Read the attachments and watch the video What Can Be Done About A Disruptive Physician? Serving, Following, And Leading In Health Care? The Essentials Of Successful Clinical Leader
Read the attachments and watch the video
What Can Be Done About A Disruptive Physician?
Serving, Following, And Leading In Health Care
The Essentials Of Successful Clinical Leadership (https://www.youtube.com/watch?v=EGoSGNDw6xI)
Take on the role of the administrator of a 550-bed level 2 hospital. For the past 10 years, your facility has received numerous awards for exceeding various quality metrics. Your service line director, Cindy, has requested to meet with you regarding a risk management concern. In the meeting, Cindy shares that Dr. Braskin who is your highest producing revenue surgeon has shown up to work intoxicated on numerous occasions. Yesterday, he nicked a patient in surgery, which resulted in a blood transfusion being ordered.
As the administrator of the hospital answer the following questions in 300 to 400 words,
Evaluate organizational risk, legal, and quality issues, presented in this case scenario.
Compose your plan of actions with proper policies, processes, and disciplinary measures for such a case.
*Must use at least two credible sources published within the last 5 years in APA Style 7th edition format.
126
What Can Be Done About A Disruptive Physician?
A Legal Analysis
Samuel D. Hodge, Jr.*
House, a medical drama about an infectious disease
specialist, entertained television audiences for years as the
irascible and pill-popping physician solved medical mysteries
with the zeal of a modern-day Sherlock Holmes while playing
mind games with his coworkers. Uncanny intuition and
eccentric thinking earned the physician great respect but his
bullish behavior and antisocial tendencies were a distraction at
the hospital.1 Not only did Dr. House clash with his fellow
physicians but he also insulted patients, flouted hospital rules
and caused great conflict with the hospital administrators.2 In
fact, his actions often crossed the line into obnoxiousness and
rage causing the hospital staff to tiptoe around his dysfunctional
behavior.3
In the real world, Dr. House would be labeled a “disruptive
physician” and would be subjected to disciplinary action
including the loss of his hospital privileges. This article will
explore the problems caused by being labeled a disruptive
physician in a legal context with a focus on the peer review
process and the relevant court cases.
TABLE OF CONTENTS
I. Introduction……………………………………………………………. 127
* The author is a professor at Temple University, where he teaches both law and anatomy. He also serves as a mediator and neutral arbitrator for the Dispute Resolution Institute in Philadelphia and is considered one of the most popular CLE speakers in the country. Professor Hodge has authored more than 175 articles on the intersection between law and medicine, has published ten books and has been named a top lawyer in Pennsylvania on multiple occasions.
1. House (TV Series), Wɪᴋɪᴘᴇᴅɪᴀ, https://en.wikipedia.org/wiki/House_ (TV_series), (last visited Sept. 14, 2019).
2. Id.
3. Bob Wachter, Gregory House, MD, RIP, HOSPITAL LEADER BLOG (May 21, 2012), https://thehospitalleader.org/gregory-house-md-rip/.
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2019 DISRUPTIVE PHYSICIAN? 127
II. What is a Disruptive Physician? ……………………………. 128
III. The Problem ………………………………………………………… 129
A. Statistics ………………………………………………………….. 129
B. Conduct That Is Disruptive ………………………………… 130
IV. Remedial Measures ………………………………………………. 131
A. The American Medical Association ……………………… 132
B. The Joint Commission ……………………………………….. 133
C. Federation of State Medical Boards …………………….. 134
D. Response by the States ………………………………………. 135
V. Peer Review Immunity …………………………………………. 136
VI. Court Action ………………………………………………………… 139
A. Immunity under the Healthcare Quality Improvement
Act (HCQIA) ……………………………………………………………… 141
B. Reliance upon Bylaws and Procedures ………………… 147
C. Disruptive Conduct as Justification for Suspension . 150
VII. Conclusion …………………………………………………………… 152
I. Introduction
The practice of medicine is filled with stress from being
involved in life and death decisions, to declining revenues while
practicing in a heavily regulated environment.4 These facts have
triggered the quick response by some physicians to use
regulatory schemes to advance their own personal agendas and
to protect personal interests.5 Unfortunately, these rules and
regulations, which are not well understood by most medical
professionals, have caused a great deal of animosity and
frustration, leading some doctors to become “disruptive
physicians.”6
The troublesome physician causes untold medical, legal,
and psychological problems in the workforce,7 and most health
care managers are ill prepared to deal with these doctors.8 For
4. Michael J. Grogan & Paul Knechtges, The Disruptive Physician: A Legal Perspective, 20 Aᴄᴀᴅ. Rᴀᴅɪᴏʟᴏɢʏ 9, 1069–73 (2013).
