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{{#Wiki_filter:MEETING AGENDA ADVISORY COMMITTEE ON THE MEDICAL USES OF ISOTOPES April 3-4, 2019 Three White Flint North Building, 11601 Landsdown Street, Room 1-C03/1-C05, North Bethesda, Maryland 20852 NOTE: Sessions of the meeting may be closed pursuant to 5 U.S.C. 552(b) to discuss organizational and personnel matters that relate solely to internal personnel rules and practices of the ACMUI; information the release of which would constitute a clearly unwarranted invasion of personal privacy; information the premature disclosure of which would be likely to significantly frustrate implementation of a proposed agency action; and disclosure of information which would risk circumvention of an agency regulation or statute.
{{#Wiki_filter:MEETING AGENDA ADVISORY COMMITTEE ON THE MEDICAL USES OF ISOTOPES April 3-4, 2019 Three White Flint North Building, 11601 Landsdown Street, Room 1-C03/1-C05, North Bethesda, Maryland 20852 NOTE: Sessions of the meeting may be closed pursuant to 5 U.S.C. 552(b) to discuss organizational and personnel matters that relate solely to internal personnel rules and practices of the ACMUI; information the release of which would constitute a clearly unwarranted invasion of personal privacy; information the premature disclosure of which would be likely to significantly frustrate implementation of a proposed agency action; and disclosure of information which would risk circumvention of an agency regulation or statute.
Wednesday, April 3, 2019 OPEN SESSION
Wednesday, April 3, 2019 OPEN SESSION
: 1. Opening Remarks                                                                                   C. Einberg, NRC Mr. Einberg will formally open the meeting and Ms. Kock will provide opening                       A. Kock, NRC remarks.
: 1. Opening Remarks Mr. Einberg will formally open the meeting and Ms. Kock will provide opening remarks.
: 2. Old Business                                                                                     S. Holiday, NRC Ms. Holiday will review past ACMUI recommendations and provide NRC responses.
C. Einberg, NRC A. Kock, NRC
8:30 - 10:30     3. Open Forum                                                                                               ACMUI The ACMUI will identify medical topics of interest for further discussion.
: 2.
: 4. Yttrium-90 Microspheres Brachytherapy Licensing Guidance                                     M. OHara, ACMUI Subcommittee Report Dr. OHara will discuss the subcommittees recommendations on the NRCs draft Revision 10 to the Yttrium-90 Microspheres Brachytherapy Licensing Guidance.
Old Business Ms. Holiday will review past ACMUI recommendations and provide NRC responses.
: 5. Lucerno Dynamics LARA Infiltration Detection                                                       R. Lattanze, Mr. Lattanze will provide an overview about a product that can assist with                   Lucerno Dynamics detecting nuclear medicine injection infiltrations.
S. Holiday, NRC 8:30 - 10:30
10:30 - 10:45                                               BREAK
: 3.
: 6. Summary of Changes to 10 CFR Part 35                                                           L. Dimmick, NRC Ms. Dimmick will discuss the changes to the final rule 10 CFR Part 35 that went into effect January 2019.
Open Forum The ACMUI will identify medical topics of interest for further discussion.
10:45 - 12:00
ACMUI
: 7. Germanium-68/Gallium-68 Subcommittee Report                                                   M. Shober, ACMUI Ms. Shober will discuss the subcommittees recommendations on the NRCs draft revision to the Germanium-68/Gallium-68 Pharmacy Grade Generator Licensing Guidance.
: 4.
12:00 - 1:00                                                 LUNCH
Yttrium-90 Microspheres Brachytherapy Licensing Guidance Subcommittee Report Dr. OHara will discuss the subcommittees recommendations on the NRCs draft Revision 10 to the Yttrium-90 Microspheres Brachytherapy Licensing Guidance.
: 8. Medical Related Events                                                                           DB. Howe, NRC Dr. Howe will provide an update on recent medical events.
M. OHara, ACMUI
1:00 - 2:45     9. Appropriateness of Medical Event Reporting Subcommittee Report                                 R. Ennis, ACMUI Dr. Ennis will discuss the subcommittees recommendations on the appropriateness of the required medical event reporting in accordance with 10 CFR 35.3045.
: 5.
Lucerno Dynamics LARA Infiltration Detection Mr. Lattanze will provide an overview about a product that can assist with detecting nuclear medicine injection infiltrations.
R. Lattanze, Lucerno Dynamics 10:30 - 10:45 BREAK 10:45 - 12:00
: 6.
Summary of Changes to 10 CFR Part 35 Ms. Dimmick will discuss the changes to the final rule 10 CFR Part 35 that went into effect January 2019.
L. Dimmick, NRC
: 7.
Germanium-68/Gallium-68 Subcommittee Report Ms. Shober will discuss the subcommittees recommendations on the NRCs draft revision to the Germanium-68/Gallium-68 Pharmacy Grade Generator Licensing Guidance.
M. Shober, ACMUI 12:00 - 1:00 LUNCH
: 8.
Medical Related Events Dr. Howe will provide an update on recent medical events.
DB. Howe, NRC 1:00 - 2:45
: 9.
Appropriateness of Medical Event Reporting Subcommittee Report Dr. Ennis will discuss the subcommittees recommendations on the appropriateness of the required medical event reporting in accordance with 10 CFR 35.3045.
R. Ennis, ACMUI


2:45 - 3:15                               BREAK (public portion ends)
2:45 - 3:15 BREAK (public portion ends)
WEDNESDAY, APRIL 3, 2019 CLOSED SESSION 3:15 - 5:00   10. ACMUI Working Session: Biennial Evaluations and Commission                               ACMUI Meeting Presentation Development THURSDAY, APRIL 4, 2019 OPEN SESSION
WEDNESDAY, APRIL 3, 2019 CLOSED SESSION 3:15 - 5:00
: 11. ACMUI Reporting Structure                                                     K. Jamerson, NRC Members will discuss the reporting structure of the Committee and provide feedback to the NRC staff.
: 10. ACMUI Working Session: Biennial Evaluations and Commission Meeting Presentation Development ACMUI THURSDAY, APRIL 4, 2019 OPEN SESSION
8:30 - 9:30   12. Special Presentation to Ms. Weil                                                 S. Moore, NRC Mr. Moore will make a special presentation to Ms. Laura Weil
: 11. ACMUI Reporting Structure Members will discuss the reporting structure of the Committee and provide feedback to the NRC staff.
: 13. Thoughts on Leaving the ACMUI                                                    L. Weil, ACMUI Ms. Weil will share her thoughts on leaving the ACMUI, after serving two full terms (8 years).
K. Jamerson, NRC 8:30 - 9:30
9:30 - 10:00                                       BREAK
: 12. Special Presentation to Ms. Weil Mr. Moore will make a special presentation to Ms. Laura Weil S. Moore, NRC
: 14. Commission Meeting with the ACMUI                                                        ACMUI The ACMUI will brief the Commission on various topics in a public meeting.
: 13. Thoughts on Leaving the ACMUI Ms. Weil will share her thoughts on leaving the ACMUI, after serving two full terms (8 years).
10:00 - 12:15
L. Weil, ACMUI 9:30 - 10:00 BREAK 10:00 - 12:15
: 15. Group Photo                                                                               ACMUI The ACMUI will take a group photo with and without the Commission.
: 14. Commission Meeting with the ACMUI The ACMUI will brief the Commission on various topics in a public meeting.
12:15 - 1:15                                       LUNCH
ACMUI
: 16. ACMUI Bylaws Subcommittee Report                                                 L. Weil, ACMUI Ms. Weil will discuss the subcommittees recommendations for changes to the ACMUIs Bylaws - with particular focus on the ACMUI Chairs role with respect to subcommittees.
: 15. Group Photo The ACMUI will take a group photo with and without the Commission.
1:15 - 2:45   17. Open Forum                                                                               ACMUI The ACMUI will discuss medical topics of interest previously identified.
ACMUI 12:15 - 1:15 LUNCH
: 18. Administrative Closing                                                       K. Jamerson, NRC Ms. Jamerson will provide a meeting summary and propose dates for the fall 2019 meeting.
: 16. ACMUI Bylaws Subcommittee Report Ms. Weil will discuss the subcommittees recommendations for changes to the ACMUIs Bylaws - with particular focus on the ACMUI Chairs role with respect to subcommittees.
2:45                                             ADJOURN
L. Weil, ACMUI 1:15 - 2:45
: 17. Open Forum The ACMUI will discuss medical topics of interest previously identified.
ACMUI
: 18. Administrative Closing Ms. Jamerson will provide a meeting summary and propose dates for the fall 2019 meeting.
K. Jamerson, NRC 2:45 ADJOURN  


Opening Remarks NO HANDOUT
Opening Remarks NO HANDOUT  


2007 ACMUI RECOMMENDATIONS AND ACTION ITEMS ITEM                                     DATE         STATUS 33 NRC staff should modify 10 CFR 35.491(b)(2) to specify 'superficial Open ophthalmic treatments. Additionally, NRC staff should change the title of 10 10/22/07 Accepted Delayed CFR 35.491 to specify superficial ophthalmic treatments.
2007 ACMUI RECOMMENDATIONS AND ACTION ITEMS ITEM DATE 33 NRC staff should modify 10 CFR 35.491(b)(2) to specify 'superficial ophthalmic treatments. Additionally, NRC staff should change the title of 10 CFR 35.491 to specify superficial ophthalmic treatments.
34 NRC staff should not revise 10 CFR 35.491 (intended for ophthalmologists)
10/22/07 Accepted Open Delayed 34 NRC staff should not revise 10 CFR 35.491 (intended for ophthalmologists) to include training and experience for the new intraocular device. Instead, NRC staff should regulate the new intraocular device under 10 CFR 35.490.
Partially  Open to include training and experience for the new intraocular device. Instead, 10/22/07 Accepted  Delayed NRC staff should regulate the new intraocular device under 10 CFR 35.490.
10/22/07 Partially Accepted Open Delayed STATUS 1
1


