Quote Of The Year

Timeless Quotes - Sadly The Late Paul Shetler - "Its not Your Health Record it's a Government Record Of Your Health Information"

or

H. L. Mencken - "For every complex problem there is an answer that is clear, simple, and wrong."

Thursday, January 11, 2007

Clinical Research Information Now More Freely Available on the Internet.

Good news for all those interested in the free exchange of medical research information in the last few days.

According to the Financial Times (FT) of the 10th of January, 2007

“UK PubMed Central yesterday went live offering 600,000 biomedical digital articles from leading academic journals, with financial support from the Wellcome Trust, the Medical Research Council and medical research charities.”

This new source of medical research information can be found at the following URL:

http://www.ukpmc.ac.uk

The FT says that it is operated by the British Library in conjunction with the University of Manchester and the European Bioinformatics Institute.
It will receive about $A10m in funding over five years from about 10 different sponsors.

What is most interesting is that, despite the complaints of the academic publishing interests, any medical research that is funded in whole or in part by the UK Government is to be made available, for free, on the internet within six months of its publication in final peer reviewed form.

Given that apparently 90% of medical research in the UK has an element of Government funding this is a major step forward for access to the clinical research literature.

The site is a twin of a site run by the US National Institutes of Health which can be found this URL:

http://www.pubmedcentral.nih.gov/

This site has similar content and also publishes research which is funded in whole or part by the US Government under similar rules. It has been operational for a few years and has proved invaluable.

The concept of making freely available medical literature funded from the public purse is an idea whose time has surely come. Researchers like their work to be easily accessible so it can be used and we all, as interested citizens, can see what our dollars are funding!

Let us hope Australia quickly follows suit.

David.

Monday, January 08, 2007

Implementation Really Matters!

In the article before this I wrote:

“A unifying flaw in all these documents is the lack of any reference implementations to confirm any of this is useful or valuable to even the minutest extent. Standards organisations have, I believe, a responsibility to prove what they propose works and can be successfully implemented before expecting it to be adopted. All this is a long way from passing that test.”

I feel this point is so important that it should be expanded upon.

Over the last decade or so we have seen the apparent emergence of a range of specifications in the Health IT area which have progressed through various standards processes and organisations but which have yet to achieve significant numbers of real-world implementations.

Major international examples include the original and later CEN/ISO EN13606, HL7 V3.0, openEHR, possibly SNOMED CT and I am sure there are others.

It is not clear just why these processes are so slow – but in part it must be related to issues of complexity, resourcing and other less obvious factors such as change management etc.

On the other side of the coin we have groups such as Integrating the Health Enterprise (IHE), the Object Management Group (OMG) and the Internet Engineering Task Force (IETF) whose processes emphasise that real world, fully scaled, implementation is vital to final acceptance of a standardisation proposal.

The practical implication of this stance is that theory does not get too far ahead of practice so that evolutionary, rather than revolutionary, change is achieved. Also, of critical importance in the health sector, is the fact that the intangible issues (user resistance, impracticality etc) and unanticipated consequences are recognised early and managed.

An invaluable model that brings together and demonstrates all these approaches is the Healthcare Services Specification Project (HSSP).

Details can be found at http://hssp.wikispaces.com/

In essence this project is bringing together health and hard technical skills in a planned way to deliver a set of web services which will powerfully enable and facilitate projects such as US National Health Information Infrastructure and Australia’s HealthConnect should it ever get properly off the ground.

A hallmark of the work being undertaken is the approach of developing Draft Standard(s) for Trial Use (DSTU). Only once it has been shown that the standard works as expected and achieves it stated goals does it become a formal standard.

Those interested should visit the following URL for a comprehensive range of explanations and information.

http://hssp.wikispaces.com/HSSP.Navigator

It seems clear to me that the structured engineering approach being adopted here is much more likely to solve the issues around having effective standardised solutions than the non-implementation and non ‘proof of concept’ focused approach being presently adopted by NEHTA.

I wonder how aligned NEHTA’s yet to be released technical detail in areas like identity and terminology services is to the HSSP Project?

The Health Informatics Association of Australia (HISA) is also to be congratulated for working to extend the practical approaches used by IHE into Australia. This step will also help to move Health IT from the theoretical into the operational phase in Australia.

