When the CLIA Final Rule Interpretive Guidelines came out, a new practice called "Equivalent" QC was introduced. Just what is it equivalent to? Well, if it was applied to fire safety, CMS would be telling you to turn off your smoke detectors.
The February 2004 issue of Clinical Laboratory News features an article “CLIA Interpretive Guidelines Debut on CMS Web Site: EQC options now applicable to broader spectrum of laboratory testing.” There’s considerable difference of opinion on the validity of the proposed equivalent QC procedures, at least, I beg to differ with any assertion that these equivalent QC procedures will provide the same level of performance and quality provided by the traditional QC procedures they supposedly can replace. It’s important for laboratories to make a careful assessment of these “equivalent QC options” because they may have a major impact on how QC is done, or more importantly, how QC is not done very often.
QC has remained one of the major deficiencies identified during laboratory inspections. Given this problem, it is difficult to understand the rationale for new Equivalent QC procedures that allow further reductions from daily QC to weekly or even monthly QC. We think this practice should be designated Eqc, i.e., big E little q little c, because it may lead to big Errors, little quality, and little control.
Eqc may also represent “easier quality compliance”! Many hospitals and laboratories will be happy to adopt this practice to minimize inspection issues. My sage advice is to move slowly and cautiously in this direction, because Eqc is a flawed concept and the recommended evaluation protocols are also flawed. Eqc is a step in the wrong direction.
The regulatory language states that QC should “detect immediate errors”, but the Interpretive Guidelines allow a practice that reduces QC from once a day to once a week or perhaps only once a month. We've already discussed “Equivalent QC Practices” in another essay, but I think the total inadequacy of this idea needs to be repeated and repeated until everyone understands its absurdity. So let me try once more
I often use the example of a smoke detector to explain quality control. There are many parallels.
If we were to test a new smoke detector according to “equivalent QC practices”, this is what we would do. Most smoke detectors would qualify for Eqc option 2 because they usually have an internal mechanism (procedural control) that allows us to manually check the alarm. That check doesn’t actually test the whole analytic process because it doesn’t introduce smoke, it only shorts out the detector to demonstrate that the batteries are still good and the horn still sounds. To prove that the new detector works okay, according to Eqc, we check each day for 30 days to see whether or not there is a fire. In the absence of observing a fire for 30 days and the absence of any alarms from the smoke detector, we now only need to check once a week to see if there is a fire. We trust the smoke detector will be watching out for us the rest of the time, even though we’ve never checked whether it can or will actually detect a real fire.
In the absence of any internal check for battery life and a working horn, a smoke detector would quality for Eqc option 3. That means we have to test the new smoke detector for 60 days and if we don’t observe anything, then we only need to check for fire once a week. Once again, we trust that the smoke detector actually works, even though we’ve never tested its error detection capability.
Eqc is really about smoke and mirrors, not smoke and fire. Without proper design and implementation of the daily statistical QC procedure, there is no evidence that the lack of alarms can be equated to the lack of errors and the presence of quality. Given that proper implementation of appropriate statistical QC procedures is still a major deficiency in laboratories, it is not realistic to expect laboratories to now use statistical QC to prove that QC can be further reduced from daily to weekly or even monthly.
The most damning words about equivalent QC practices come from the Interpretive Guidelines themselves in section D5445:
NOTE: Since the purpose of control testing is to detect immediate errors and monitor performance over time, increasing the interval between control testing (i.e. weekly, or monthly) will require a more extensive evaluation of patient test results when control failure occurs (see 493.1282). The director must consider the laboratory's clinical and legal responsibility for providing accurate and reliable patient test results versus the cost implications of reducing the quality control testing frequency. [CMS emphasis, not ours]
The government is proposing a practice that it is not willing to condone. You can do this, you'll be in compliance with the letter of this particular law, but the government isn't willing to guarantee that it's clinically or legally acceptable. Does that inspire confidence in you? Would that inspire confidence in the physician users and patient customers you serve?
In an era where we are hearing more and more about medical errors in healthcare, where there are louder and louder calls for better quality and more safety, why are we degrading the practice of QC? Observations of current QC practices, even CMS’s own evidence from laboratory inspections, suggest that we need more QC, not less, in healthcare. Yet the effect of CLIA Final Rule and Interpretive Guidelines will be a further reduction in QC. Both manufacturers and laboratories are to benefit and to blame.
As of this writing, the US is in the middle of what's called a “jobless recovery.” That is, the economy is growing, but jobs are not being added. For some, “jobless recovery” is a contradiction in terms. For those who lost their jobs during the last recession and haven't found new employment, a jobless recovery simply isn't a recovery at all.
To “jobless recovery”, we need to add a new phrase “quality-less compliance.” The government is off the hook now that they've issued the Final CLIA Rule, and even more so because they have now said, in effect, “If these regulations aren't clinically responsible and legally defensible, that's not our fault, it's the fault of the Laboratory who decides to follow the regulations.” Manufacturers are off the hook, having avoided the need to obtain clearance of their QC instructions, shifting rather than sharing responsibility for quality with their laboratory users and customers. The Laboratory is responsible, which would be good if the Laboratory exercises that responsibility in a professional manner.
But Eqc is not a responsible option! If evidence-based medicine and patient safety are important in healthcare today, then professional responsibility requires that we own up to the potential shortcomings of Eqc - big errors, little quality, and little control. As laboratory professionals, we owe it to our patients to aim for excellence, not quality-less compliance!.