2008 ACMUI RECOMMENDATIONS AND ACTION ITEMS ITEM                                   DATE       STATUS 19 NRC staff should accept the six recommendations of the Permanent Implant Brachytherapy Subcommittee report with one modification.
2008 ACMUI RECOMMENDATIONS AND ACTION ITEMS ITEM DATE 19 NRC staff should accept the six recommendations of the Permanent Implant Brachytherapy Subcommittee report with one modification.
Recommendation six should be modified to read, When a Written                           Open 10/27/08 Pending Directive (WD) is required, administrations without a prior WD are to                   Delayed be reported as regulatory violations and may or may not constitute an ME.
Recommendation six should be modified to read, When a Written Directive (WD) is required, administrations without a prior WD are to be reported as regulatory violations and may or may not constitute an ME.
26 NRC staff should revise 10 CFR 35.40 to clarify that the AU should Open sign and date both the pre-implantation and post-implantation         10/28/08 Accepted Delayed portions of the WD for all modalities with two part WDs 27 NRC staff should revise 10 CFR 35.40 to clarify that an AU, not the AU, should sign and date both the pre-implantation and post-implantation portions of the WD for all modalities with two part WDs.                   Open 10/28/08 Accepted
10/27/08 Pending Open Delayed 26 NRC staff should revise 10 CFR 35.40 to clarify that the AU should sign and date both the pre-implantation and post-implantation portions of the WD for all modalities with two part WDs 10/28/08 Accepted Open Delayed 27 NRC staff should revise 10 CFR 35.40 to clarify that an AU, not the AU, should sign and date both the pre-implantation and post-implantation portions of the WD for all modalities with two part WDs.
[Note this allows for one AU to sign the pre-implantation portion of                   Delayed the WD and another AU to sign the post-implantation portion of the WD]
[Note this allows for one AU to sign the pre-implantation portion of the WD and another AU to sign the post-implantation portion of the WD]
1
10/28/08 Accepted Open Delayed STATUS 1


2011 ACMUI RECOMMENDATIONS AND ACTION ITEMS ITEM                                       DATE       STATUS ACMUI created an action item to reevaluate its satisfaction with the reporting         ACMUI      Open 6                                                                                1/12/11 structure annually.                                                                    Action   indefinitely 1
2011 ACMUI RECOMMENDATIONS AND ACTION ITEMS ITEM DATE 6
ACMUI created an action item to reevaluate its satisfaction with the reporting structure annually.
1/12/11 ACMUI Action Open indefinitely STATUS 1


2016 ACMUI RECOMMENDATIONS AND ACTION ITEMS ITEM                                                 DATE           STATUS Dr. Alderson formed a subcommittee to review and evaluate the training and experience requirements for all modalities in 10 CFR Part 35. Subcommittee members include: Dr.                           ACMUI        Open 16                                                                                                    2/25/2016 Langhorst, Dr. Metter, Dr. Palestro (chair), Dr. Suh and Ms. Weil. NRC staff resource: Maryann                 Action  Indefinitely Abogunde.
2016 ACMUI RECOMMENDATIONS AND ACTION ITEMS ITEM DATE 16 Dr. Alderson formed a subcommittee to review and evaluate the training and experience requirements for all modalities in 10 CFR Part 35. Subcommittee members include: Dr.
The ACMUI will contact their respective professional organizations to request and encourage                   ACMUI        Open 24                                                                                                    3/18/2016 interactions between the NRC and ACMUI with their organization.                                                 Action   Indefinitely The Committee recommended that staff issue a generic communication (information notice) 39 regarding tubing issues (kinking, connection, hub etc.) during the administration of Y-90           10/6/16 NRC Action   Open microspheres brachytherapy.
Langhorst, Dr. Metter, Dr. Palestro (chair), Dr. Suh and Ms. Weil. NRC staff resource: Maryann Abogunde.
The Committee recommended that the Pathway 2 remain for the Y-90 Microsphere 42 Brachytherapy Licensing Guidance. The NRC/OAS working group should determine what the               10/7/16  NRC Action    Open requirements should be for the proctoring of cases by the manufacturer(s).
2/25/2016 ACMUI Action Open Indefinitely 24 The ACMUI will contact their respective professional organizations to request and encourage interactions between the NRC and ACMUI with their organization.
The Committee recommended to support the update to the waste disposal section and the 43 review of the Y-90 radiation safety issues in autopsy and cremation in the draft revision of the Y- 10/7/16 NRC Action   Open 90 Microsphere Brachytherapy Licensing Guidance.
3/18/2016 ACMUI Action Open Indefinitely 39 The Committee recommended that staff issue a generic communication (information notice) regarding tubing issues (kinking, connection, hub etc.) during the administration of Y-90 microspheres brachytherapy.
For the NorthStar Guidance Subcommittee: The Committee recommended that NorthStar 44                                                                                                      10/7/16  NRC Action    Open provide a video clip of how the system operates in the training module.
10/6/16 NRC Action Open 42 The Committee recommended that the Pathway 2 remain for the Y-90 Microsphere Brachytherapy Licensing Guidance. The NRC/OAS working group should determine what the requirements should be for the proctoring of cases by the manufacturer(s).
For the NorthStar Guidance Subcommittee: Given the unique design and operation of the 45 NorthStar system, the Committee agreed that NorthStar should have sole responsibility for the       10/7/16  NRC Action    Open content of the training course and certification.
10/7/16 NRC Action Open 43 The Committee recommended to support the update to the waste disposal section and the review of the Y-90 radiation safety issues in autopsy and cremation in the draft revision of the Y-90 Microsphere Brachytherapy Licensing Guidance.
For the NorthStar Guidance Subcommittee: The Committee stated that it is important to clarify that a System Administrator can be any individual assigned by the AU without a specifically 46                                                                                                      10/7/16  NRC Action    Open defined educational or training background. Given the unique role of the System Administrator, perhaps that individual should be named on the license.
10/7/16 NRC Action Open 44 For the NorthStar Guidance Subcommittee: The Committee recommended that NorthStar provide a video clip of how the system operates in the training module.
1
10/7/16 NRC Action Open 45 For the NorthStar Guidance Subcommittee: Given the unique design and operation of the NorthStar system, the Committee agreed that NorthStar should have sole responsibility for the content of the training course and certification.
10/7/16 NRC Action Open 46 For the NorthStar Guidance Subcommittee: The Committee stated that it is important to clarify that a System Administrator can be any individual assigned by the AU without a specifically defined educational or training background. Given the unique role of the System Administrator, perhaps that individual should be named on the license.
10/7/16 NRC Action Open STATUS 1


2016 ACMUI RECOMMENDATIONS AND ACTION ITEMS ITEM                                                 DATE         STATUS For the NorthStar Guidance Subcommittee:The Committee recommended an explicit statement regarding the System Administrator Designee, although it may not have been intended, one 47                                                                                                      10/7/16 NRC Action  Open could infer from the description of the system administrator designee that there can be only one designee. Presumably, there can, and should, be multiple System Administrator designees.
2016 ACMUI RECOMMENDATIONS AND ACTION ITEMS ITEM DATE STATUS 47 For the NorthStar Guidance Subcommittee:The Committee recommended an explicit statement regarding the System Administrator Designee, although it may not have been intended, one could infer from the description of the system administrator designee that there can be only one designee. Presumably, there can, and should, be multiple System Administrator designees.
For the NorthStar Guidance Subcommittee:The Committee recommended that the appropriate time period allotted for training on the changes and the responsibility of the 48                                                                                                      10/7/16 NRC Action  Open vendor/manufacturer to inform and train the applicants on changes in a timely manner be specified.
10/7/16 NRC Action Open 48 For the NorthStar Guidance Subcommittee:The Committee recommended that the appropriate time period allotted for training on the changes and the responsibility of the vendor/manufacturer to inform and train the applicants on changes in a timely manner be specified.
For the NorthStar Guidance Subcommittee: The Committee recommended that the guidance clarify whether the generator will be non-operational until ALL individuals handling the generator 49 are trained in the changes, including the AU, RSO, system administrator, etc. or does it require     10/7/16 NRC Action  Open only the AU to be trained on the changes. If the latter, once the AU is trained on the changes, is the AU then solely responsible for training all others on these changes? This should be stated.
10/7/16 NRC Action Open 49 For the NorthStar Guidance Subcommittee: The Committee recommended that the guidance clarify whether the generator will be non-operational until ALL individuals handling the generator are trained in the changes, including the AU, RSO, system administrator, etc. or does it require only the AU to be trained on the changes. If the latter, once the AU is trained on the changes, is the AU then solely responsible for training all others on these changes? This should be stated.
For the NorthStar Guidance Subcommittee: The Committee recommended using the term, 50 individual tasks throughout the document for consistency and to clarify that there is only one     10/7/16 NRC Action  Open protocol and software program with this system.
10/7/16 NRC Action Open 50 For the NorthStar Guidance Subcommittee: The Committee recommended using the term, individual tasks throughout the document for consistency and to clarify that there is only one protocol and software program with this system.
For the NorthStar Guidance Subcommittee: The Committee recommended that the 51                                                                                                      10/7/16 NRC Action  Open manufacturers procedures be reviewed and incorporated into the Licensing Guidance itself.
10/7/16 NRC Action Open 51 For the NorthStar Guidance Subcommittee: The Committee recommended that the manufacturers procedures be reviewed and incorporated into the Licensing Guidance itself.
For the NorthStar Guidance Subcommittee: The Committee recommended that the term higher 52 than expected be defined in terms of a maximum specific exposure or exposure-rate limit which       10/7/16 NRC Action  Open a survey meter should be capable of measuring.
10/7/16 NRC Action Open 52 For the NorthStar Guidance Subcommittee: The Committee recommended that the term higher than expected be defined in terms of a maximum specific exposure or exposure-rate limit which a survey meter should be capable of measuring.
The Committee endorsed the NorthStar Mo-99/Tc-99m Generator (RadioGenix) Subcommittee                         ACMUI 53                                                                                                      10/7/16             Open Report.                                                                                                        Action 2
10/7/16 NRC Action Open 53 The Committee endorsed the NorthStar Mo-99/Tc-99m Generator (RadioGenix) Subcommittee Report.
10/7/16 ACMUI Action Open 2