Can I suggest we are only ever going to see significant progress in E-Health space when the discipline of real world implementation and operation is applied to the worryingly large number of current Health IT Standards proposals and specifications which seem to be overly complex and out of practical control.

David.

Thursday, January 04, 2007

Media Management, Real Progress or NEHTA Trying to Justify Their Existence?

Good heavens! There I was just calming down for a relaxed Christmas and suddenly a flood of new documents are released by NEHTA. And what a fascinating grab bag it is too!

Cynical soul that I am, I must say that the arrival of all this largesse on the second last business day before Christmas did make me wonder if the holiday period was being used as a cover to slip material out which might need to avoid scrutiny.

A more charitable interpretation is that NEHTA was concerned that I may have been bored over Christmas and wanted to keep me busy!

What was released? There were three documents.

The first document is entitled “Technical Architecture for Implementing Services Concepts and Patterns Version 1.0 – 21 December 2006 For Comment.”

The purpose of the document is said to be:

“This document describes the technical concepts and patterns for service implementation within the national E-Health Infrastructure. These technical concepts and patterns form the basis for a Technical Architecture of the national E-Health Infrastructure.

The national E-Health Infrastructure is the infrastructure that is being developed by the National E-Health Transition Authority (NEHTA) to support electronic health in Australia.”

The document is also intended to provide guidance as to how to develop systems which will make up the national E-Health Infrastructure.

Bluntly, this 27 page document is a joke. All it offers is a Services Orientated Architecture tutorial and a recommendation that information flowing between the various services be modelled as follows:

“Information can be modelled and represented in many different ways. This technical pattern recommends that information can be represented using the XML infoset and encoded using the syntax of XML. It also recommends the use of XML Schema to describe those XML documents.

This technical pattern ensures that the data works natively with Web services. Other forms of data can be used with Web services. However, they would have to be represented as binary data which is encoded inside an XML wrapper.”

It then concludes with a set of totally obvious and self evident architectural principles – as an Appendix – but offers no framework as to how these are to be implemented and no use cases so the implications can be understood.

This is another “get no one anywhere” effort from NEHTA.

The second document is entitled “NATIONAL PATHOLOGY TERMINOLOGY Draft National Reference Lists – Pathology Request and Results” and comes with two spreadsheets of the SNOMED CT codes, the fully specified term and the NEHTA preferred term and some linkages.

The most amazing thing about this release is that – while being at best half done -NEHTA is claiming it is a major step forward and at the same time saying this is not ready for use!

“NEHTA has delivered Release 1 of a national pathology terminology, comprised of draft National Pathology Request and Result Reference Lists for comment. It is important to note that these Reference Lists are not yet considered suitable for implementation.

These Lists are the first step towards the development of a national, standard pathology terminology, for use in all general practice, pathology and clinical information systems.”

Worse it just dismisses all the work done with AusPath by airily saying LOINC is not supported – despite being at the heart of ELINCS – the pathology messaging approach now being adopted and supported by HL7 in the USA! What is it NEHTA knows that HL7 does not I wonder? Some detailed report of the analysis that led to a decision of this importance is surely warranted?

There is also some evidence of haste in the completeness of content and spelling in some areas.

All in all this could have waited for release until it had been properly quality controlled, spelling normalised and Australianised and tested in a trial implementation or two prior to public release. Given the resources available to work on this area I would expect more refined and developed products.

The third document is entitled National Discharge Summary Data Content Specifications Version 1.0 – 21/12/2006. Staggeringly this document has been under-development for well over three years – first as part of the HealthConnect program and now (since 2004) as a NEHTA initiative. The time taken, for what should have been a relatively straightforward task, is a true reflection of the lack of focus and direction that exists in the E-Health sector under NEHTA’s leadership.

NEHTA described the document thus:

“This document describes a specification for standardising the content of a discharge summary. The specification is a template that divides the discharge summary into sections based upon topic-specific data groups such as medications, problems/ diagnoses, diagnostic investigations, etc. The template is part of the care record summary suite of specifications that NEHTA is developing for the Australian health informatics community. One of NEHTA’s goals is to standardise the suite of priority care record summaries and their data content to achieve semantic interoperability amongst healthcare provider systems.”