5. Zachary L. Erwin, Analyzing the Disruptive Physician: How State and Federal Courts Should Handle Whistleblower Cases Brought by Disruptive Physicians, 44 Dᴜǫ. L. Rᴇᴠ. 275, 275 (2006).
6. Id. at 276.
7. Id.
8. Eugene Fibuch & Jennifer J. Robertson, Bringing Value: Dealing Fairly With Disruptive Physicians, AM. ASS’N PHYSICIAN LEADERSHIP (Mar. 8, 2019), https://www.physicianleaders.org/news/bringing-value-dealing-fairly-
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128 PACE LAW REVIEW 40.1
example, disruptive physicians can lead to a hostile work
environment, cause morale problems, increased litigation,
compromised patient care, communication issues, and
obstruction in the regular running of the organization.9 As noted
by Alexander Vaccaro M.D., the President of the Rothman
Institute, “There is no place in medicine for disruptive
physicians and every study that has examined the issue has
concluded that a disruptive doctor increases the chance of an
adverse event. In fact, these physicians have a higher
complication rate and receive negative feedback in patient
satisfaction surveys.”10 Addressing this conduct head-on is
critical, but recognizing the proper course of remedial action can
be a daunting task.11
II. What is a Disruptive Physician?
No single definition exits to describe a disruptive physician
but a number of organizations and court decisions have
addressed the issue. Some medical professionals claim that they
have an “instinctive understanding” of what represents
disruptive behavior and do not need guidance.12 On the other
hand, the Court in Gordon v. Lewistown defines a disruptive
physician as one who is unruly, “contentious, threatening,
unreachable, insulting and frequently litigious. He will not, or
cannot, play by the rules, nor is he able to relate to or work well
with others.”13 It is important to note, however, that a sole
occurrence of troublesome behavior is inadequate to be labeled a
disruptive physician and anticipating complete harmony in the
workplace is unrealistic. The tag should also not be used to
disruptive-physicians.
9. Erwin, supra note 5, at 275–76.
10. Alexander Vaccaro, M.D., Ph.D, MBA, is an orthopedic surgeon and the President of Rothman Institute, one of the largest orthopedic practices in the country. He is also the Richard H. Rothman Professor and Chair in the Department of Orthopaedic Surgery, and a Professor of Neurosurgery at Thomas Jefferson University in Philadelphia, Pennsylvania. His comments were obtained in a telephone interview conducted by the author on September 20, 2019.
11. Alicia Gallegos, Disruptive Physicians: Is This an HR or MEC Issue?, MDEDGE (Sept. 16, 2018), https://www.mdedge.com/internalmedicine/article /174921/businessmedicine/disruptive-physicians-hr-or-mec-issue.
12. Grogan & Knechtges, supra note 4, at 2.
13. Gordon v. Lewistown Hosp., 714 A.2d 539, 544 (Pa. Commw. Ct. 1998).
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2019 DISRUPTIVE PHYSICIAN? 129
describe a doctor who has had a bad day or demonstrates an
occasional outburst that is out of character. Nor should the label
apply to a physician who has quirks, tends to be disagreeable, or
annoys others on the medical staff.14 Rather, the
characterization should be reserved for those who show a
pattern of seriously inappropriate conduct that is “deep-seated
and habitual.”15 A single incident that is improper must still be
addressed but the label “disruptive physician” is reserved for
more sustained and inappropriate behaviors over a period of
time.16
III. The Problem
As the sophistication and intricacies of medicine and
managed health care increase, the need to work in a conducive
atmosphere of cooperation intensifies. Contemporaneously, the
pressures, burdens, and distractions involving physicians
correspondingly escalate. Because doctors occupy an esteemed
position in society, inappropriate actions by these individuals
become magnified and have a greater probability for
disruption.17
Acknowledged in the medical literature for more than a
century,18 there is little evidence to demonstrate that the
number of episodes of disruptive physicians has increased in
recent years, but the problem has moved to the forefront of
healthcare management. Likewise, doctors who demonstrate
inappropriate behavior are being sanctioned with greater
frequency.19
A. Statistics
14. Grogan & Knechtges, supra note 4, at 3; See also Mahmoodian v. United Hosp. Ctr., 404 S.E.2d 750 (W. Va. 1991).
15. Norman T. Reynolds, Disruptive Physician Behavior: Use and Misuse of the Label, 98 J. MED. REG. 1, 10 (2012).
16. Id. at 9–10.
17. Brian J. Santin & Krista L. Kaups, The Disruptive Physician: Addressing the Issues, BULL. AM. COLL. SURGEONS (Feb. 1, 2015), http://bulletin.facs.org/2015/02/the-disruptive-physician-addressing-the- issues/.