2017 ACMUI RECOMMENDATIONS AND ACTION ITEMS ITEM                                               DATE         STATUS The Committee requested that the recommendations and actions pertaining to the Part 35 rulemaking be reviewed during the fall 2017 ACMUI meeting and that additional time         4/26/2017 NRC Action Open be provided to review each item.
2017 ACMUI RECOMMENDATIONS AND ACTION ITEMS ITEM DATE 1
The ACMUI recommended that the NRC establish a program allowing a medical use 13 licensee to evaluate MEs as described in 10 CFR 35.3045, in NRC 10 CFR 35.1000               9/11/2017 NRC Action Open licensing guidance, and in 10 CFR 35.3047 with an approved patient safety program.
The Committee requested that the recommendations and actions pertaining to the Part 35 rulemaking be reviewed during the fall 2017 ACMUI meeting and that additional time be provided to review each item.
The ACMUI recommended that NRC licensees with an NRC-approved patient safety program will continue to report medical events as required with the following conditions:
4/26/2017 NRC Action Open 13 The ACMUI recommended that the NRC establish a program allowing a medical use licensee to evaluate MEs as described in 10 CFR 35.3045, in NRC 10 CFR 35.1000 licensing guidance, and in 10 CFR 35.3047 with an approved patient safety program.
(1) The NRC will not include this event notification in the Event Notification Report posted on its website. If this is not possible, the ME notification posted on the website will leave the licensee information and location anonymous. (2) The NRC will not conduct a reactive inspection of the ME unless the event results or will result in death, unintended 14 permanent harm, or unintended significant temporary harm for which medical                   9/11/2017 NRC Action Open intervention was or will be required to alleviate the harm or reduce radiation effects. (3)
9/11/2017 NRC Action Open 14 The ACMUI recommended that NRC licensees with an NRC-approved patient safety program will continue to report medical events as required with the following conditions:
(1) The NRC will not include this event notification in the Event Notification Report posted on its website. If this is not possible, the ME notification posted on the website will leave the licensee information and location anonymous. (2) The NRC will not conduct a reactive inspection of the ME unless the event results or will result in death, unintended permanent harm, or unintended significant temporary harm for which medical intervention was or will be required to alleviate the harm or reduce radiation effects. (3)
The medical use licensee will write a report available for the next NRC inspection describing the event cause and corrective action taken. (4) NRC will develop, with ACMUI advice, new temporary inspection procedures for NRC review of licensee patient safety event reports, and will evaluate, with ACMUI advice, need to change enforcement manual procedures regarding MEs to support a test of this program.
The medical use licensee will write a report available for the next NRC inspection describing the event cause and corrective action taken. (4) NRC will develop, with ACMUI advice, new temporary inspection procedures for NRC review of licensee patient safety event reports, and will evaluate, with ACMUI advice, need to change enforcement manual procedures regarding MEs to support a test of this program.
1
9/11/2017 NRC Action Open STATUS 1


2017 ACMUI RECOMMENDATIONS AND ACTION ITEMS The ACMUI recommended that NRC should test out this program with two large medical centers, two community hospitals, two rural hospitals, and two patient clinics for a year, evaluating the ME reports with the ACMUI. During this test period, the NRC, with advice from the ACMUI, should do the following: (1) Develop the minimum criteria for patient 15                                                                                            9/11/2017 NRC Action Open safety program reviews; (2) Assess how this change in ME reporting impacts the NRCs ability to protect patient health and to minimize danger to the patients life; and (3)
2017 ACMUI RECOMMENDATIONS AND ACTION ITEMS 15 The ACMUI recommended that NRC should test out this program with two large medical centers, two community hospitals, two rural hospitals, and two patient clinics for a year, evaluating the ME reports with the ACMUI. During this test period, the NRC, with advice from the ACMUI, should do the following: (1) Develop the minimum criteria for patient safety program reviews; (2) Assess how this change in ME reporting impacts the NRCs ability to protect patient health and to minimize danger to the patients life; and (3)
Evaluate the different types of patient safety programs in how lessons learned from their patient safety incident reviews are shared with the medical community.
Evaluate the different types of patient safety programs in how lessons learned from their patient safety incident reviews are shared with the medical community.
The ACMUI recommended that after completion of the test year, the NRC should consider opening the program to all NRC medical use licensees who request approval of 16                                                                                            9/11/2017 NRC Action Open their patient safety program, and to Agreement States who request to implement the program with their medical licensees.
9/11/2017 NRC Action Open 16 The ACMUI recommended that after completion of the test year, the NRC should consider opening the program to all NRC medical use licensees who request approval of their patient safety program, and to Agreement States who request to implement the program with their medical licensees.
The ACMUI recommended that the NRC redefine its perspective of patient safety to be 17                                                                                            9/11/2017 NRC Action Open different from occupational safety and from public safety.
9/11/2017 NRC Action Open 17 The ACMUI recommended that the NRC redefine its perspective of patient safety to be different from occupational safety and from public safety.
The ACMUI recommended that NRC partner with the Department of Health and Human Services (HHS), specially the Agency for Healthcare and Research and Quality (AHRQ) ,
9/11/2017 NRC Action Open 18 The ACMUI recommended that NRC partner with the Department of Health and Human Services (HHS), specially the Agency for Healthcare and Research and Quality (AHRQ),
18                                                                                            9/11/2017 NRC Action Open and ACMUI to develop a national database taxonomy specific for reporting patient events involving medical use of byproduct material.
and ACMUI to develop a national database taxonomy specific for reporting patient events involving medical use of byproduct material.
The ACMUI recommended that the NRC Update its Medical Use Policy Statement and 10 CFR 35 event reporting regulations for patient safety programs to verify the active 19                                                                                            9/11/2017 NRC Action Open involvement of the licensees patient safety program review of medical errors and reporting of reviews to the national patient safety database.
9/11/2017 NRC Action Open 19 The ACMUI recommended that the NRC Update its Medical Use Policy Statement and 10 CFR 35 event reporting regulations for patient safety programs to verify the active involvement of the licensees patient safety program review of medical errors and reporting of reviews to the national patient safety database.
The ACMUI endorsed the Medical Event Reporting and Impact on Medical Licensee Patient Safety Culture Draft Report, as amended to support the concept of the pilot                   ACMUI 20                                                                                            9/11/2017            Open program with the total number of sites and duration to be determined at a later date and               Action to include the Patient Intervention Subcommittee recommendations as an addendum .
9/11/2017 NRC Action Open 20 The ACMUI endorsed the Medical Event Reporting and Impact on Medical Licensee Patient Safety Culture Draft Report, as amended to support the concept of the pilot program with the total number of sites and duration to be determined at a later date and to include the Patient Intervention Subcommittee recommendations as an addendum.
2
9/11/2017 ACMUI Action Open 2


2018 ACMUI RECOMMENDATIONS AND ACTION ITEMS ITEM                                 DATE           STATUS The ACMUI recommended that there be no breast feeding cessation for 11C, 13N, 15O, and 82Rb; a 12-hours cessation for 18 F-labeled and 68Ga-labeled; a 24-hours cessation for 99mTc-labeled; 7-days cessation for 123I-NaI and 111In-leukocytes; 14 1                                                                    2/15/2018 NRC Action  Open days cessation for 201-Tl-chloride; 28 days cessation for 67Ga and 89Zr; 35 days for 177Lu, diagnostic; and total stop of breastfeeding for 131I-NaI, 177Lu, therapeutic, 223Ra and all alpha emitters.
2018 ACMUI RECOMMENDATIONS AND ACTION ITEMS ITEM DATE 1
The ACMUI endorsed the Nursing Mother Guidelines for the Medical Administration of Radioactive Materials Subcommittee Report, as amended to: (1) include recommended cessation ACMUI 2 periods for both 100 and 500 mrem limits; (2) acknowledge           2/15/2018              Open Action benefits of breastfeeding; (3) incorporate corrections as needed for gamma ray constants; (4) convert the units from conventional to SI units; and (5) correct references.
The ACMUI recommended that there be no breast feeding cessation for 11C, 13N, 15O, and 82Rb; a 12-hours cessation for 18F-labeled and 68Ga-labeled; a 24-hours cessation for 99mTc-labeled; 7-days cessation for 123I-NaI and 111In-leukocytes; 14 days cessation for 201-Tl-chloride; 28 days cessation for 67Ga and 89Zr; 35 days for 177Lu, diagnostic; and total stop of breastfeeding for 131I-NaI, 177Lu, therapeutic, 223Ra and all alpha emitters.
2/15/2018 NRC Action Open 2
The ACMUI endorsed the Nursing Mother Guidelines for the Medical Administration of Radioactive Materials Subcommittee Report, as amended to: (1) include recommended cessation periods for both 100 and 500 mrem limits; (2) acknowledge benefits of breastfeeding; (3) incorporate corrections as needed for gamma ray constants; (4) convert the units from conventional to SI units; and (5) correct references.
2/15/2018 ACMUI Action Open 3
The ACMUI recommended that the AU be physically present during the initiation of all Leksell Gamma Knife Icon treatments.
The ACMUI recommended that the AU be physically present during the initiation of all Leksell Gamma Knife Icon treatments.
However, the AU could be present in the department (defined as a two minute walk to the console area) during treatment but 3                                                                    2/15/2018 NRC Action  Closed is immediately available to come to the treatment room. If there is an interruption of treatment secondary to medical or mechanical issues, the AU must return to the console prior to reinitiation.
However, the AU could be present in the department (defined as a two minute walk to the console area) during treatment but is immediately available to come to the treatment room. If there is an interruption of treatment secondary to medical or mechanical issues, the AU must return to the console prior to reinitiation.
1
2/15/2018 NRC Action Closed STATUS 1