The document runs to 374 pages (or so) and defines a Discharge Summary Template of genuinely biblical complexity. While the rest of the world works to simplify clinical communication of key information (as seen in the recent design changes to the UK shared record and in developments like the Care Record Summary (HL7) and the Continuity of Care Record (ASTM) in the USA) NEHTA has been investing time and effort in rampant, essentially unimplementable information modelling overkill.

Frankly I have no idea how anyone could persuade busy interns to promptly and correctly fill in forms of this planned complexity – no matter what the incentive. This will simply not be used in my view – defeating its noble purpose.

There is a critical need for the simplest of basic information communication between hospitals and practitioners – about the amount of information that can sensibly fit on an A4 page – not this over engineered monster.

The adage of “walk before you run” is ringing in my ears as I type.

Frankly I admire the dedication and work ethic of those who have put this together – despite its obvious lack of practicality. Pity about the out of touch leadership who sponsored such a brave, but ultimately what I believe will be a fruitless, exercise. Let’s get this excellent team to review where the US and the UK have headed for sound and practical reasons and quickly come up with a basic sharable specification that has some hope of being implemented. For heaven’s sake let’s master walking before we try and run!

It can be done! This is shown by New Zealand where they now have approx 2.5 million summaries going out to GPs annually, using an HL7 2.2 standard. I understand this is now being upgraded to V2.4 after six years of getting momentum and use with a very basic standard. Seems like the Kiwis have a jump on us in more than Rugby .

A unifying flaw in all these documents is the lack of any reference implementations to confirm any of this is useful or valuable to even the minutest extent. Standards organisations have, I believe, a responsibility to prove what they propose works and can be successfully implemented before expecting it to be adopted. All this is a long way from passing that test.

All in all this looks to me like the response to a command from on high to “get as much as possible out before Christmas to show the last two and a half years have not been wasted”. What do you think?

David.

Wednesday, January 03, 2007

Why is NEHTA Pretending the Access Card Does not Exist?

NEHTA has released a document entitled “Privacy Blueprint – Unique Healthcare Identifiers (UHI) - Individual Healthcare Identifier (IHI) and Healthcare Provider Identifier (HPI) - Version 1.0 – 18 December 2006 For Comment”

Since it is said to be “for comment” I suppose I should feel free to offer a few comments! My comments are as follows:

1. For reasons that defy understanding the UHI project in general and this document in particular seem to either ignore, or be totally unaware of, the work being done by the Department of Human Services with the Access Card and the individual number being allocated to each of us.

The Access Card is going to give us all a number, and now NEHTA wants to give us another one which is manifestly less robust and less trustworthy and which won’t have legislative protection against misuse.

One also has to wonder about NEHTA’s costings – given the Human Services Department thinks number allocation will cost hundreds of millions of dollars and NEHTA has only $50 million over a few years to undertake a similar task.

Worse, the Access Card has done extensive public consultation on the privacy issues around numbering citizens and NEHTA is either ignorant of or ignoring it. I wonder which it is?

2. Blueprint is a misnomer. The document is in no way a blueprint – it is a consultation paper from which, I imagine, NEHTA plans to ultimately produce an actionable blueprint. As it stands it identifies and attempts to scope a good range of the contentious issues surrounding health information policy and asks for views on how they should be handled.

3. NEHTA has developed this document apparently in the absence of any input from the peak bodies representing health informatics practitioners, the Australian College of Health Informatics, the Health Information Society of Australia, health system vendors and health information managers.

Clinical input in the workshops conducted to develop and refine this document late in the year also appears to have been token at best (1 GP, 1 nurse and 19 others as I count it).

4. The document (on the basis of no evidence I can find within the document) seems to work from the implicit assumption that giving the entire population another unique number is a good and desirable thing. Given the cost and effort involved in doing this, and the known privacy implications of unique identifiers, this issue should have been addressed and reviewed.

To produce a privacy document that does not explore alternatives to giving every citizen yet another number is really staggering arrogance, especially when the business case for the entire project has remained on NEHTA’s secret list.

5. I think it is clear that if NEHTA has no capability to legislatively protect their planned identifier against privacy abuse and scope creep they should either drop the whole project or go back to government and get the protections that are so definitely required.

