Utah Admin. Code R429-1-4 - Causal Analysis
(1) The incident
facility shall establish a causal analysis process.
(2) The incident facility shall designate a
responsible individual to be the facility lead for each patient safety
event.
(3) The incident facility
may request the Department representative to participate in the facility's
causal analysis in a consultative role to enhance the reliability and
thoroughness of the causal analysis.
(4) The Department shall notify the
facility's lead within 72 hours of receiving the patient safety event report
whether the Department intends to participate in the facility's causal
analysis.
(5) Participation in the
facility's causal analysis by the Department representative may not be
construed to imply Department endorsement of the facility's final findings or
action plan.
(6) The incident
facility and the Department shall each make reasonable accommodations when
necessary to allow for the Department representative's participation in the
causal analysis.
(7) If, during the
review process, the Department representative discovers problems with the
facility's processes that limit either the thoroughness or credibility of the
findings or recommendations, the representative shall orally report these to
the designated responsible individual within 24 hours of discovery and in
writing within 72 hours.
(8) The
facility shall conduct a causal analysis that is timely, thorough, and credible
to determine whether reasonable system changes would likely prevent a patient
safety event in similar circumstances.
(9) The causal analysis shall:
(a) focus primarily on systems and processes,
not individual performance;
(b)
progress from specific, direct causes in clinical processes to contributing
causes in organizational processes;
(c) seek to determine related and underlying
causes for identified causes;
(d)
identify changes that could be made in systems and processes, either through
redesign or development of new systems or processes, that would reduce the risk
of such events occurring in the future; and
(e) may include a set of questions to be
utilized when requesting a more thorough response from a unit or physician on
evaluation of a known complication related to a procedure, treatment, or test;
and
(f) these questions should
address whether:
(i) the procedure, treatment
or test was appropriate, warranted and based on nationally recognized standards
of care;
(ii) the complication is a
known risk, was anticipated before the procedure, and that the standard of care
applied to mitigate the risk;
(iii)
the complication was identified in a timely manner;
(iv) the complication treatment was according
to the standard of care and in a timely manner; and
(v) the treatment of the complication follows
a nationally recognized standard of care.
(10) The Department shall determine the
causal analysis to be complete if it:
(a)
involves a complete review of the patient safety event including interviews
with each readily identifiable witness, participant, and a review of related
documentation;
(b) identifies the
human and other factors in the chain of events leading to the final patient
safety event, and the process and system limitations related to the
occurrence;
(c) searches readily
retrievable records to analyze the underlying systems and processes to
determine where redesign might reduce risk;
(d) makes reasonable attempts to identify and
analyze trends of similar events that have occurred at the facility in the
past;
(e) identifies risk points
and their potential contributions to this type of event;
(f) determines potential improvement in
processes or systems that would tend to decrease the likelihood of such events
in the future, or that no such improvement opportunities exist; and
(g) is based on the evidence from the
research literature, data from other sources, or is derived from a formal
organizational improvement strategy.
(11) The Department shall determine the
causal analysis to be credible if it:
(a) is
led by someone with training in causal analysis processes and who was not
involved in the patient safety event;
(b) involves any necessary consultation with
either internal or external experts in the processes in question who were not
involved in the patient safety event;
(c) includes participation by the leadership
of the organization;
(d) includes
individuals most closely involved in the processes and systems under
review;
(d) is internally
consistent, does not contradict itself or leave obvious questions
unanswered;
(e) provides an
explanation for findings, including findings deemed inapplicable, and
(f) includes consideration of relevant,
available literature.
Notes
State regulations are updated quarterly; we currently have two versions available. Below is a comparison between our most recent version and the prior quarterly release. More comparison features will be added as we have more versions to compare.
No prior version found.