2018 ACMUI RECOMMENDATIONS AND ACTION ITEMS The ACMUI recommended as a best practice that appropriately ACMUI 4  trained nursing or auxiliary staff be present at the console to 2/15/2018              Closed Action respond to any immediate medical needs.
2018 ACMUI RECOMMENDATIONS AND ACTION ITEMS 4
The ACMUI unanimously endorsed the Physical Presence ACMUI 5  Requirements for the Leksell Gamma Knife Icon Subcommittee     2/15/2018             Closed Action Report.
The ACMUI recommended as a best practice that appropriately trained nursing or auxiliary staff be present at the console to respond to any immediate medical needs.
The NRC staff will create an ACMUI Recommendations Web Open 6  page and post the full ACMUI Recommendations and Actions         3/7/2018 NRC Action Indefinitely charts on the ACMUI Web page from 2007 - present The NRC staff will send out a medical list server announcement Open 7  to inform subscribers of the availability of ACMUI and NRC ME   3/7/2018 NRC Action Indefinitely slides each time that they are posted on the Medical Toolkit.
2/15/2018 ACMUI Action Closed 5
Dr. Palestro appointed Ms. Megan Shober and Mr. Zoubir Ouhib to the Physical Presence Requirements for the Leksell ACMUI 9  Gamma Knife Icon Subcommittee. Subcommittee membership         7/16/2018              Closed Action includes: Dr. Ennis, Mr. Ouhib, Ms. Shober, Dr. Suh (Chair),
The ACMUI unanimously endorsed the Physical Presence Requirements for the Leksell Gamma Knife Icon Subcommittee Report.
and Ms. Weil. NRC POC: Sophie Holiday The ACMUI endorsed the report of the Subcommittee on the Nursing Mother Guidelines for the Medical Administration of Radioactive Materials with added language that this document reflects the FDA approved radiopharmaceuticals on the market ACMUI 11 at this time and that licensees are obligated to carefully     9/20/2018              Open Action evaluate radiopharmaceuticals that are not encompassed in this report to keep exposures ALARA to patients, staff, and members of the public. The recommendation passed unanimously.
2/15/2018 ACMUI Action Closed 6
2
The NRC staff will create an ACMUI Recommendations Web page and post the full ACMUI Recommendations and Actions charts on the ACMUI Web page from 2007 - present 3/7/2018 NRC Action Open Indefinitely 7
The NRC staff will send out a medical list server announcement to inform subscribers of the availability of ACMUI and NRC ME slides each time that they are posted on the Medical Toolkit.
3/7/2018 NRC Action Open Indefinitely 9
Dr. Palestro appointed Ms. Megan Shober and Mr. Zoubir Ouhib to the Physical Presence Requirements for the Leksell Gamma Knife Icon Subcommittee. Subcommittee membership includes: Dr. Ennis, Mr. Ouhib, Ms. Shober, Dr. Suh (Chair),
and Ms. Weil. NRC POC: Sophie Holiday 7/16/2018 ACMUI Action Closed 11 The ACMUI endorsed the report of the Subcommittee on the Nursing Mother Guidelines for the Medical Administration of Radioactive Materials with added language that this document reflects the FDA approved radiopharmaceuticals on the market at this time and that licensees are obligated to carefully evaluate radiopharmaceuticals that are not encompassed in this report to keep exposures ALARA to patients, staff, and members of the public. The recommendation passed unanimously.
9/20/2018 ACMUI Action Open 2


2018 ACMUI RECOMMENDATIONS AND ACTION ITEMS The ACMUI endorsed the Leksell Gamma Knife PerfexionTM and Leksell Gamma Knife IconTM Licensing Guidance                       ACMUI 12                                                                9/20/2018            Closed Subcommittee Report. The recommendation passed                             Action unanimously.
2018 ACMUI RECOMMENDATIONS AND ACTION ITEMS 12 The ACMUI endorsed the Leksell Gamma Knife PerfexionTM and Leksell Gamma Knife IconTM Licensing Guidance Subcommittee Report. The recommendation passed unanimously.
The NRC staff will provide the Committee with a copy of the Briefing on Results of the Agency Action Review Meeting presentation slides on Yttrium-90 microspheres; SECY   0048, Annual Report to the Commission on Licensee Performance in the Nuclear Materials and Waste Safety 13                                                                9/21/2018 NRC Action Closed Program Fiscal Year 2017, which includes a discussion on medical events involving Yttrium-90 microsphere brachytherapy; and the Strategic Programmatic Overview of the Fuel Facilities and Nuclear Materials Users Business Lines Commission meeting slides related to Yttrium-90.
9/20/2018 ACMUI Action Closed 13 The NRC staff will provide the Committee with a copy of the Briefing on Results of the Agency Action Review Meeting presentation slides on Yttrium-90 microspheres; SECY 0048, Annual Report to the Commission on Licensee Performance in the Nuclear Materials and Waste Safety Program Fiscal Year 2017, which includes a discussion on medical events involving Yttrium-90 microsphere brachytherapy; and the Strategic Programmatic Overview of the Fuel Facilities and Nuclear Materials Users Business Lines Commission meeting slides related to Yttrium-90.
Dr. Palestro amended the membership of the Training and Experience for All Modalities Subcommittee. Subcommittee ACMUI 14 membership now includes Dr. Metter (chair), Dr. Ennis, Dr. 9/20/2018            Open Action Schleipman, Ms. Weil, Ms. Shober, and Mr. Sheetz. The NRC staff resource continues to be Ms. Maryann Ayoade.
9/21/2018 NRC Action Closed 14 Dr. Palestro amended the membership of the Training and Experience for All Modalities Subcommittee. Subcommittee membership now includes Dr. Metter (chair), Dr. Ennis, Dr.
3
Schleipman, Ms. Weil, Ms. Shober, and Mr. Sheetz. The NRC staff resource continues to be Ms. Maryann Ayoade.
9/20/2018 ACMUI Action Open 3


2018 ACMUI RECOMMENDATIONS AND ACTION ITEMS Dr. Palestro formed a subcommittee to review the Germanium-68/Gallium-68 Pharmacy Grade Generator Licensing Guidance.
2018 ACMUI RECOMMENDATIONS AND ACTION ITEMS 15 Dr. Palestro formed a subcommittee to review the Germanium-68/Gallium-68 Pharmacy Grade Generator Licensing Guidance.
ACMUI 15 Subcommittee membership includes Ms. Shober (chair), Dr.         9/21/2018        Open Action Metter, Mr. Sheetz, and Ms. Martin. The NRC staff resource is Dr. Said Daibes.
Subcommittee membership includes Ms. Shober (chair), Dr.
Dr. Palestro formed a subcommittee to review the revisions to Regulatory Guide 8.39, Release of Patients Administered Radioactive Material. Subcommittee membership includes Mr.               ACMUI 16                                                                  9/21/2018        Open Sheetz (chair), Ms. Shober, Dr. Dilsizian, Dr. Schleipman, Ms.             Action Martin, and Ms. Weil. The NRC staff resource is Dr. Said Daibes.
Metter, Mr. Sheetz, and Ms. Martin. The NRC staff resource is Dr. Said Daibes.
Dr. Palestro formed a subcommittee to review the Yttrium-90 Microspheres Brachytherapy Sources and Devices TheraSphere and SIR_Spheres Licensing Guidance.                         ACMUI 17                                                                  9/21/2018        Open Subcommittee membership includes Dr. OHara (chair), Dr.                   Action Dilsizian, Mr. Ouhib, Ms. Marin, Dr. Metter, and Dr. Schleipman.
9/21/2018 ACMUI Action Open 16 Dr. Palestro formed a subcommittee to review the revisions to Regulatory Guide 8.39, Release of Patients Administered Radioactive Material. Subcommittee membership includes Mr.
Sheetz (chair), Ms. Shober, Dr. Dilsizian, Dr. Schleipman, Ms.
Martin, and Ms. Weil. The NRC staff resource is Dr. Said Daibes.
9/21/2018 ACMUI Action Open 17 Dr. Palestro formed a subcommittee to review the Yttrium-90 Microspheres Brachytherapy Sources and Devices TheraSphere and SIR_Spheres Licensing Guidance.
Subcommittee membership includes Dr. OHara (chair), Dr.
Dilsizian, Mr. Ouhib, Ms. Marin, Dr. Metter, and Dr. Schleipman.
The NRC staff resource is Dr. Katie Tapp.
The NRC staff resource is Dr. Katie Tapp.
Dr. Palestro formed a subcommittee to review and update the ACMUI Bylaws as needed, including a review of the role of the ACMUI Chair and his or her participation on subcommittees.                 ACMUI 18                                                                  9/21/2018        Open Subcommittee membership includes Ms. Weil (chair), Dr.                     Action Schleipman, Ms. Shober, and Mr. Sheetz. The NRC staff resource is Ms. Sophie Holiday.
9/21/2018 ACMUI Action Open 18 Dr. Palestro formed a subcommittee to review and update the ACMUI Bylaws as needed, including a review of the role of the ACMUI Chair and his or her participation on subcommittees.
4
Subcommittee membership includes Ms. Weil (chair), Dr.
Schleipman, Ms. Shober, and Mr. Sheetz. The NRC staff resource is Ms. Sophie Holiday.
9/21/2018 ACMUI Action Open 4