18. Llewellyn E. Piper, Addressing the Phenomenon of Disruptive Physician Behavior, 22 HEALTH CARE MANAGER 335, 335–39 (2003).
19. Santin & Kaups, supra note 17.
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130 PACE LAW REVIEW 40.1
Most physicians and other health care workers have seen
their contemporaries engage in disruptive conduct with co-
employees, patients, and other individuals.20 In fact, more than
seventy percent of doctors surveyed indicate that disruptive
conduct happens at least once a month at their workplace, and
more than ten percent admit that such episodes occur on a daily
basis.21 This disruptive behavior runs the gamut from cursing to
the refusal to follow established procedures.22 Most responders
expressed concern about the consequences of this inappropriate
conduct on their practices, and nearly all are of the opinion that
the disruptive physician affects patient care. Surprisingly,
twenty-six percent of doctors acknowledged that they have
engaged in disruptive conduct at some point during their careers
and the most proffered reasons for these inappropriate actions
are “workload and learned behaviors.”23
Demographically, nurses are the main victims of this
unseemly conduct,24 and a number have left their jobs as a
result.25 The greatest offenders are those with the highest stress
level jobs, with surgeons being labeled the greatest culprits,
followed by obstetricians/gynecologists, orthopedic doctors, and
primary care physicians.26 Other specialists with less frequent
episodes include cardiologists, anesthesiologists,
ophthalmologists, cardiac/vascular surgeons, kidney specialists,
radiologists, oncologists, and psychiatrists.27
B. Conduct That Is Disruptive
20. Id.
21. Owen MacDonald, Disruptive Physician Behavior, QUANTIAMD 1, 2 (May 15, 2011), http://www.quantiamd.com/q-qcp/Disruptive_Physician_ Behavior.pdf.
22. Id. at 2.
23. Id.
24. Stephen Lazoritz, Don’t Tolerate Disruptive Physician Behavior, AM. NURSE TODAY (Apr. 11, 2011), https://www.americannursetoday.com/dont- tolerate-disruptive-physician-behavior-2/.
25. Charles P. Samenow et. al., ACME Course Aimed at Addressing Disruptive Physician Behavior, PHYSICIAN EXEC. 32 (Jan.–Feb. 2008), https://www.mc.vanderbilt.edu/root/pdfs/cph/Samenow.pdf.
26. Alan H. Rosenstein et. al., Legal Entanglements in Dealing with Disruptive Behavior, PHYSICIAN LEADERSHIP J., May–June 2016, at 46, 48 fig. 2.
27. Id.
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2019 DISRUPTIVE PHYSICIAN? 131
Inappropriate conduct takes many forms, with the highest
level of encounters being degrading comments, insults, and
yelling. Other types of disruptive behavior are less obvious but
no less concerning. These include a physician’s refusal to
cooperate with others and the inability to adhere to established
protocols. Conduct which occurs less frequently includes
physician assaults, discriminatory behavior, incompetence,
retaliation, spreading malicious rumors, throwing objects, and
substance abuse.28 Female physicians are slightly less likely to
engage in disruptive conduct as compared to their male
counterparts.29
It is believed that disruptive physicians direct their actions
against those who are perceived as having a status below the
doctor. It is theorized that the hierarchical character of the
medical profession has produced alphas who feel compelled to
flaunt their status. Therefore, it should come as no surprise that
one study ascertained that fifty percent of the conflicts dealing
with disruptive doctors involve coworkers with less professional
clout.30
Critics of this label maintain that being designated a
disruptive physician has been applied improperly by hospital
management to jettison unwanted competition and anti-
administration practices. It is also asserted that the phrase
“disruptive physician” is buried in the bylaws and left
intentionally broad, subjective, and undefined so that health
care executives can construe it anyway they wish.31 Therefore,
it is critical that hospitals implement rules and regulations that
will assist them in the handling of disruptive doctors while
shielding physicians from bogus claims of disruptive conduct.32
IV. Remedial Measures
28. MacDonald, supra note 21, at 4–5.
29. Id. at 5.
30. Brian M. Peters, Disruptive or Targeted Physician?: Compliance Strategies, HOSP. & HEALTH SYS. INST., February 9, 2006, Am. Health Law. Ass’n, AHLA-Papers P0209-608 (citing David O. Weber, Poll Results: Doctors’ Disruptive Behavior Disturbs Physician Leaders, PHYSICIAN EXEC., Sept.–Oct. 2004, at 6).
