may have reduced their hours of operation, some OTPs increased the number of hours in which
they provided medication to patients to limit the number of patients in the facility at one time (i.e., for those
patients who were not eligible for take-home doses).
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 14
and did not have physical barriers to limit or prevent transmission of COVID-19 among patients
and staff.
Implementing and Using Telehealth Was Challenging
Of the 142 OTPs that we interviewed, 87 reported challenges in implementing telehealth for
both staff and patients, as well as in using telehealth for counseling services and check-ins.
Technological and Other Barriers to Implementing Telehealth
Although most OTPs had implemented some form of telehealth to continue providing services
to patients during the COVID-19 pandemic, implementing telehealth presented some
challenges to both staff and patients because of technological and other barriers.
For those OTPs implementing telehealth, OTP staff encountered challenges in learning how to
use telehealth software. Other OTPs encountered challenges because they did not have:
(1) reliable internet or wireless internet connections in their facilities, (2) technology capable of
using video to deliver telehealth services, (3) equipment (e.g., laptops and phones) that
counselors who were teleworking could use to provide counseling services, or (4) the funds to
purchase the necessary equipment. As a result, staff resorted to using their personal devices
(i.e., computers, tablets, and cellphones) to contact and provide counseling to patients.
These limitations led to additional challenges related to:
• complying with State Medicaid rules that required OTPs to use video technology for
group therapy sessions and to confirm that patients were ingesting prescribed take-
home doses;
• providing counseling sessions and checking in with patients who were approved for
take-home doses (e.g., for issues related to treatment medications, economic/financial
burdens, stress, and fear); and
• securing patient information and maintaining the privacy of counselors and patients.
OTPs also reported challenges with telehealth and the security of patient information. Some
OTPs expressed concern about using unsecure technology for counseling sessions and stated
that they had not received guidance on this issue.
Patients experienced their own technology-related challenges with adopting telehealth. OTPs
reported that patients did not always have access to necessary technologies required to
participate in telehealth because they lacked internet access or reliable internet connectivity, a
working phone or a phone with a data plan, or video equipment. In some cases, patients also
lacked a private, safe place to participate in remote counseling sessions. In addition, OTPs
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 15
stated that some patients did not have enough minutes available on their phones to use for
counseling sessions or may have been unable to replace a phone that was lost or stolen.
Using Telehealth for Counseling Sessions and Check-Ins
Those OTPs that had implemented telehealth stated that both staff and patients struggled to
use telehealth for counseling sessions and check-ins and that staff and patients needed time to
learn the technology. OTPs reported that both counselors and patients had difficulty
transitioning from in-person counseling to counseling using telehealth. OTPs stated that
patients preferred in-person counseling over telehealth, and some refused to use telehealth.
As a result, OTPs suspended some counseling sessions or were not able to be provide them.
Some OTPs found that group counseling was difficult to coordinate and that it was difficult to
get patients to use telehealth for group sessions. Some OTPs also reported that some patients
did not respond well to receiving counseling over the phone.
Treatment Medications, Personal Protective Equipment, and Cleaning Supplies Were More
Difficult To Obtain and More Expensive Than Before the COVID-19 Pandemic
Of the 142 OTPs that we interviewed, 83 reported that treatment medications, PPE, and
cleaning supplies were more difficult to obtain and more expensive than before the COVID-19
pandemic.
Treatment Medications and Related Supplies
OTPs stated that they were concerned initially with the impacts that the significant increase in
the numbers of take-home doses being provided to patients would have on their supply chains
and ability to obtain medications when needed. OTPs stated that, ultimately, they did not
observe any disruptions in the medication supply chains; however, they experienced longer
lead times on deliveries and higher costs for medications and the associated shipping and
handling charges. OTPs also reported challenges in obtaining supplies (e.g., bottles and caps)
used to package take-home doses because some supplies were on back-order and common
carriers reduced their delivery services to some areas during the COVID-19 pandemic.
Personal Protective Equipment
OTPs stated that early in the COVID-19 pandemic, One OTP administrator said: “Our
PPE was difficult to find and purchase because of first, biggest challenge was the
supply shortages and high demand. OTPs absolute lack of adequate PPE in
commented that they did not normally have large the industry. It created this feeling
supplies of PPE on hand. According to some of ‘Are we going to be able to
OTPs, States and PPE distributors allocated their provide services? What if we run
existing PPE supplies to hospitals and to COVID- out of masks?’ ”
19 hotspots on the east and west coasts, where
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 16
there were existing outbreaks of COVID-19. In addition, some States distributed PPE supplies to
providers based on a priority system, and OTPs were not considered to be a top priority.
Some OTPs reported that it took 2 to 3 weeks to obtain PPE and at much higher costs than
before the COVID-19 pandemic. One OTP reported purchasing PPE, such as masks and gloves,
at a cost that was 10 times higher than normal. OTPs also reported that they were not able to
obtain PPE from their normal suppliers, so they changed suppliers, accepted donated items
(e.g., masks that did not meet N95 standards40), or used other products, such as food service
gloves, to provide some protection to patients and staff.