2018 ACMUI RECOMMENDATIONS AND ACTION ITEMS Dr. Palestro formed a subcommittee to review the appropriateness of the required elements of medical event reporting, the adherence to these requirements, and ACMUI 19 recommend actions to improve reporting. Subcommittee             9/20/2018            Open Action membership includes Dr. Ennis (chair), Ms. Weil, Ms. Martin, Mr. Ouhib, Dr. Dilsizian, and Ms. Shober. The NRC staff resource is Ms. Lisa Dimmick The Committee recommended for the NRC to draft an 20 Information Notice on the best practices that could help prevent 9/21/2018 NRC Action Open medical events.
2018 ACMUI RECOMMENDATIONS AND ACTION ITEMS 19 Dr. Palestro formed a subcommittee to review the appropriateness of the required elements of medical event reporting, the adherence to these requirements, and recommend actions to improve reporting. Subcommittee membership includes Dr. Ennis (chair), Ms. Weil, Ms. Martin, Mr. Ouhib, Dr. Dilsizian, and Ms. Shober. The NRC staff resource is Ms. Lisa Dimmick 9/20/2018 ACMUI Action Open 20 The Committee recommended for the NRC to draft an Information Notice on the best practices that could help prevent medical events.
The Committee requested a list of all the current ACMUI members, their contact information, information regarding each members term, and the subcommittee(s) they serve on. The Committee also requested that the NRC staff create a web 21                                                                    9/21/18  NRC Action Closed page that lists the active subcommittees and subcommittees that have been sunset, their members with term expiration, NRC staff resource, and the specific charge of the subcommittee.
9/21/2018 NRC Action Open 21 The Committee requested a list of all the current ACMUI members, their contact information, information regarding each members term, and the subcommittee(s) they serve on. The Committee also requested that the NRC staff create a web page that lists the active subcommittees and subcommittees that have been sunset, their members with term expiration, NRC staff resource, and the specific charge of the subcommittee.
The Committee tentatively scheduled the spring 2019 meeting ACMUI 22 for April 15-16, 2019. The alternate meeting dates are April 3-4, 9/21/18            Closed Action 2019, subject to Commission availability.
9/21/18 NRC Action Closed 22 The Committee tentatively scheduled the spring 2019 meeting for April 15-16, 2019. The alternate meeting dates are April 3-4, 2019, subject to Commission availability.
5
9/21/18 ACMUI Action Closed 5


2019 ACMUI RECOMMENDATIONS AND ACTION ITEMS ITEM                             DATE         STATUS The ACMUI recommended adding language into the draft Training and Experience Requirements for All Modalities ACMUI 1 Subcommittee report regarding the Committee's desire to work 2/26/2019            Open Action with the NRC staff to develop a curriculum for limited-scope authorized user pathway.
2019 ACMUI RECOMMENDATIONS AND ACTION ITEMS ITEM DATE 1
The ACMUI endorsed the Training and Experience ACMUI 2 Requirements for All Modalities Subcommittee Report, and the 2/26/2019           Open Action recommendations included therein.
The ACMUI recommended adding language into the draft Training and Experience Requirements for All Modalities Subcommittee report regarding the Committee's desire to work with the NRC staff to develop a curriculum for limited-scope authorized user pathway.
1
2/26/2019 ACMUI Action Open 2
The ACMUI endorsed the Training and Experience Requirements for All Modalities Subcommittee Report, and the recommendations included therein.
2/26/2019 ACMUI Action Open STATUS 1


Open Forum NO HANDOUT
Open Forum NO HANDOUT  


Sub-Committee Members
1 ACMUI Sub-committee on the Draft Y-90 Microspheres Brachytherapy Licensing Guidance, Rev. 10 Michael OHara, Ph.D.
ACMUI FDA Representative April 3, 2019 Sub-Committee Members
* Vasken Dilsizian, M.D.
* Vasken Dilsizian, M.D.
ACMUI Sub-committee on the Draft
* Melissa Martin, M.S.
* Melissa Martin, M.S.
Y-90 Microspheres Brachytherapy
* Darlene Metter, M.D.
* Darlene Metter, M.D.
Licensing Guidance, Rev. 10
* Michael OHara, Ph.D. (Chair)
* Michael OHara, Ph.D. (Chair)
* Zoubir Ouhib, M.S.
* Zoubir Ouhib, M.S.
Michael OHara, Ph.D.
* Robert Schleipman, Ph.D.
* Robert Schleipman, Ph.D.
ACMUI FDA Representative April 3, 2019            NRC Resource: Katie Tapp, Ph.D.
NRC Resource: Katie Tapp, Ph.D.
Background                                 Background
 
* Manual intra-arterial brachytherapy
===Background===
* The licensing guidance was published in 2002 implants with unique properties for    and revised in 2004, 2007, 2008, 2011 and 2016.
* Manual intra-arterial brachytherapy implants with unique properties for 1°and 2°hepatic malignancies
1°and 2°hepatic malignancies
* Regulated under 10 CFR 35.1000 Other Medical Uses of Byproduct Material or Radiation from Byproduct Material
 
===Background===
* The licensing guidance was published in 2002 and revised in 2004, 2007, 2008, 2011 and 2016.
* In Oct. 2016, the ACMUI provided comments on the initial draft Rev. 10 of the licensing guidance. Specific topics addressed included:
* In Oct. 2016, the ACMUI provided comments on the initial draft Rev. 10 of the licensing guidance. Specific topics addressed included:
* Regulated under 10 CFR 35.1000 Other    1. Consider the elimination of Pathway 2 Medical Uses of Byproduct Material or      (manufacturer AU training)
: 1. Consider the elimination of Pathway 2 (manufacturer AU training)
Radiation from Byproduct Material      2. Update the waste and disposal section
: 2. Update the waste and disposal section
: 3. Review Y-90 radiation safety issues in autopsy and cremation 1
: 3. Review Y-90 radiation safety issues in autopsy and cremation


Background                                           Background
===2 Background===
* In Nov. 2017, the NRC published the draft Rev.
* In Nov. 2017, the NRC published the draft Rev.
* The NRC/Agreement State WG updated the draft 10 of the licensing guidance in the FR for public   Revision 10 licensing guidance to include the comment. The comment period ended in Jan.           criteria for T&E and medical event reporting, 2018.                                                inventory requirement specifications, and waste
10 of the licensing guidance in the FR for public comment. The comment period ended in Jan.
* In July 2018, the final Part 35 rule, Medical Use  disposal issues and aligned the guidance with of Byproduct MaterialsMedical Event                the Part 35 rule.
2018.
Definitions, Training and Experience, and
* In July 2018, the final Part 35 rule, Medical Use of Byproduct MaterialsMedical Event Definitions, Training and Experience, and Clarifying Amendments, was issued. The rule went into effect Jan. 14, 2019 for NRC licensees.
* After addressing public comments, the 2016 Clarifying Amendments, was issued. The rule        ACMUI comments, and the rule changes, the went into effect Jan. 14, 2019 for NRC              WG provided the Subcommittee with a revised licensees.                                          draft guidance for its review and comment.
 
Subcommittee Charge                               Comments on the Licensing Guidance
===Background===
* The Subcommittee believes this is a well To review the staffs draft Revision 10 of the        written and documented licensing guidance Yttrium-90 Microsphere Brachytherapy              document.
* The NRC/Agreement State WG updated the draft Revision 10 licensing guidance to include the criteria for T&E and medical event reporting, inventory requirement specifications, and waste disposal issues and aligned the guidance with the Part 35 rule.
Sources and Devices TheraSpheres and Sir-
* After addressing public comments, the 2016 ACMUI comments, and the rule changes, the WG provided the Subcommittee with a revised draft guidance for its review and comment.
* Subcommittee endorses the draft Revision 10 Spheres Licensing Guidance and provide any            of the licensing guidance, subject to the comments or recommendations for                  following specific changes change/acceptance of the guidance.
Subcommittee Charge To review the staffs draft Revision 10 of the Yttrium-90 Microsphere Brachytherapy Sources and Devices TheraSpheres and Sir-Spheres Licensing Guidance and provide any comments or recommendations for change/acceptance of the guidance.
2
Comments on the Licensing Guidance
* The Subcommittee believes this is a well written and documented licensing guidance document.
* Subcommittee endorses the draft Revision 10 of the licensing guidance, subject to the following specific changes


