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Agitation Podcast Series Episode 3: Pharmacologic management of agitated children

PEMBlog

However, medications can be adjuncts to non-pharmacologic means to help keep agitated children safe from harm. Government. When we think of managing agitated patients we think of medicines – but that shouldn’t be our first option. It is also episode 3 in a 5 episode series focused on agitation in children and adolescents.

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Agitation Podcast Series Episode 1: Differentiating organic versus psychiatric causes of agitation and altered mental status

PEMBlog

Why then do we persist with the “is it medical/organic or psych” question? Government. Pediatr Radiol 2019; 49:240. 2019 Mar;20(2):409-418. Furthermore, the connection between physical and functional symptoms is inextricably linked in many patients. West J Emerg Med. doi: 10.5811/westjem.2019.1.41344.

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Approaches for Quelling Stigma related to COVID-19

BMJ

7 Moreover, medical professionals, health practitioners, and relevant academic institutions should proactively disseminate creditable news and information during such health outbreaks through mainstream social media channels. Psychological health during the coronavirus disease 2019 pandemic outbreak. J I AIDS Soc 2020;23(5): e25504.

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The Incredible Shrinking Exemption: FDA Final CDS Guidance Would Significantly Narrow the Scope of Exempt Clinical Decision Support Software Under the Cures Act

FDA Law

Javitt — On September 28, 2022, the FDA issued the long anticipated final Clinical Decision Support Software Guidance (CDS Guidance), which replaces the revised draft guidance document from 2019. Criterion 2 : Non-Device CDS software functions display, analyze or print medical information about a patient or other medical information.

Clinic 52
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Corporate Liability from Employee Diversion: Costly on Many Fronts

FDA Law

This matter is the latest in a recent string of large monetary settlements between the government and health care providers involving employee diversion. It was alleged that other employees administered the medication to patients even after observing signs of tampering, although no patients were reported harmed. 4, 2022).

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District Court Interprets EKRA

FDA Law

Clinical treatment facility” is defined as “a medical setting, other than a hospital, that provides detoxification, risk reduction, outpatient treatment and care, residential treatment, or rehabilitation for substance use, pursuant to licensure or certification under State law.” 18 U.S.C. § 18 U.S.C. § 220(e)(2). 18 U.S.C. §

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District Court Interprets EKRA

FDA Law

Clinical treatment facility” is defined as “a medical setting, other than a hospital, that provides detoxification, risk reduction, outpatient treatment and care, residential treatment, or rehabilitation for substance use, pursuant to licensure or certification under State law.” 18 U.S.C. § 18 U.S.C. § 220(e)(2). 18 U.S.C. §