Cleaning Supplies and Sanitizers
OTPs reported that it was initially difficult to find and purchase supplies needed to clean and
disinfect their facilities. Antibacterial soaps, bleach, hand sanitizer, and disinfectant wipes were
all in low supply and high demand. OTPs reported obtaining some of these items through
donations. Some OTPs reported that these items were available at the time we conducted our
interviews but at higher prices than normal, while other OTPs stated that obtaining them was
still a challenge.
Patient Participation in Opioid Treatment Program Activities Was Challenging To Maintain
Of the 142 OTPs that we interviewed, 77 reported challenges in maintaining patient
participation in OTP activities. These challenges were related to the limited availability of
transportation to facilities and maintaining patient engagement with OTP services.
Availability of Transportation to Facilities
OTPs reported that patients encountered difficulties in visiting facilities because transportation
options were limited during the COVID-19 pandemic and, as a result, missed their scheduled
appointments at the facility. OTPs commented that many patients do not have their own
transportation and instead rely on public transportation, medical transportation companies
under contract with Federal and State health care programs, ride services, and friends or
relatives for transportation to and from an OTP facility. OTPs stated that public transportation
services, transportation provided by medical transportation companies, and ride services were
sometimes difficult to obtain or unavailable because of changes in routes and schedules, limits
on the number of riders, and overall reductions in services during the COVID-19 pandemic.
In addition, OTPs stated that some patients no longer had a transportation benefit through
their Federal health benefits because they had lost their Medicaid benefits during the COVID-19
pandemic or their veterans’ health benefits no longer paid for transportation. Further, one OTP
40
The N95 designation refers to a respirator or mask that, when subjected to careful testing, blocks at least
95 percent of small test particles. OTPs did not specifically indicate in their responses whether the masks they
were able to obtain from suppliers met N95 standards.
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 17
stated that a nonemergency medical provider declined to transport patients unless the facility
confirmed that the patient had been tested for COVID-19, which was information that the
facility was prohibited from providing.
Maintaining Patient Engagement With Opioid Treatment Program Services
OTPs reported challenges in maintaining contact with patients and getting them to visit
facilities to receive services during the COVID-19 pandemic. Although most OTPs stated that
they were able to implement some form of telehealth to connect with patients, OTPs reported
that it was difficult to: (1) check in or follow up with patients because some did not have
phones or their phones had limited minutes available that were needed for other purposes,
(2) maintain updated contact information for each of their patients, or (3) get patients to
attend scheduled counseling sessions. As a result, certain services, such as annual reviews,
could not be performed or had to be postponed.
OTPs reported that patients who were generally more resistant to treatment were less likely to
engage in counseling sessions through telehealth than if the sessions were provided in person.
OTPs also reported challenges in getting patients into support groups that had been successful
in the past.
Dealing With Limitations Posed by Existing Federal Guidance Was Challenging, and Opioid
Treatment Programs Would Like To Have Additional Flexibilities for Providing Services
During the COVID-19 Pandemic
Of the 142 OTPs that we interviewed, 65 reported One OTP reported that,
challenges posed by existing Federal guidance, which with the increased
limited actions they wanted to take. OTPs stated that they number of take-home
would like to have additional flexibilities to better serve doses, patients who
their patients. OTPs reported that the increased flexibilities missed doses decreased
SAMHSA provided to OTPs during the COVID-19 pandemic by 50 percent during the
have generally produced positive results related to patient COVID-19 pandemic.
retention rates, patient engagement in counseling sessions,
and patient no-shows for counseling sessions. However, OTPs stated that they think current
Federal requirements limit their ability to provide care tailored to their patients’ needs.
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 18
OTPs provided the following examples of additional flexibilities they would like to have:
• OTPs stated that, to admit new Regarding the use of telehealth to replace
patients who are being in-person physical examinations when
prescribed methadone, they prescribing methadone, one OTP stated:
would like to have the option to “SAMHSA’s ongoing refusal to make this
use telehealth as a replacement accommodation made new methadone
for in-person physical patient inductions more difficult and time-
examinations. OTPs commented consuming than they needed to be, in
that the requirement for an in- addition to needlessly exposing our team
person examination needlessly members to a greater risk of COVID-19
placed staff at risk. OTPs also infection.”
stated that they were unsure
why new patients being prescribed buprenorphine could be admitted via telephone, but
new patients being prescribed methadone were required to be evaluated in person.
OTPs stated that they believe that this is a barrier to treatment.
• OTPs stated that they would like more flexibilities in providing telehealth services.
Specifically, OTPs stated that they would like to have the ability to provide telehealth
services without having to use video
conferencing and have additional options One OTP administrator
available for communicating with patients. commented: “I have a concern
OTPs also stated that some patients better that the gains that are being
engage with counselors over the phone or made in telehealth delivery are
even through text messaging. Additionally, going to be taken away when
because many patients do not have access things return to normal.”
to video technology, the additional options
would allow patients who are feeling isolated to connect with a counselor at any time.