Specific Comments on the                               Specific Comments on the Licensing Guidance                                    Licensing Guidance
3 Specific Comments on the Licensing Guidance
* Defining manufacturers representative
* Defining manufacturers representative
* Delineating the site to be treated more
* Keeping three hands-on cases for each type of microsphere delivery device. The Y-90 spheres are slightly different (glass or polymeric) and the delivery systems of the two devices have different characteristics
* Keeping three hands-on cases for each type             specifically (left hepatic lobe, right hepatic of microsphere delivery device. The Y-90               lobe) spheres are slightly different (glass or
* RSO familiarity required with all devices used at the facility
* Adding activity, date of administration and polymeric) and the delivery systems of the             route of administration two devices have different characteristics
* Evaluation of a possible ME for unexpected dose or activity to an organ or tissue other than the treatment site that is caused by catheter placement Specific Comments on the Licensing Guidance
* Question whether intervention should be
* Delineating the site to be treated more specifically (left hepatic lobe, right hepatic lobe)
* RSO familiarity required with all devices used         defined in the licensing guidance document at the facility
* Adding activity, date of administration and route of administration
* Explicit labeling to include patient name,
* Question whether intervention should be defined in the licensing guidance document
* Evaluation of a possible ME for unexpected             dose, date and treatment site, if feasible dose or activity to an organ or tissue other than the treatment site that is caused by catheter placement Acronyms ACMUI       Advisory Committee on the Medical Uses of Isotopes AU         Authorized user CFR         Code of Federal Regulations FR         Federal Register ME         Medical Event NRC         U.S. Nuclear Regulatory Commission RSO         Radiation Safety Officer T&E         Training and experience WG         Working Group Y-90       Yttrium-90 11 3
* Explicit labeling to include patient name, dose, date and treatment site, if feasible Acronyms 11 ACMUI Advisory Committee on the Medical Uses of Isotopes AU Authorized user CFR Code of Federal Regulations FR Federal Register ME Medical Event NRC U.S. Nuclear Regulatory Commission RSO Radiation Safety Officer T&E Training and experience WG Working Group Y-90 Yttrium-90


U.S. Nuclear Regulatory Commission (NRC)
U.S. Nuclear Regulatory Commission (NRC)
Advisory Committee on the Medical Use of Isotopes (ACMUI)
Advisory Committee on the Medical Use of Isotopes (ACMUI)
Subcommittee on Yttrium-90 Microsphere Brachytherapy Sources and Devices TheraSphere and Sir-Spheres Licensing Guidance, Revision 10 Draft Report Submitted on: March 11, 2019 Subcommittee Charge The Subcommittees charge was to review the staffs draft Revision 10 of the Yttrium-90 Microsphere Brachytherapy Sources and Devices TheraSphere and Sir-Spheres Licensing Guidance and provide any comments or recommendations for change/acceptance of the guidance.
Subcommittee on Yttrium-90 Microsphere Brachytherapy Sources and Devices TheraSphere and Sir-Spheres Licensing Guidance, Revision 10 Draft Report Submitted on: March 11, 2019 Subcommittee Charge The Subcommittees charge was to review the staffs draft Revision 10 of the Yttrium-90 Microsphere Brachytherapy Sources and Devices TheraSphere and Sir-Spheres Licensing Guidance and provide any comments or recommendations for change/acceptance of the guidance.
Subcommittee Members Dr. Vasken Dilsizan                             Mr. Zoubir Ouhib Ms. Melissa Martin                             Dr. Robert Schleipman Dr. Darlene Metter                             Dr. Michael OHara (Chair)
Subcommittee Members Dr. Vasken Dilsizan Mr. Zoubir Ouhib Ms. Melissa Martin Dr. Robert Schleipman Dr. Darlene Metter Dr. Michael OHara (Chair)
NRC Staff Resource: Dr. Katie Tapp Introduction Yttrium-90, a pure beta emitter, decays to stable zirconium-90 with a physical half-life of 64.1 hours (2.67 days). The average energy of the beta emissions from yttrium-90 is 0.9367 MeV with an average penetration range of 2.5 mm and a maximum range of 11 mm in tissue. Following delivery of the yttrium-90 microspheres in tumorous liver tissue, the microspheres provide an embolic effect and the beta radiation emitted provides a therapeutic effect. The microspheres are delivered into the liver tumor through a catheter placed into the hepatic artery that supplies blood to the tumor. The microspheres, being unable to pass through the vasculature of the liver due to arteriolar capillary blockade, are trapped in the tumor and exert a local radiotherapeutic effect with some concurrent damage to surrounding normal liver tissue. There are currently two Y-90 based microsphere devices that have been reviewed by the FDA. They differ slightly in composition of the spheres and in the patient population for which they are approved.
NRC Staff Resource: Dr. Katie Tapp Introduction Yttrium-90, a pure beta emitter, decays to stable zirconium-90 with a physical half-life of 64.1 hours (2.67 days). The average energy of the beta emissions from yttrium-90 is 0.9367 MeV with an average penetration range of 2.5 mm and a maximum range of 11 mm in tissue. Following delivery of the yttrium-90 microspheres in tumorous liver tissue, the microspheres provide an embolic effect and the beta radiation emitted provides a therapeutic effect. The microspheres are delivered into the liver tumor through a catheter placed into the hepatic artery that supplies blood to the tumor. The microspheres, being unable to pass through the vasculature of the liver due to arteriolar capillary blockade, are trapped in the tumor and exert a local radiotherapeutic effect with some concurrent damage to surrounding normal liver tissue. There are currently two Y-90 based microsphere devices that have been reviewed by the FDA. They differ slightly in composition of the spheres and in the patient population for which they are approved.
TheraSphere consists of insoluble glass microspheres where yttrium-90 is an integral constituent of the glass. A preassembled single use TheraSphere Administration Set is provided for each dose. Also provided are re-usable accessories including an acrylic box base, top shield, removable side shield, bag hook and a RADOS RAD-60R radiation dosimeter (or equivalent). TheraSphere is an approved HDE device indicated for use in radiation treatment
TheraSphere consists of insoluble glass microspheres where yttrium-90 is an integral constituent of the glass. A preassembled single use TheraSphere Administration Set is provided for each dose. Also provided are re-usable accessories including an acrylic box base, top shield, removable side shield, bag hook and a RADOS RAD-60R radiation dosimeter (or equivalent). TheraSphere is an approved HDE device indicated for use in radiation treatment  


or as neoadjuvant to surgery or transplantation in patients with unresectable hepatocellular carcinoma (HCC) who can have placement of appropriately positioned hepatic arterial catheters.
or as neoadjuvant to surgery or transplantation in patients with unresectable hepatocellular carcinoma (HCC) who can have placement of appropriately positioned hepatic arterial catheters.
SIR-Spheres microspheres consist of biocompatible resin microspheres containing yttrium-90 with a size between 20 and 60 microns in diameter. The administration set includes a delivery box (an acrylic box base), delivery set (including all the catheters and connectors), and a V-vial (including the shielding). Sir-sphere are an approved PMA device for the treatment of unresectable metastatic liver tumors from primary colorectal cancer with adjuvant intrahepatic artery chemotherapy (IHAC) of FUDR (Floxuridine).
SIR-Spheres microspheres consist of biocompatible resin microspheres containing yttrium-90 with a size between 20 and 60 microns in diameter. The administration set includes a delivery box (an acrylic box base), delivery set (including all the catheters and connectors), and a V-vial (including the shielding). Sir-sphere are an approved PMA device for the treatment of unresectable metastatic liver tumors from primary colorectal cancer with adjuvant intrahepatic artery chemotherapy (IHAC) of FUDR (Floxuridine).  


===Background===
===Background===
Line 189: Line 232:
Specific Changes to the Guidance Considered by the Subcommittee and its Recommendations Page 8, section iii, line 3: The current section readsto support training provided by a Y-90 microsphere manufacturer representative involving: We suggest defining what manufacturers representative means. This will help to ensure the manufacturers trainer has the proper experience.
Specific Changes to the Guidance Considered by the Subcommittee and its Recommendations Page 8, section iii, line 3: The current section readsto support training provided by a Y-90 microsphere manufacturer representative involving: We suggest defining what manufacturers representative means. This will help to ensure the manufacturers trainer has the proper experience.
Page 9, section B, paragraph 2, line 2: This section currently reads unsupervised use should include at least 3 hands-on patient cases for each type of Y-90 microsphere requested. We suggest keeping three hands on cases for each type of microsphere delivery device. The Y-90 spheres are slightly different (glass or polymeric) and the delivery systems of the two devices have different characteristics. This will ensure that the user has documented experience with both device types.
Page 9, section B, paragraph 2, line 2: This section currently reads unsupervised use should include at least 3 hands-on patient cases for each type of Y-90 microsphere requested. We suggest keeping three hands on cases for each type of microsphere delivery device. The Y-90 spheres are slightly different (glass or polymeric) and the delivery systems of the two devices have different characteristics. This will ensure that the user has documented experience with both device types.
Page 11, section 4.2, line 4: The current sentence reads, An RSO already listed on a license that includes one type of microsphere device does not require additional approval for the other type of microsphere device We suggest adding to the end of the sentence, but should be familiar with all devices used at the facility.
Page 11, section 4.2, line 4: The current sentence reads, An RSO already listed on a license that includes one type of microsphere device does not require additional approval for the other type of microsphere device We suggest adding to the end of the sentence, but should be familiar with all devices used at the facility.  