6. NEHTA proposes to obtain the basic information from the Medicare Australia individual person database. Given the well known lack of quality of, and number of duplicates in, this database due to the fact that its subjects do not, by and large, even know of its existence and thus have not corrected it, errors in record linkage based on the IHI are likely to be dangerously common.

Additionally I am not sure most Australian Citizens have been asked whether they are happy to have their demographic details shared by Medicare with a non-government company – as NEHTA most certainly is. I was under the impression that Medicare Australia – as a data custodian – should not disclose such information without the individual’s explicit consent.

7. The document mentions that consideration is being given as to the need for either one or two factor authentication for the IHI. Again where is the mention of the Access Card as a possible factor and even more worrying where is the discussion of individual verification of identity so the authentication can operate? Given that it is the initial registration phase that is both expensive and time consuming – one really wonders how NEHTA can plan to do anything other than adopt the Access Card identifier.

8. NEHTA has not appreciated that the main problem with identifiers such as the IHI is not technical security but mis-use by authorised users of a system. In this case we will have tens of thousands of providers and their staff able to search the IHI. Given the lack of effective controls seen at the ATO and CentreLink what is the chance this source of demographic information won’t be similarly abused. The answer is zero!

9. NEHTA seems to have a rather patronising view that they are equipped to make balancing judgements about the extent to which ‘my’ privacy should be protected and that this level can be balanced against some concept of ‘public good’. I would suggest that they are not so empowered and that I am the sole arbiter of what is sensitive to me and what needs protection. Were I, for example, be living with HIV / AIDS, I would expect not only an iron-clad guarantee this fact would not be disclosed to any-one without my permission but I would also want the right to substantial compensation for any system breach. NEHTA’s prime role is to facilitate the introduction and use of E-Health technologies and not offering a highly sensitive and responsive privacy approach that the public are totally comfortable with will doom their efforts before they start. This present document does not suggest they “get” this fact.

People are only going to allow electronic health records to be implemented and used if they are totally confident where the information is going and who has access to it.

There is a great deal also wrong with the detail of the document as well as with the proposed timing of the Privacy Impact Assessment (PIA). The PIA work needs to be undertaken and reviewed publicly long before the enabling system is designed. The PIA must also address all known technical, organisational and legal constraints.

This entire privacy proposal is deeply flawed in my view and has a high risk of destroying the possibility of progress with E-Health implementations due to the destruction of consumer confidence in the way their private information will be handled.

David.

Monday, January 01, 2007

NEHTA has Failed and Needs to be Fixed – How is this to be Done?

A little history first – sourced from Version 1.0 of the NEHTA Fact Sheet dated March, 2005.

“In April 2004, Health Ministers endorsed-in- principle the establishment of a national entity to drive these critical national health IM&ICT priorities.

Australian Health Ministers' Advisory Council (AHMAC) members felt that achieving progress in some IM&ICT priorities was so urgent that it could not wait for the entity's establishment. AHMAC recommended that a transition team be set up to progress these urgent priorities and simultaneously finalise the establishment of the new national health IM&ICT entity.

On 29 July 2004, Health Ministers reaffirmed the importance of IM&ICT to health sector reform, and endorsed the immediate establishment of the transition arrangements. This transition team is known as the National E-Health Transition Authority (NEHTA).”

From this it is clear that NEHTA was intended to have two roles. First to get on with some high priority activities and second to establish an entity to carry forward in the long term the AHMAC E-Health Agenda – as defined, presumably, by the Boston Consulting Group Report entitled “National Health Information Management and Information & Communications Technology Strategy” of April 2004 developed for the now defunct Australian Health Information Council (AHIC) and the National Health Information Group (NHIG).

This report was “intended to be a key input into a national strategic plan for health-related information management and information and communications technology (IM&ICT) that will be presented to the Health Ministers later this year.” i.e. 2004. If it was ever developed this plan has never been made public.

In July 2005 NEHTA became NEHTA Ltd an independent Public Company Limited by Guarantee. Around the same period it became clear that a review of the HealthConnect program had transformed that program into a “change management strategy”.

It can be safely inferred that NEHTA Ltd is the permanent entity that was to be established by the decision of Health Ministers in April 2004. NEHTA has thus transmogrified from a transition team to a permanent entity with funding that is committed to 2008/09 and 60 plus staff.