• OTPs stated that they would like the flexibilities for increased take-home doses to be
extended after the COVID-19 pandemic. OTPs also stated that they would like more
flexibility in deciding which patients are approved for take-home doses and how many
doses can be prescribed.
• OTPs reported they would like to continue to deliver medication to their patients’
homes after the COVID-19 pandemic.
Providing Take-Home Doses to Patients Posed Some Challenges
Of the 142 OTPs that we interviewed, 51 reported that providing take-home doses to patients
posed challenges. Example of challenges included: (1) implementing controls and procedures
for take-home doses, (2) evaluating patients’ eligibility for take-home doses, (3) preventing
patients’ improper management of or diversion of take-home doses, (4) clarifying patients’
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 19
confusion with take-home doses, and (5) complying with recordkeeping requirements for take-
home doses.
Implementing Controls and Procedures for Take-Home Doses
OTPs reported challenges in implementing controls and procedures related to the increased
flexibilities that SAMHSA granted for take-home doses. Because OTPs were allowed to provide
more take-home doses to patients than before the COVID-19 pandemic, OTPs stated that they
had to establish new or additional procedures related to transferring take-home doses to
patients who could not or were not willing to come into a facility for treatment. Different
procedures had to be established for take-home doses that were delivered curbside, through
verified third parties, and directly to a patient’s residence.
Evaluating Patients’ Eligibility for Take-Home Doses
OTPs reported challenges in determining which patients One OTP stated that it
were “stable” and determining the number of take- was not sure “. . . how to
home doses to prescribe each patient, taking into allow patients to have
account, among other things, each patient’s health take-home doses.”
status, medical history, and ability to independently and
safely ingest their medication at the prescribed intervals. OTPs stated that they also found it
challenging to determine whether patients could properly store and secure medication at home
(e.g., OTPs required patients to store medication in a lockbox and to keep it locked and secured
from others) and sufficiently account for the take-home doses they received.
Preventing Patients’ Improper Management of or Diversion of Take-Home Doses
As stay-at-home orders and social distancing protocols were implemented and more services
were provided outside of OTP facilities, OTPs encountered challenges with balancing the risk
that patients could mismanage or divert (i.e., illegally share or sell) take-home doses against the
risk that patients could visit the facility and possibly be exposed to COVID-19. Specifically, OTPs
had concerns about patients’ abilities to manage prescribed take-home doses. OTPs reported
that some patients did not understand how much medication to take. Patients sometimes took
more than their prescribed doses, which required OTPs to adjust the number of take-home
doses. OTPs also noted that some patients may not take all their prescribed doses but instead
share it with others or sell it. In some cases, OTPs revoked the take-home privileges of patients
who had not properly managed or had diverted their take-home doses.
Clarifying Patients’ Confusion With Take-Home Doses
One OTP stated that patients were confused about how to deal with take-home doses. For
example, the OTP stated that patients: (1) did not know when they should return to a facility for
more medication, (2) visited a facility on days that they were not scheduled to be there,
(3) took more doses in a day than were prescribed, and (4) visited a facility multiple times a day.
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 20
The OTP stated that some patients had to be rescheduled from weekly or biweekly visits to
daily visits because they were unable to take their medication without supervision. Another
OTP stated that patients receiving take-home doses thought incorrectly that they would no
longer be subjected to drug testing or diversion checks. 41
Complying With Recordkeeping Requirements for Take-Home Doses
OTPs encountered challenges in complying with recordkeeping requirements for take-home
doses and maintaining adequate documentation. OTPs stated that maintaining documentation
was difficult because more patients were prescribed take-home doses and in larger quantities.
Implementing Governmental Guidance Was Not Always Easy
Of the 142 OTPs that we interviewed, 34 reported that it was not always easy to implement
guidance from various governmental agencies. OTPs commented that, at the beginning of the
COVID-19 pandemic, the guidance from Federal agencies (e.g., SAMHSA and CDC) and from
State agencies was limited and slow to arrive; later, the guidance became difficult to implement
because it changed frequently.
OTPs reported that it was difficult to plan or develop any strategies without timely guidance
from oversight agencies. In addition, OTPs stated that it was difficult to implement State
guidance because it was sometimes: (1) not coordinated with other oversight agencies, (2) in
conflict with Federal guidance, and (3) contradicted infection control standards. One OTP
commented that its State Medicaid agency provided guidance on which services Medicaid
would pay for, only to retroactively disallow the same services later.
OPIOID TREATMENT PROGRAMS REPORTED A VARIETY OF ACTIONS TAKEN TO ADDRESS
CHALLENGES WHILE ENSURING THE CONTINUITY OF NEEDED SERVICES AND PROTECTING THE
HEALTH AND SAFETY OF PATIENTS AND STAFF
OTPs reported a variety of actions they have taken to address challenges during the COVID-19
pandemic, including actions related to: (1) personal safety measures for patients and staff
(141 OTPs), (2) the implementation or expansion of telehealth (128 OTPs), (3) increased
numbers of take-home doses (127 OTPs), (4) physical changes to facilities and increased staffing
flexibilities (121 OTPs), and (5) patients’ receipt of treatment medications (92 OTPs).