Page 13, section 5.1, paragraph 1, last sentence: The current sentence reads, Unexpected dose or activity to an organ or tissue other than the treatment site that is caused by catheter placement during delivery of the y-90 microspheres is not considered shunting. We suggest adding and should be evaluated as a possible medical event to the end of the sentence.
Page 13, section 5.1, paragraph 1, last sentence: The current sentence reads, Unexpected dose or activity to an organ or tissue other than the treatment site that is caused by catheter placement during delivery of the y-90 microspheres is not considered shunting. We suggest adding and should be evaluated as a possible medical event to the end of the sentence.
Page 14, section 5.2, paragraph 3, line 2: The current sentence reads, the treatment site, the radionuclide (including the physical form (Y-90 microspheres)); the model of spheres e.g.
Page 14, section 5.2, paragraph 3, line 2: The current sentence reads, the treatment site, the radionuclide (including the physical form (Y-90 microspheres)); the model of spheres e.g.
TheraSpheres or Sir-Spheres) or manufacturer, the prescribed dose or activity, and if appropriate for the type of microsphere used, the statement or dose or activity delivered at stasis. We suggest describing the site to be treated more specifically (left lobe, right lobe)
TheraSpheres or Sir-Spheres) or manufacturer, the prescribed dose or activity, and if appropriate for the type of microsphere used, the statement or dose or activity delivered at stasis. We suggest describing the site to be treated more specifically (left lobe, right lobe)
Line 200: Line 243:
Page 16, section 5.6, paragraph 2, line 2: The current sentence reads label syringes and syringe radiation shields with the radioactive drug. We believe the label should be explicit and include patient name, dose and date, and treatment site, if feasible.
Page 16, section 5.6, paragraph 2, line 2: The current sentence reads label syringes and syringe radiation shields with the radioactive drug. We believe the label should be explicit and include patient name, dose and date, and treatment site, if feasible.
Other Recommendations There are no other recommendations from the subcommittee.
Other Recommendations There are no other recommendations from the subcommittee.
Respectfully Submitted, Subcommittee on Yttrium-90 Microsphere Brachytherapy Sources and Devices TheraSphere and Sir-Spheres Licensing Guidance, Revision 10 Advisory Committee on the Medical Use of Isotopes Nuclear Regulatory Commission
Respectfully Submitted, Subcommittee on Yttrium-90 Microsphere Brachytherapy Sources and Devices TheraSphere and Sir-Spheres Licensing Guidance, Revision 10 Advisory Committee on the Medical Use of Isotopes Nuclear Regulatory Commission  


Infiltration Agenda
1 NuclearMedicineInjection Infiltrations RonLattanze,Lucerno Dynamics ACMUIMeeting April3,2019 InfiltrationAgenda
* Presentation - Ron Lattanze
* Presentation-RonLattanze
                                                  - Overview Nuclear Medicine Injection
- Overview
                                                  - Incidence Infiltrations                  - Patient implication/impact Ron Lattanze, Lucerno Dynamics        - Solution ACMUI Meeting                  - Request NRC and ACMUI reconsider a 1980 April 3, 2019                  decision regarding infiltrations
- Incidence
* Q&A - Ron Lattanze, Dr. David Townsend, and Dr. Daniel Sullivan Overview                             Overview - NRC and ACMUI Infiltration Position
- Patientimplication/impact
* Bolus injection quality critical
- Solution
* 1980 - Misadministration Reporting
- RequestNRCandACMUIreconsidera1980 decisionregardinginfiltrations
* Infiltration definition and effects            Requirements Final Rule
* Q&A-RonLattanze,Dr.DavidTownsend,and Dr.DanielSullivan Overview
                                                  - infiltrations are virtually impossible to avoid
* Bolusinjectionqualitycritical
* Quality Control (QC) for injected dose, but not the dose delivered into circulation
* Infiltrationdefinitionandeffects
* 2002 - Misadministration replaced by Medical Event
* QualityControl(QC)forinjecteddose,but notthedosedeliveredintocirculation Overview-NRCandACMUI InfiltrationPosition
* 2008 - Boston VA reports an infiltration as a Medical Event 1
* 1980 - MisadministrationReporting RequirementsFinalRule
* 2008 - BostonVAreportsaninfiltrationasa MedicalEvent
* 2002 - Misadministrationreplacedby MedicalEvent
- infiltrationsarevirtuallyimpossibletoavoid


Nuclear Medicine Infiltration Rates Are High                                          Infiltrations Can Matter Patient 11490 MTV Missed MetastaticSUV                        Lesion
2 NuclearMedicineInfiltrationRatesAreHigh
* 200617 Published data:                                                                                                 Change Routine Imaging Field of View    50+ references support
* 2017AlbertaQI,9 centers:
      - 15.2% (3% 23%)                                                                                   SUV MTV          Day 1 Day 5 Understated  Understated how diagnostic
- 15.0%(0% 28%)
* 2017 Alberta QI, 9                                                  radiopharmaceutical             Lesion 1 5.27 7.43      10.49 11.34              50%
- 20.0%(8% 44%)
34%
RoutineImagingFieldofView
centers:                                                            infiltrations can harm or      Lesion 2 3.97  5.57        5.94 10.66               33%
* 200617Publisheddata:
48%
- 15.2%(3% 23%)
      - 15.0% (0% 28%)                                                have harmed patients            Lesion 3 27.77 7.17      11.46 41.07              37%
* 2018LaraQI,7centers:
- 6.2%(2% 16%)
Lesionquantificationis understated,butnooneknows wheninfiltrationisoutsidethe imagingFOV InfiltrationsCanMatter 50+referencessupport howdiagnostic radiopharmaceutical infiltrationscanharmor haveharmedpatients Day1Day3 MissedMetastaticLesion SUV Day1 Day5 Understated Lesion1 5.27 10.49 50%
Lesion2 3.97 5.94 33%
Lesion3 7.17 11.46 37%
Lesion4 2.62 5.73 54%
AdverselyAffectsAssessment ScanConclusions Patient11490SUV Change AdverselyAffectsTreatment Planning MTV Day1 Day5 Understated Lesion1 7.43 11.34 34%
Lesion2 5.57 10.66 48%
Lesion3 27.77 41.07 32%
Lesion4 0.88 2.93 70%
Patient11490MTV Change 6
~50%ofinjectionsites areoutsideimageFOV InfiltrationsCanExceedReportingLimits
* ReportingLimit- 0.5Sievert(Sv)effective doseequivalenttothetissue Time between injectionand imaging Estimated infiltration activityattime ofimaging Estimatedeffectivedose equivalenttothetissue frominjectionto reabsorptiontime A
57mins 4.55mCi 11.5Sv (~23xlimit)
Time between injectionand imaging Estimated infiltration activityattime ofimaging Estimatedeffectivedose equivalenttothetissue frominjectionto reabsorptiontime A
57mins 4.55mCi 11.5Sv (~23xlimit)
B 107mins 0.11mCi 2.26Sv (~4.5xlimit)
InfiltrationsAreAvoidable
* 2017Chemotherapyrates- 0.18%
Timeactivitycurveisindicativeofan idealinjection,beforeimaging.Bolus passesinjectionarmsensorand countsdroptoreferencearmlevels within30seconds.
TACisindicativeofalargeinfiltration.
Injectionsensorcountsremainhighduring uptakeperiod.
* Monitoringnuclearmedicineinjectionquality canleadtosignificantandquickimprovement
* 2016ContrastCTrates- 0.24%
Site Measure PhaseRate Standard Error Improve PhaseRate Standard Error Change A
13.3%
2.1%
2.9%
1.0%
78%
B 15.7%
4.0%
6.0%
2.6%
62%
C 12.8%
1.5%
8.7%
1.3%
32%
32%
      - 20.0% (8%  44%)                                                                                Lesion 4      2.62 0.88        5.73 2.93                54%
D 2.1%
70%
0.6%
Lesion quantification is
1.9%
* 2018 Lara QI, 7 centers:          understated, but no one knows        ~50% of injection sites        Adversely AdverselyAffects Day 1 AffectsAssessment        Treatment Day 3 when infiltration is outside the    are outside image FOV                    ScanPlanning Conclusions
0.6%
      - 6.2% (2%  16%)                          imaging FOV 6
10%
Infiltrations Can Exceed Reporting Limits                                          Infiltrations Are Avoidable
* 2017 Chemotherapy rates - 0.18%
* Reporting Limit - 0.5 Sievert (Sv) effective dose equivalent to the tissue
* 2016 Contrast CT rates - 0.24%
Time        Estimated    Estimated effective dose
* Monitoring nuclear medicine injection quality between      infiltration  equivalent to the tissue              can lead to significant and quick improvement injection and activity at time    from injection to imaging      of imaging        reabsorption time                  Site Measure  Standard  Improve            Standard Change Phase Rate  Error  Phase  Rate Timeactivity    Erroris indicative of an curve A      57 mins        4.55 mCi        11.5 Sv (~23x limit)                                                ideal injection, 1.0%
before imaging. Bolus A        13.3%      2.1%      2.9%                                      78%
B    107 mins        0.11 mCi        2.26 Sv (~4.5x limit)                B        15.7%      4.0%      TACpasses 6.0%
injection is indicative  of aarm largesensor  and infiltration.
counts Injection  sensor  to2.6%
dropcountsreference remainarm 62%
highlevels during C        12.8%      1.5%      8.7%        within uptake 30period.
1.3% seconds.        32%
D        2.1%      0.6%      1.9%                0.6%                  10%
2