After two and a half years how close are we to some real and useful outcomes? The answer to this is not close at all. Nowhere is there any real evidence of a substantive transition either being underway or in any form imminent.

Where are the gaps?

First, the overarching National E-Health Strategy has yet to be developed – despite being urgently needed for two plus years.

Second, all urgency (or even a sense of urgency) has evaporated. It was so urgent in mid 2004 to get underway promptly that some corners were certainly cut. Now, two and a half years later, we find the key NEHTA deliverables are now due in 2008 or 2009. No one will be knocked down in this rush.

Third, there has been deep industry alienation and increasing concern as it is realised that much of what is offered by NEHTA is presently not practically implementable or clearly enough defined, and probably won’t be for another year or two at best.

Fourth, the guidance that was to be forthcoming for the jurisdictions on the standards to be adopted in Hospital computing has simply not happened.

Fifth, there has been no perceptible impact on GP computing from NEHTA initiatives to date. Indeed many GP initiatives that have been funded from the moribund HealthConnect program have been utterly non-NEHTA standards compliant (e.g. the SA Ozdocsonline Project and the NT P2P project).

Sixth, while the use of secure messaging within the health sector has been making some headway due, in large part, to efforts from providers such as Promedicus, Healthlink, Argus and Medical Objects, NEHTA has yet to offer any useful contribution to the space and has taken 10 months to move its draft documents to final status. While much has been made of the use of web services, after 18 months no web services specifications have been published and NEHTA has disavowed all interest in the structure of the messages to be sent. In the words of one messaging service provider I have spoken with, this is “about as helpful as a barnacle on a battleship”.

Seventh, NEHTA has continued with an approach of developing and announcing positions and policies while providing only minimal, if any, sound justification for the conclusions drawn and only very infrequently providing references to the international sources on which much of their work is so obviously based. This is especially so in the interoperability and the international Health IT Standards arenas.

Eighth, there has emerged considerable confusion about just what Standards NEHTA is working on and what is within the purview of Standards Australia. This has led to the alienation of a number of people who previously have been working well with the IT-14 Committee structure. To many in the industry, NEHTA seems to have abandoned the standards process altogether.

Last, NEHTA has had an excessive emphasis on technical and managerial matters to the exclusion of a real focus on its core reason for existence – the health sector and its needs for IT enablement and infrastructure. In my view, NEHTA simply does not ‘get’ the health sector and its priorities.

It seems pointless to go on. NEHTA as presently constituted and managed is a clear failure lacking the health sector and political skills to deliver the needed outcomes.

It is vital that substantial change is made to get the National E-Health Agenda back on track and that the “baby is not thrown out with the bathwater” i.e. the useful work that has been commenced – in areas such as Clinical Terminology – is not impeded.

Among the most important changes that are needed are, in my view, (ideally by June 2007):

1. Return of NEHTA to the public sector with full transparency and accountability. This would include release of all documents that relate to NEHTA decision making to ensure there is appropriate public input and comment on planned directions.

2. Installation of a new and broadly representative Board – which provides both expert and industry savvy oversight of NEHTA’s operations. The jurisdictional representatives should be demoted to being advisory only. This Board would report to AHIC and Health Ministers. A vital early act would be the development and publication of a clear definition of NEHTA’s role, powers, accountability and concrete performance measures.

3. Full public disclosure of the membership, skill and interests of all those who are involved in NEHTA advisory committees etc.

4. Development of a NEHTA Policy Review Process that ensures all work reflects a practical understanding and recognition of the needs and priorities of the Australian Health Services delivery sector as well as technical imperatives.

5. Development of a National E-Health Strategy, Business Case and Implementation Plan which clearly identifies the optimal approach to the deployment of Health IT in Australia to improve safety, quality and efficiency, defines the activities and investment required, and makes clear the responsibility and accountability of all the relevant actors (Health Ministers, Jurisdictions, Commonwealth Government, NEHTA, Standards Australia, Private Sector Actors etc).

6. A renewed push to rekindle support for the core messaging and security standards and give the sector an immediate path forward. NEHTA should be encouraged to continue looking at the medium to long term future, but if it cannot contribute to moving forward rapidly in pragmatic and practical directions from the present state, it should stand aside.