41
Diversion checks are measures taken to reduce the possibility of diversion of controlled substances from
legitimate treatment use. These measures include OTPs randomly calling patients to take inventories of their take-
home doses.
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 21
Opioid Treatment Programs Encouraged or Required Various Personal Safety Measures for
Patients and Staff
Of the 142 OTPs that we interviewed, 141 reported that they encouraged or required a variety
of personal safety measures for patients and staff in their facilities, including the use of PPE,
social distancing among patients and staff, proper hygiene, facility cleaning, and measures to
reduce exposure to COVID-19.
Personal Protective Equipment
OTPs reported that they encouraged or required patients and staff to use PPE while in facilities.
OTPs also reported that they posted signs around their facilities to remind patients and staff to
wear PPE to protect themselves against possible exposure to COVID-19 and provided training to
both patients and staff on the proper use of PPE.
OTPs reported that staff were generally required to wear masks, face shields, and gloves.
Certain staff, such as those working in isolation units or delivering medications curbside, wore
more PPE (e.g., goggles and gowns). OTPs also reported that patients were generally required
to wear a mask or a face covering. If a patient did not have a mask, OTPs generally provided a
mask if one was available.
Some OTPs reported that they were able to provide staff
One OTP administrator
with N95 or similar masks. One OTP stated that it reserved
said: “One lesson I've
these masks for staff who performed high-risk tasks, such
learned is to have
as in-person examinations. Some OTPs reported that they
supplies of PPE rather
have been able to purchase or obtain (e.g., through
than wait until we have a
donations) PPE and have an adequate stock. Other OTPs
low supply.”
reported that they used cloth or other handmade masks
because of mask shortages.
Social Distancing Among Patients and Staff
OTPs reported that they took specific actions to implement social distancing in and around their
facilities. Specifically, OTPs stated that, among other things, they:
• increased the number of hours that counselors were available for counseling sessions
through telehealth;
• extended dosing hours to limit contact among patients and allow for more time
between patient visits (i.e., to limit the number of patients in the facility at one time);
• reduced the number of hours that staff had to be in the facility by increasing the use of
telework and telehealth;
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 22
• limited the number of patients entering the facility by having patients schedule
appointments for specific times or having them wait in their vehicles until there was
room in the facility;
• created alternating or staggered schedules for patient visits (e.g., scheduling patients
with last names starting with letters A through E on Mondays, patients with last names
starting with letters F through J on Tuesdays, and so on);
• limited the number of patients who were allowed to be in certain areas of the facility
(e.g., lobby or dosing areas) simultaneously;
• limited the amount of time that patients were in the facility by preparing pre-packed
kits before dispensing take-home doses;
• prohibited or limited the number of patients’ visitors and guests who could enter the
facility;
• organized staff into teams and scheduled the teams to work together in the facility only
on specific days;
• conducted staff meetings virtually or by phone from separate rooms within the facility;
and
• used security guards to monitor and enforce social distancing among patients.
Proper Hygiene
OTPs reported that they encouraged proper hygiene by promoting frequent hand washing and
the use of hand sanitizer. OTPs stated that they installed hand-washing stations and placed
signage and posters around facilities to remind patients and staff to wash their hands. OTPs
also made hand sanitizer available throughout their facilities.
Facility Cleaning
OTPs reported that they frequently cleaned high-touch surfaces (e.g., doorknobs), bathrooms,
and other rooms used by patients. In addition, OTPs stated that they cleaned and sanitized
entire facilities regularly (e.g., daily or twice daily). OTPs also stated that they made
disinfectant spray or wipes available to patients and staff.
Other Measures To Reduce Exposure to COVID-19
OTPs reported that they educated patients and staff and provided literature on ways to reduce
exposure to COVID-19 (e.g., through social distancing, proper mask use, and proper hand-
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 23
washing techniques). OTPs also reported that they tested and screened patients and staff for
COVID-19. OTPs stated that they: (1) took the temperatures of patients and staff before they
entered facilities and (2) screened patients by asking a series of questions to determine
whether they had been diagnosed with COVID-19, were symptomatic, or had been exposed to
someone who had been diagnosed positive. Some OTPs reported that they conducted
COVID-19 testing in their own facilities rather than sending test samples to an independent
laboratory. OTPs also stated that they required staff who tested positive for COVID-19 to have
two negative test results before they were permitted to return to work.
OTPs reported that they stopped using breathalyzers to measure patients’ blood alcohol levels
because it involved too much risk for spreading aerosol droplets. One OTP stated that it
purchased breathalyzers that did not blow air into nurses’ faces.