31. Lawrence R. Huntoon, Abuse of the “Disruptive Physician” Clause, 9 J. AM. PHYSICIANS AND SURGEONS 68, 68 (2004).
32. Peters, supra note 30, at 4.
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132 PACE LAW REVIEW 40.1
A. The American Medical Association
The first remedial attempt by the medical profession
occurred at the 1999 Annual Meeting of the AMA House of
Delegates who adopted Resolution 9 (A-99) dealing with the
disruptive physician. The pronouncement requested the AMA
to “identify and study behavior by physicians that is disruptive
to high quality patient care.”33 The end result was the
enactment of AMA Policy E-9.045 titled Physicians with
Disruptive Behavior. This rule of ethics labels disruptive
behavior as personal conduct, whether verbal or physical, that
negatively affects or that potentially may adversely impact
patient care. This inappropriate conduct is not limited to those
actions that interfere with one’s ability to work with others on
the health care team. Physician criticism, however, that is
provided in good faith with the intent of improving patient care
should not be classified as disruptive behavior.34
The AMA also published a Model Medical Code of Conduct
that can be used by health care facilities in drafting their
bylaws.35 This Code defines disruptive behavior as “any abusive
conduct including sexual or other forms of harassment, or other
forms of verbal or nonverbal conduct that harms or intimidates
others to the extent that the quality of care or patient safety
likely would be compromised.”36 Inappropriate behavior is
discouraged, but if such conduct persists, it will be transformed
into disruptive behavior. Examples include:
belittling or berating patients or members of their
care team, use of profanity or disrespectful
33. Dudley M. Stewart, Jr., Physicians with Disruptive Behavior, Report of the Council on Ethical and Judicial Affairs, CEJA Report 3-1-09, AMERICAN
MEDICAL ASS’N 1, 1 (2009), https://www.ama-assn.org/sites/ama-assn.org/ files /corp/media-browser/public/about-ama/councils/Council%20Reports/council- on-ethics-and-judicial-affairs/i09-ceja-physicians-disruptive-behavior.pdf.
34. Id. at 2 (citing AMA Opinion 9.045 – Physicians with Disruptive Behavior).
35. AMERICAN MEDICAL ASS’N, Model Medical Staff Code of Conduct (2012), https://www.slideshare.net/BarneyCohen/amamedicalstaffcodeofconduct (last visited Oct.4, 2019).
36. Id. at 1.
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2019 DISRUPTIVE PHYSICIAN? 133
language, inappropriate comments written in a
patient’s chart, blatant failure to respond to a
patient’s needs, deliberate lack of cooperation
with members of the medical staff, the deliberate
refusal to return calls, and use of intentionally
demeaning language that negatively impacts
patient care.37
The Code goes on to note that complaints about a physician
should be in writing and directed to the president of the medical
staff. A copy of the complaint, Code of Conduct, and bylaws
should be given to the accused within thirty days. In turn, the
offending member shall have the opportunity to respond in
writing.38
B. The Joint Commission
The Joint Commission, which is the accrediting agency for
more than 22,000 health care organizations in the United
States,39 published Standard LD.03.01.01. This provision
acknowledges that a disruptive physician engages in “behavior
that intimidates others and affects morale or staff turnover[,]
undermines a culture of safety and can be harmful to patient
care.”40 As a result, the Joint Commission requires health care
organizations to establish a code of conduct that defines
behaviors that are “acceptable,” “disruptive,” and
“inappropriate.”41
This problem is so significant that the Joint Commission
subsequently issued a Sentinel Event Alert which notes that
intimidating and disruptive behaviors can lead to medical
errors, poor patient satisfaction, increased cost of care, and
37. Id. at 2–3.
38. Id. at 5.
39. About the Joint Commission, JOINT COMMISSION, https:// www.jointcommission.org/about_us/about_the_joint_commission_main.aspx (last visited Oct. 4, 2019).