Unless such ‘root and branch’ review is undertaken and implemented it is likely the 2000-2009 decade will be seen as a wasted decade that set the Australian Health Sector back many years.

Happy New Year to all!

David.

ps Blog Updated 02/01/2007 8.00 am to clarify point 6.

D.

Sunday, December 24, 2006

Happy Christmas and A Successful New Year to All.

Just a short entry to wish all the readers of this blog compliments of the season and all the very best for 2007. I hope we can see some real progress next year!

I plan a week off to consider some of the more complex issues and also to review some papers for Medinfo 2007.

Early next year I plan articles covering

• Personal Health Records

• The Opportunity Costs of not Implementing E-Health

• Shared Electronic Health Records – How can They Be Made to Work?

• NEHTA's Pre Christmas Document Releases – Do they Add Anything Useful?

• The IHI And the Access Card – What Total Policy Overlap and Stupidity.

See you in 2007!

David.

Thursday, December 21, 2006

NEHTA’s Contraction of Scope and Role – What does it Mean?

All of a sudden there has been an outbreak of discussion in the GP_TALK e-mail discussion list regarding the role, scope and purpose of the National E-Health Transition Authority (NEHTA).

The discussion was prompted by a correspondent asking - is NEHTA meant to be an Authority that ‘manages a transition’ (e.g. to much wider deployment of E-Health) or is it a ‘transition authority’ which is to be replaced by another authority when its job is done (in 2009 or so).

The official view – from the main Government entry point is not hard to find.

http://www.australia.gov.au/405

“National E-Health Transition Authority

The National E-Health Transition Authority (NEHTA) has been established to accelerate the adoption of e-health by supporting the process of reform in the Australian health sector. To enable this to occur NEHTA will develop the specifications, standards and infrastructure necessary for an interconnected health sector. The development of the foundations for widespread adoption of e-health is NEHTA's core mission. www.nehta.gov.au “

However NEHTA seems to have moved away from this – now saying on its home page (dated September 2006):

“Welcome to NEHTA Limited, a not-for-profit company established by the Australian, State and Territory governments to develop better ways of electronically collecting and securely exchanging health information.

Electronic health information (or e-health) systems that can securely and efficiently exchange data can significantly improve how important clinical and administrative information is communicated between healthcare professionals. As a result, e-health systems have the potential to unlock substantially greater quality, safety and efficiency benefits.”

And that their “website outlines the work that is being done by NEHTA to deliver a secure, interoperable e-health environment.”

The key difference is a much narrower role focussed on facilitation and enabling rather than direct intervention and support. It seems that NEHTA no longer sees itself as having a direct role in accelerating the adoption and use of Health IT, and also that NEHTA perceives it has no direct infrastructure or implementation role. Clearly, NEHTA sees these roles as being for someone else! (This view is supported in the recent “Privacy Blueprint” where there is much discussion of what sort of entity will deliver identity services – making it clear it won’t be NEHTA).

This view also fits with the NEHTA work-plan which focuses on developing services for provider and individual identification and for clinical terminology which will be used by other systems. NEHTA also says it is developing specifications for Shared Interoperable Electronic Health Records although it seems this work has progressed little in the last year as nothing significant has been published recently in this area that I can find.

This is most likely because similar initiatives overseas (UK and Canada) have hit quite difficult times and the levels of complexity in developing such shared records are becoming much better understood (I plan an article on this topic in due course).

The change in emphasis is of very considerable concern.

The reason for the concern is that with the establishment of NEHTA a lot of planned activity by both State Governments and the private health IT sector was put on hold, awaiting NEHTA guidance, support and direction.

It now seems this is not going to come promptly or the strategic way expected and with the HealthConnect program in mothballs (if not formally dead) NEHTA has now become a “dead hand” on innovation and progress in e-health in Australia.

In the last few days I have been approached by and chatted to both academics and industry players involved in secure messaging, software development, standards development, e-Health consulting and supply chain reform. All are concerned at the loss of momentum, lack of communication and strategic uncertainty.

What needs to be done to ensure there is a crystal clear understanding by all stakeholders of what NEHTA is actually now planning? NEHTA must urgently and clearly articulate just what it will deliver and by when and more importantly what it will not or cannot do and leave innovation and progress to others.