Opioid Treatment Programs Implemented or Expanded the Use of Telehealth To Continue
Providing Services
Of the 142 OTPs that we interviewed, 128 reported that they implemented or expanded the
use of telehealth to continue providing services to patients and to reduce the number of
patients who were required to visit facilities. OTPs stated that they used telehealth
technologies for such things as individual and group counseling sessions, psychiatric services,
support groups, and new patient admissions.
OTPs reported taking different actions to provide telehealth services:
• OTPs provided telehealth services using a variety of communication services and
telemedicine applications (e.g., Google Voice, Zoom, BlueJeans, Doximity, and Doxy.me).
• OTPs set up rooms with technology in facilities to allow patients to contact counselors
who were working remotely or in another room at a facility, which allowed patients who
did not have access to telehealth technologies to participate in telehealth.
• OTPs called patients to check in with them and used
video meetings to conduct diversion checks (i.e., to One OTP found that
verify that the patient had the appropriate number patients were more
of take-home doses on hand). OTPs that offered willing to participate in
inpatient services used tablets to conduct meetings an hour-long
with patients who had tested positive for COVID-19 conversation over the
and were in isolation units. phone than they were to
come to the facility for an
• OTPs offered stipends to staff who were working hour-long meeting.
remotely so that they could use personal devices to
contact patients.
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 24
OTPs also reported additional information on actions they took to ensure the successful
implementation of telehealth:
One OTP official stated:
• OTPs provided patients training on telehealth “Our no-show rate is non-
technologies and trained staff on how to better existent because of
serve patients through telehealth. telehealth. We have bus
and transportation issues
• OTPs increased the number of phone calls with when weather is bad, but
patients and spoke with them more often. with telehealth it is not
an issue. The verbal
• OTPs remained flexible on when they would feedback from patients is
contact patients. 100-percent satisfaction.”
Opioid Treatment Programs Increased the Number of Take-Home Doses To Reduce
the Number of Patients Visiting Facilities
Of the 142 OTPs that we interviewed, 127 reported that they increased the number of take-
home doses for some patients to reduce the number of patients who had to visit a facility each
day. Some OTPs increased the number of take-home doses for patients up to the limits allowed
by SAMHSA, while other OTPs increased the number of take-home doses but at lower levels
than the SAMSHA limits because of State or OTP restrictions.
OTPs reported taking different actions to determine the number of take-home doses for some
patients:
• In addition to applying the requirements outlined in Federal regulations (42 CFR § 8.12),
OTPs evaluated whether a patient was responsible enough to handle his or her
medication for opioid use disorder in an unsupervised environment (i.e., at home) based
on the patient’s:
o risk level for relapse, overdose, or misuse;
o history of managing the medication;
o underlying health conditions;
o demonstrated compliance with the treatment plan; and
o past level of engagement with counselors.
• OTPs worked with opioid treatment trade associations and State agencies to implement
rules to maximize the number of take-home doses for both stable and less stable
patients.
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 25
OTPs reported taking different actions to ensure that patients were accountable for the
increased number of take-home doses. Specifically, OTPs:
• required patients to sign antidiversion agreements,
• called patients to conduct diversion checks or wellness checks to ensure that patients
were using their medications responsibly, and
• required patients to participate in phone calls as a condition of continuing to receive
take-home-dose privileges.
One OTP also reported taking actions to ensure that patients were taking appropriate doses by
using pill trays to help minimize the risk of overdoses.
Finally, OTPs reported taking additional actions to ensure implementation of increased take-
home doses. Two examples follow:
• OTPs purchased and maintained larger quantities of medication to meet the increased
demand of take-home doses for more patients and to prepare for possible supply
disruptions.
• OTPs purchased lockboxes to store take-home doses for patients who did not have
them. OTPs provided lockboxes to patients at no cost or sold them to patients at costs
below what the OTPs purchased them for. (Some States also purchased lockboxes for
patients who could not afford them.)
Opioid Treatment Programs Made Physical Changes to Facilities and
Increased Staffing Flexibilities
Of the 142 OTPs that we interviewed, 121 reported that they took a variety of actions affecting
business operations, including: (1) making physical changes to their facilities and (2) increasing
staffing flexibilities and making changes in employee pay and benefits.
Physical Changes to Facilities
OTPs reported that they made various physical changes to their facilities to protect patients and
staff. Specifically, OTPs stated that, among other things, they:
• installed physical barriers, such as plexiglass screens, in areas where patients and staff
needed to be in close contact with one another (e.g., security stations, waiting rooms,
reception areas, nursing stations, and dispensing and dosing areas);
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 26
• modified the layouts of their facilities to improve traffic flow by limiting the number of
entry doors and designating separate entry and exit doors;
• repurposed some areas to allow for more social distancing, including using individual
rooms, offices, and conference rooms to admit new patients and provide counseling
sessions;
• created isolation areas for symptomatic patients;
• reduced the number of chairs in lobbies and waiting areas and spaced the chairs at least
6 feet apart;
• placed tape or markers in 6-foot intervals on the floors of facilities and the areas outside
facilities;
• removed communal items (e.g., magazines and toys), water, and coffee from lobbies
and waiting areas;
• opened doors to minimize contact with door handles and opened windows to improve
airflow in facilities;
• purchased air purifiers and filters for waiting areas and other rooms; and
• placed posters and signs inside and outside facilities to remind both patients and staff
to: (1) wear protective face coverings (such as masks), (2) wash their hands or use hand
sanitizer frequently, (3) practice social distancing, and (4) not enter facilities if they were
sick or were showing signs of having COVID-19.