40. LD.03.01.01: Leaders Create and Maintain a Culture of Safety and Quality Throughout the Hospital, JOINT COMMISSION 1, 1 https:// medschool.ucla.edu/workfiles/Site-AcademicAffairs/Events/17.Joint- Commission.pdf (last visited Oct. 4, 2019).
41. Stewart, Jr., supra note 33, at 1–2.
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134 PACE LAW REVIEW 40.1
avoidable adverse outcomes.42 In response to criticism that the
term “disruptive behavior” is both ambiguous and inaccurate,
the definition was changed to “behavior or behaviors that
undermine a culture of safety.”43
C. Federation of State Medical Boards
The Federation of State Medical Boards recognized the need
to issue guidance on the disruptive physician when it issued the
2000 Report of the Special Committee on Professional Conduct
and Ethics, as well as in the 2011 Policy on Physician
Impairment.44 The Special Committee’s Report defines
disruptive behavior as “personal interaction with physicians,
hospital personnel, patients, family members, or others that
interferes with patient care.”45 Furthermore, disruptive
behavior is not a diagnosis but a descriptive label that impairs
the ability of the healthcare team to operate effectively, thereby
placing patients at risk. More specifically, it identified several
ways in which disruptive conduct interferes with the
doctor/patient relationship:
1. The physician’s inappropriate behaviors or emotional
outbursts shift the physician’s focus from the patient,
which can result in errors in clinical judgment and
performance.
2. Physician’s emotional outbursts or other inappropriate
behavior can increase apprehension and anxiety of the
physician’s patients as well as other patients who may
witness such outbursts and inappropriate behavior.
42. JOINT COMMISSION, Behaviors that Undermine a Culture of Safety (July 9, 2008), https://www.jointcommission.org/assets/1/18/SEA_40.pdf.
43. Joint Commission Changes Term “Disruptive Behavior” in the Standards, HCPRO (Nov. 10, 2011), https://www.hcpro.com/ACC-273165- 851/Joint-Commission-changes-term-disruptive-behavior-in-the- standards.html.
44. Reynolds, supra note 15, at 8.
45. Federation of State Medical Boards, Report of the Special Committee on Professional Conduct and Ethics 1, 5, (Apr. 2000), http://www.fsmb.org /siteassets/advocacy/policies/report-of-the-special-committee-on-professional- conduct-and-ethics.pdf.
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2019 DISRUPTIVE PHYSICIAN? 135
3. Decreased effectiveness of the entire health team.
Peers, nurses, allied health professionals, and other
members of the health care team may be intimidated and
anxious, causing a loss of their clinical focus and
productivity and thereby increasing the propensity for
medical errors.
4. Decrease in effective communications among the
health care team.46
The Report went on to note that disruptive behavior in
doctors is frequently the result of underlying pathology such as:
“(1) addiction (2) stress (3) psychiatric disorders (e.g., bipolar
disorder) or (4) personality disorders (e.g., narcissism).”47
Personality disorders seem to be the cause of most referrals for
disruptive behavior which may be treated, without or concurrent
with punitive action.48
D. Response by the States
States have also taken steps to curb unprofessional medical
conduct. For instance, New York lists a number of ways that
individuals can engage in professional misconduct under its
public health law including “willfully harassing, abusing, or
intimidating a patient either physically or verbally.”49 The
Texas Medical Association deems a health care professional who
engages in conduct that leads to a breakdown in safety measures
or acts in an intimidating manner towards a member of the
medical staff to be engaged in disruptive behavior.50
Pennsylvania enacted the Peer Review Protection Act which
provides that one offering information to any review
organization shall be granted immunity unless the information
is not related to the functions of the review entity or if the
46. Id. at 5–6.
47. Id. at 6.
48. Id.
49. N.Y. Educ. § 6530(31) (McKinney 2008).
50. Crystal Conde, Joint Commission Tries to Regulate Physicians’ Behavior, TEX. MED. (Dec. 2009), https://www.texmed.org/Template.aspx?id =8189.
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136 PACE LAW REVIEW 40.1
materials provided are false and the individual knew or had
reason to think the material was false.51
Failure of the facility to implement remedial measure to
deal with disruptive physicians can result in expensive
litigation. This is evidenced by a number of costly
discrimination/harassment lawsuits against health care
facilities as the result of the disruptive physician.52 For
instance, Chopourian v. Mercy General Hospital involved a
federal matter in which the jury awarded $168 million to a forty-
five-year-old physician’s assistant who claimed that she was
tormented and harassed by t
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