The problem we all now face is that, with the inertia and confusion that has now been engendered by NEHTA’s changes in emphasis, it may take some time for effective leadership to re-emerge. One can only hope the revamped AHIC can provide the needed strategic leadership and rapidly regain some much needed momentum.

David.

Tuesday, December 19, 2006

Australian Health Information Council Resuscitated – What Should Be on the Agenda?

I am told that the Australian Health Information Council – the new and resuscitated version is to have its first meeting in February 2007.

I am also told the new chair is Professor James A Angus, BSc (Syd.) PhD (Syd.) FAA, Dean, Faculty of Medicine, Dentistry and Health Sciences, University of Melbourne. It seems Professor Angus is a very distinguished Australian pharmacologist with an interest in all sorts of receptor classes. His biography does not mention any clinical experience or health information technology background.

I am not sure whether congratulations or commiserations are appropriate for Professor Angus – time will tell I guess! (At present I have not seen an official announcement so this may be wrong in whole or in part.)

What would I want to see addressed at the first few meetings? The following, in priority order, are what I would (gratuitously) suggest.

1. The first meeting needs to work out how many seats should be around the table and who should occupy them. There is an embedded clique, I believe, of government committee attendees in this domain, many of whom have led the E-Health agenda for the last 15 years. As progress has been less than stellar it is not inappropriate to suggest that perhaps a transfusion with some new blood would be advisable. While some old blood should be maintained for corporate memory etc – at least half of the committee should have never been involved in the old AHIC or any of the committees that report to it. Perhaps it would be sensible if the Chair initially enrolled a foundation core of three or four independent experts to consider the issue of subsequent enrolments.

There should also be minimal, if any, crossover of membership between the NEHTA board and AHIC.

2. The reporting lines and governance of AHIC should be such that it is genuinely independent and is able to provide quality strategic advice to Ministers unfiltered by any external influences.

3. The new committee needs to make sure it has the resources and the independence to get things done – this means a real and tangible budget and a competent, dedicated, expert secretariat. There must no part-time bureaucrats who battle through. Ideally there should be a staff of three or four real experts to advise and assist. If it is not clear this will happen prospective committee members should just walk away in my view.

4. The new committee should closely review the terms of reference. These were watered down in November 2005 from the original 2003 version to read:

“Set up by Health Ministers in July 2003, AHIC works closely with the National Health Information Group to increase the effectiveness of IT investment in the health sector.

The revised operating arrangements for AHIC are based on an independent review of the Council commissioned by the Australian Government. These arrangements will enable AHIC to focus on providing strategic advice to Health Ministers about the more effective and efficient use of information management and information communications technology (IM&ICT) in the health sector.”

I would suggest the following terms of reference for the revamped AHIC.

A. To promptly review the progress and current status of E-Health in Australia (E-Health being broadly defined as the use of ICT in the health sector – and especially in Health Service Delivery) and benchmark and evaluate it against progress in the rest of the OECD.

This review should be of strategic and major operational systems only – not every isolated trial system in the first instance.

B. To develop a National E-Health Strategic Plan, Business Case and Implementation Plan, for presentation to and funding by Ministers within 12 months of the February 2007 meeting.

This plan needs to reflect the Health Service business drivers. These include efficiency and effectiveness of the health system, patient safety, quality of care, public health monitoring and reporting, clinician job satisfaction and retention and so on.

Issues of use and adoption of Health IT and aspects of security and privacy will also be critical to address.

Any plan must also be practically focussed and based on proven technology. It must embrace the use of standards which can be demonstrably implemented and which meet health system requirements. Benefits which flow from implementations should be focused on those who actually use the systems, not those who would like a free ride from the ‘uncompensated’ efforts of the ‘users’. This probably means introducing meaningful financial incentives for some stakeholders.

C. To advocate with all appropriate stakeholders the importance of planned, consultative action in the E-Health space.

D. To work with the Jurisdictions, the IT Industry and the Private Health Sector to obtain predefined optimal national E-Health outcomes.

E. To ensure NEHTA’s plans and directions are brought into alignment with the National E-Health Agenda and that NEHTA’s resources are focussed where the majority of CLINICAL and PATIENT benefits are to be found.

After this has been achieved I would be more than happy to let AHIC develop the rest of its agenda itself – but the members may want a long, well earned rest!

David.