Increased Staffing Flexibilities and Changes in Employee Pay and Benefits
OTPs reported that they reduced the number of staff in their facilities to protect staff from
possible exposure to COVID-19. Some administrative staff, counselors, and staff members at
risk of complications from COVID-19 were allowed to telework. OTPs also reported that they
stopped meeting in large groups. For example, virtual staff
meetings were held from telework locations or from
OTPs stated that they set
separate rooms in the facility.
up employee assistance
programs for staff to
OTPs stated that they offered hazard pay to staff who
help them manage their
continued working during the COVID-19 pandemic and
stress.
extended emergency paid-time-off for staff who were
unable to work in facilities because of personal situations
(e.g., for staff who had no child care options).
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 27
Opioid Treatment Programs Took a Variety of Actions To Ensure That Patients Received
Treatment Medications
Of the 142 OTPs that we interviewed, 92 reported that they took a variety of actions to ensure
that patients received treatment medications. For example, OTPs offered curbside dosing and
delivered treatment medications (i.e., take-home doses) to patients who were not able to visit
facilities because patients: (1) were quarantined or had tested positive for COVID-19, (2) were
immunocompromised (e.g., patients with HIV or hepatitis C), or (3) were at high-risk for serious
complications from COVID-19 (e.g., older patients or patients with certain underlying medical
conditions). OTPs also reported that they continued to provide services, including treatment
medications, to patients who did not have the ability to pay or worked with another facility to
ensure that all patients received treatment.
Curbside Dosing
OTPs reported that they took the following actions to administer curbside dosing:
• Patients were required to call a facility from the One OTP official
parking lot on arrival to the facility before described the use of
medication was brought to them. curbside dosing for
symptomatic patients as
• Staff were stationed outside the facility and notified a “game changer” in
the dosing staff that a patient had arrived for preventing others from
curbside dosing. being exposed to
COVID-19.
• Security personnel escorted nurses who were
delivering or administering the curbside doses.
• Every person who handled a medication for curbside dosing was required to sign a form
to document the chain of custody of medication.
• One OTP that was part of a hospital moved its dosing services to a mobile unit in a
parking lot near the OTP clinic to reduce possible exposure to COVID-19 for the hospital
staff, clinic staff, and patients.
• One OTP left a patient’s curbside dose outside a glass door and watched the patient
take the medication.
Delivery of Take-Home Doses to Patients
OTPs reported that they delivered take-home doses to their patients and took the following
actions to ensure that patients received the take-home doses:
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 28
• OTP staff who delivered medication to a patient’s residence placed the take-home doses
outside the patient’s door and waited to leave until visually confirming that the patient
had picked up the medication.
• OTPs provided patients prescribed take-home doses through third parties (e.g., family
members, friends, caregivers, or home health aides). 42, 43 To verify that a person could
deliver a patient’s medication, one OTP required a family member to have a picture on
file at the OTP, show an ID, and have the patient’s permission before the family member
could receive the patient’s medication.
CONCLUSION
During the COVID-19 pandemic, OTPs have encountered a variety of challenges affecting the
specific services they provide and how they provide them. Some of the challenges reported by
OTPs related to: (1) maintaining pre-pandemic service levels (124 OTPs); (2) managing impacts
on facility operations (113 OTPs); (3) implementing and using telehealth (87 OTPs);
(4) obtaining treatment medications, PPE, and cleaning supplies (83 OTPs); (5) maintaining
patient participation in OTP activities (77 OTPs); (6) dealing with limitations posed by existing
Federal guidance (65 OTPs); (7) providing take-home doses to patients (51 OTPs); and
(8) implementing governmental guidance (34 OTPs).
OTPs have taken a range of different actions to address all these challenges while ensuring
continuity of needed services and protecting the health and safety of their patients and staff,
including: (1) encouraging or requiring various personal safety measures for patients and staff
(141 OTPs), (2) implementing or expanding the use of telehealth to continue providing services
(128 OTPs), (3) increasing the number of take-home doses to reduce the number of patients
visiting facilities (127 OTPs), (4) making physical changes to facilities and increasing staffing
flexibilities (121 OTPs), and (5) ensuring that patients received treatment medications
(92 OTPs).
The information in this report was gathered to support HHS’s goal of reducing opioid morbidity
and mortality and to help SAMHSA by providing information on the impact that the COVID-19
pandemic has had on OTPs. This information was current when we conducted our interviews,
from June 4 through June 22, 2020, but may not represent all the challenges that OTPs have
faced or the actions they have taken to address those challenges. Since our interviews, OTPs
may have addressed some of the challenges and identified new challenges. Additionally, during
the interviews, OTPs may not have shared with us all their challenges or all the actions they
have taken.
42
In its guidance dated March 30, 2020, “OTP Guidance for Patients Quarantined at Home with the Coronavirus,”
SAMHSA stated that a member of a patient’s household could deliver take-home doses to a patient.
43
One OTP reported that it received a waiver from DEA to allow deliveries by a person who was not a nurse or a
qualified professional.
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 29
We recognize that SAMHSA has taken actions to support OTPs as they work on the front lines to
treat people diagnosed with opioid use disorders and to ensure the safety of the health care
workforce. The information in this report provides SAMHSA and other decisionmakers (e.g.,
State and Tribal officials and other Federal agencies) with a national snapshot of OTPs’
challenges and the actions they have taken to continue providing services during the COVID-19
pandemic. In addition, OTPs may find the information about each other’s strategies useful in
their own efforts to address the challenges they are facing.
SAMHSA COMMENTS
In written comments on our draft report, SAMHSA described actions that it had taken after
becoming aware of COVID-19’s impact on operations for its behavioral health stakeholders,
including OTPs. SAMHSA stated that it had promoted its Disaster Planning Handbook for
Behavioral Health Treatment Programs, which included continuity-of-clinical-care instructions
during a pandemic. SAMHSA also stated that it had worked closely with State Opioid Treatment
Authorities to authorize extended take-home medications for those with opioid use disorder.
Further, SAMHSA stated that it had worked with DEA to waive the requirement for an in-person
physical exam for new patients receiving buprenorphine and to permit the use of telehealth for
established patients with opioid use disorder. Finally, SAMHSA stated that it has provided
technical assistance and training during the pandemic, including telehealth training for mental
health providers.
Regarding the flexibilities that OTPs requested to admit new methadone patients using
telehealth as a replacement for in-person physical examinations, SAMHSA said that eliminating
the in-person physical examination requirement could present a significant safety issue for a
patient with opioid use disorder because methadone, when compared with buprenorphine, has
greater potency, and adverse effects (such as sedation and overdose) can occur more
commonly.
SAMHSA’s comments are included in their entirety as Appendix B.
OTHER MATTERS
During our interviews with OTPs, we attempted to get a sense of COVID-19’s impact on the
population the OTPs served. Specifically, we asked each OTP whether the COVID-19 pandemic
has had any impact on the number of patients who: (1) were enrolled in the OTP, (2) were
visiting its facility for MAT, (3) were seeking enrollment in the OTP, (4) had experienced a
relapse, or (5) had experienced an overdose. OTPs reported the following: 44
44
The totals in this section do not add up to the total number of OTPs interviewed because some OTPs did not
indicate the impact that the COVID-19 pandemic has had on the patient population.
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 30
• Regarding the number of patients enrolled in their OTPs for MAT, 32 OTPs reported an
increase in enrollment, 28 OTPs reported a decrease in enrollment, and 76 OTPs
reported no change in their enrollment.
• Regarding the number of patients visiting their facilities for MAT, 6 OTPs reported an
increase, 75 OTPs reported a decrease, and 30 OTPs reported that there was no change.
OTPs that reported a decrease in patients visiting facilities attributed the decrease to
the increase in the number of patients who received take-home doses and to the
increased use of telehealth for counseling sessions.
• Regarding the number of patients seeking enrollment in their OTPs, 33 OTPs reported
an increase, 53 OTPs reported a decrease, and 49 OTPs reported no change.
• Regarding the number of patients who had experienced a relapse during the COVID-19
pandemic, 41 OTPs reported an increase, 8 OTPs reported a decrease, and 50 OTPs
reported no change. OTPs stated that because they were performing fewer drug tests
during the COVID-19 pandemic, they did not have
information on relapses other than what was Of the OTPs interviewed,
disclosed by the patients themselves. OTPs 29 percent reported an
attributed the increase in relapses to the following increase in the number
reasons: (1) patients were experiencing stress, of patients who had
anxiety, depression, loneliness, isolation, and experienced a relapse,
boredom with staying at home; (2) patients were and 6 percent reported
out of work; and (3) patients lacked support an increase in the
because support groups (e.g., Alcoholics number of patients who
Anonymous) were unavailable, they had limited had experienced an
contact with family and friends, and they were not overdose.
receiving face-to-face therapy.
• Regarding the number of patients who had experienced an overdose during the
COVID-19 pandemic, 9 OTPs reported an increase, 4 OTPs reported a decrease, and
90 OTPs reported no change.
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 31
APPENDIX A: AUDIT SCOPE AND METHODOLOGY
SCOPE
As of April 17, 2020, there were 1,746 OTPs nationwide (excluding U.S. territories) that SAMHSA
had either certified or provisionally certified to provide MAT. Of these OTPs, we randomly
selected 150 OTPs from 49 States (excluding Wyoming, which had no operating OTPs) and the
District of Columbia. From the sample, we removed seven OTPs for various reasons, including
one OTP that was no longer in operation. We attempted to interview the remaining 143 OTPs.
Of these, we received responses from 142 OTPs, for a response rate of 99.3 percent.45 The
OTPs that responded were located in 37 States and the District of Columbia.
We conducted our interviews primarily by telephone with one or more OTP executives and
administrative officials (e.g., the program director, medical director, or clinical director) in the
same interview from June 4 through June 22, 2020. (Two OTPs responded to our interview
questions through email.) In some cases, we spoke with officials from an OTP’s parent
company instead of or in addition to an OTP official. 46 We considered the interviews with
parent company officials to be formal responses for those OTPs owned by the parent company.
During each interview, we obtained information related to challenges that the OTP stated it had
encountered during the COVID-19 pandemic and the actions that the OTP stated it was taking
or had taken to address those challenges. We asked each OTP to answer four primary
questions:
• What challenges are you encountering in providing OTP services to patients during the
COVID-19 pandemic?
• What strategies or actions has your facility employed to ensure the availability and
delivery of OTP services to your patients during the COVID-19 pandemic?
• What strategies or actions have you taken to protect the health and safety of your
patients and staff?
• What strategies or actions would you like to implement but are unable to and why are
you not able to implement them?
In addition to these four questions, we asked each OTP about the impact that the COVID-19
pandemic has had on the number of patients who: (1) were enrolled in the OTP, (2) were
45
We attempted to contact the one remaining OTP to request an interview nine times during the period
June 4 through June 22, 2020, but the OTP did not respond to our requests.
46
We conducted 9 interviews in which parent company officials spoke on behalf of 18 OTPs in our sample.
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 32
visiting its facility for MAT, (3) were seeking enrollment in the OTP, (4) had experienced a
relapse, or (5) had experienced an overdose.
The information in this report represents a range of challenges, actions, experiences, and
perceptions that OTP officials conveyed to us, as of a point in time, during our interviews. It
may not represent all the challenges that OTPs have faced or the actions they have taken
during the COVID-19 pandemic. Since our interviews, OTPs may have addressed some of the
challenges and identified new challenges. Additionally, during our interviews, OTPs may not
have shared with us all their challenges or all the actions they have taken. Although some OTPs
may have faced the same challenges or taken the same actions that other OTPs reported, these
OTPs did not describe them to us in response to our questions. We did not independently
verify the information that the OTPs provided to us or determine the effectiveness of the
actions that the OTPs identified.
We did not assess SAMHSA’s or the OTPs’ internal controls because they were not significant to
our audit objectives. The objectives did not require us to assess HHS’s or SAMHSA’s:
(1) internal controls related to oversight of OTPs or (2) response to the COVID-19 pandemic.
Additionally, we did not evaluate whether OTPs complied with applicable Federal and State
requirements, including opioid treatment standards.
The information in this report is provided for informational purposes only and, therefore, the
report does not contain any recommendations. We gathered this information to support HHS’s
goal of reducing opioid morbidity and mortality and to help SAMHSA by providing information
on the impact that the COVID-19 pandemic has had on OTPs. This report provides SAMHSA and
other decisionmakers (e.g., State and Tribal officials, and other Federal agencies) with a
national snapshot of OTPs’ challenges and the actions they have taken to continue providing
services during the COVID-19 pandemic. In addition, OTPs may find the information about each
other’s strategies useful in their own efforts to address the challenges they are facing. This
audit is not an assessment of HHS’s or SAMHSA’s response to the COVID-19 pandemic.
METHODOLOGY
To accomplish our objectives, we:
• reviewed Federal opioid treatment standards at 42 CFR part 8 and Federal guidance
describing the flexibilities that States and OTPs were granted during the COVID-19
pandemic;
• obtained from the SAMSHA website the list of 1,746 OTPs that SAMHSA had certified
and provisionally certified to provide MAT as of April 17, 2020;
• developed a survey questionnaire and tested it with 2 OTPs;
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 33
• selected a simple random sample of 150 OTPs across 49 States and the District of
Columbia;
• removed 7 OTPs from our sample for various reasons, including 1 OTP that was no
longer in operation;
• attempted to interview officials at the 143 remaining OTPs and received responses from
142 OTPs;
• compiled a list of the challenges the 142 OTPs have encountered during the COVID-19
pandemic and the actions they have taken to address them; and
• discussed the results of our audit with SAMHSA officials.
We conducted this performance audit in accordance with generally accepted government
auditing standards. Those standards require that we plan and perform the audit to obtain
sufficient, appropriate evidence to provide a reasonable basis for our findings and conclusions
based on our audit objectives. We believe that the evidence obtained provides a reasonable
basis for our findings and conclusions based on our audit objectives.
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 34
APPENDIX B: SAMHSA COMMENTS
*
* Office of Inspector General Note: This report contains no recommendations.
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 35
Opioid Treatment Programs’ Challenges During the COVID-19 Pandemic (A-09-20-01001) 36
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