Identifying, Reporting, and Reducing                      Request Infiltrations
3 Identifying,Reporting,andReducing Infiltrations Consistentwiththegoalsof:
* Nuclear medicine infiltrations are avoidable Consistent with the goals of:
- NRC
* Some infiltrations can negatively affect
- NuclearMedicineSocieties
  - NRC                                   patients
- Technologists
  - Nuclear Medicine Societies
- Physicians
* Some infiltrations exceed reporting limits
- Patients Request
  - Technologists Requesting the NRC and ACMUI to reconsider
* Nuclearmedicineinfiltrationsareavoidable
  - Physicians the 1980 infiltration decision and, moving
* Someinfiltrationscannegativelyaffect patients
  - Patients forward, require reporting of infiltrations that meet Subpart M criteria.
* Someinfiltrationsexceedreportinglimits RequestingtheNRCandACMUItoreconsider the1980infiltrationdecisionand,moving forward,requirereportingofinfiltrationsthat meetSubpartMcriteria.
Acronyms
DiscussionandQ&A Acronyms
* QI - Quality Improvement
* QI-QualityImprovement
* SUV - Standardized Uptake Value
* SUV-StandardizedUptakeValue
* MTV - Metabolic Tumor Value Discussion and Q&A
* MTV-MetabolicTumorValue
* FOV - Field of View
* FOV-FieldofView
* mCi - Millicurie
* mCi-Millicurie
* CT - Computed Tomography
* CT-ComputedTomography
* TAC - Timeactivity Curve 3
* TAC-TimeactivityCurve


Objective 10 CFR Parts 30, 32, and 35
1 10 CFR Parts 30, 32, and 35 FINAL RULE CHANGES Lisa Dimmick, Team Leader Medical Radiation Safety Team April 3, 2019 Objective
* Present a summary of rule changes FINAL RULE CHANGES                   that became effective January 14, 2019 Lisa Dimmick, Team Leader Medical Radiation Safety Team April 3, 2019 Major Changes                             General Topics
* Present a summary of rule changes that became effective January 14, 2019 Major Changes
* Permanent implant brachytherapy medical
* Permanent implant brachytherapy medical event reporting & notification
* Name Associate Radiation Safety Officers on a medical license
* Training & Experience (T&E) generic changes for all individuals
* Molybdenum (Mo) breakthrough measurement frequency and reporting of failed generators General Topics
* Diagnostic Medical Uses
* 10 CFR 35.300 Radiopharma-ceuticals
* Sealed Source &
Device Registry
* Vendor Training
* Gamma Knife Source Exchange
* Generators
* Generators
* Diagnostic event reporting & notification
* Associate RSO &
* Associate RSO &       Medical Uses Ophthalmic
Ophthalmic Physicist
* 10 CFR 35.300
* Emerging Technologies
* Name Associate Radiation Safety Officers on a medical license Physicist             Radiopharma-
* Notification
* Emerging             ceuticals
* Manual Brachytherapy
* Training & Experience (T&E) generic        Technologies
* Training &
* Sealed Source &
Experience
changes for all individuals
* Notification         Device Registry
* Molybdenum (Mo) breakthrough
* Manual
* Vendor Training measurement frequency and reporting of    Brachytherapy
* Gamma Knife failed generators
* Training &           Source Exchange Experience 1


Generators: 35.204 & 35.3204                 Associate RSO (ARSO) and Ophthalmic Physicist: 35.2 & 35.24
2 Generators: 35.204 & 35.3204
* Breakthrough has to be measured for each elution of Mo-99/Tc-99m
* Breakthrough has to be measured for each elution of Mo-99/Tc-99m generator
* Associate Radiation Safety Officer generator                                       Ophthalmic physicist - defined
* Breakthrough in excess of regulatory limits need to be reported to NRC and the generator distributor
* Revised the Preceptor definition - add
* Information that has to be reported and reporting timeframe is provided Associate RSO (ARSO) and Ophthalmic Physicist: 35.2 & 35.24 Associate Radiation Safety Officer Ophthalmic physicist - defined Revised the Preceptor definition - add ARSO
* Breakthrough in excess of regulatory ARSO limits need to be reported to NRC and the generator distributor
* Introduced provisions to appoint an ARSO
* Introduced provisions to appoint an ARSO
* Information that has to be reported
* Clarified requirements for licensee, RSO, and ARSO Associate RSO: 35.50
* Clarified requirements for licensee, RSO, and reporting timeframe is provided and ARSO Associate RSO: 35.50                     Ophthalmic Physicist: 35.433
* Added ARSO
* Added ARSO
* Added ophthalmic physicist to individuals
* Permit ARSO to provide written attestation
* Permit ARSO to provide written                 who are required to perform certain task attestation
* Permit new AU to be RSO on new license
* Clarified the training needed to be an
* Permit authorized individuals (AU, AMP, ANP) to use authorized status be RSO on a different license for same uses for which the individual is authorized Ophthalmic Physicist: 35.433
* Permit new AU to be RSO on new license         ophthalmic physicist
* Added ophthalmic physicist to individuals who are required to perform certain task
* Permit authorized individuals (AU, AMP,
* Clarified the training needed to be an ophthalmic physicist
* Clarified expected duties of AMP and ANP) to use authorized status be RSO on       ophthalmic physicist for Strontium-90 a different license for same uses for which   sources used for ophthalmic the individual is authorized 2
* Clarified expected duties of AMP and ophthalmic physicist for Strontium-90 sources used for ophthalmic


Emerging Technologies: 35.12           Notification: 35.13, 35.14, & 35.15
3 Emerging Technologies: 35.12
* Clarified information required for 10 CFR
* Clarified information required for 10 CFR 35.1000 medical uses application
* Added notification/termination provision 35.1000 medical uses application           for the ophthalmic physicist
* Additional aspects needed for radiation safety not in or different from requirements in the regulations
* Additional aspects needed for radiation safety not in or different from
* Identification and commitment to meet appropriate existing requirements.
* Added amendment requirement before requirements in the regulations          an individual works as an ARSO or before
Notification: 35.13, 35.14, & 35.15
* Identification and commitment to meet    the RSO can assign duties and tasks to an appropriate existing requirements.      ARSO beyond the current authorization Notification: 35.13, 35.14, & 35.15         Manual Brachytherapy: 35.40
* Added notification/termination provision for the ophthalmic physicist
* Added notification provision for certain
* Added amendment requirement before an individual works as an ARSO or before the RSO can assign duties and tasks to an ARSO beyond the current authorization Notification: 35.13, 35.14, & 35.15
* Clarified permanent implant manual brachytherapy sources              brachytherapy written directive (WD)
* Added notification provision for certain manual brachytherapy sources
* Removed notification attestation            components:
* Removed notification attestation statement
statement                                  - Still includes AU signature and dating
* Exempted Type A broad scope licensees from needing to notify NRC when permitting an ophthalmic physicist to working as an ophthalmic physicist; Manual Brachytherapy: 35.40
* Exempted Type A broad scope licensees          before administration from needing to notify NRC when            - Requiring the total source strength in permitting an ophthalmic physicist to        the pre-implantation portion of the WD working as an ophthalmic physicist;
* Clarified permanent implant brachytherapy written directive (WD) components:
                                              - recovery 3
- Still includes AU signature and dating before administration
- Requiring the total source strength in the pre-implantation portion of the WD
-recovery


Manual Brachytherapy: 35.40 cont.             Manual Brachytherapy: 35.40
4 Manual Brachytherapy: 35.40 cont.
* Deleting the total dose from the post- The term post-treatment recovery area implantation portion of the WD added   means the area or place where a total number of sources and date       patient recovers immediately following
* Deleting the total dose from the post-implantation portion of the WD added total number of sources and date
* Deleting the requirement to include     the brachytherapy procedure before dose being released to a hospital intensive
* Deleting the requirement to include dose
* Requiring completion of the post-      care unit or patient room, or in the case implantation portion of the WD before the patient leaves post treatment      of an outpatient treatment, released recovery area                          from the licensees facility.
* Requiring completion of the post-implantation portion of the WD before the patient leaves post treatment recovery area Manual Brachytherapy: 35.40 The term post-treatment recovery area means the area or place where a patient recovers immediately following the brachytherapy procedure before being released to a hospital intensive care unit or patient room, or in the case of an outpatient treatment, released from the licensees facility.
Manual Brachytherapy: 35.40             Manual Brachytherapy: 35.40 cont.
Manual Brachytherapy: 35.40
* Revises the definition of an ME for       - The wrong individual or human permanent implant brachytherapy:           research subject
* Revises the definition of an ME for permanent implant brachytherapy:
  - The total source strength for inside   - Sealed source(s) directly delivered to and outside the treatment site          the wrong treatment site compared with post-implantation        - A leaking sealed source resulting in a written directive                        dose that exceeds 0.5 Sv (50 rem) to
-The total source strength for inside and outside the treatment site compared with post-implantation written directive
  - The wrong radionuclide                  an organ or tissue 4
-The wrong radionuclide Manual Brachytherapy: 35.40 cont.
-The wrong individual or human research subject
-Sealed source(s) directly delivered to the wrong treatment site
-A leaking sealed source resulting in a dose that exceeds 0.5 Sv (50 rem) to an organ or tissue


Manual Brachytherapy: 35.40                 Manual Brachytherapy: 35.41 What does discontiguous mean?
5 Manual Brachytherapy: 35.40 What does discontiguous mean?
* As it relates to the ME criteria in 10 CFR 35.3045 for PIB, discontiguous means a location that is not physically adjacent to or touching the treatment site.
-facility Manual Brachytherapy: 35.41
* All licensees must have procedures to determine if a medical event occurred
* All licensees must have procedures to determine if a medical event occurred
* As it relates to the ME criteria in 10 CFR 35.3045 for PIB, discontiguous
* Permanent implant brachytherapy licensees must have procedures to determine within 60 days Manual Brachytherapy: 35.41 cont.
* Permanent implant brachytherapy means a location that is not              licensees must have procedures to physically adjacent to or touching        determine within 60 days the treatment site.
- The total source strength outside treatment site compared to total source strength in post implant written directive.
- facility Manual Brachytherapy: 35.41 cont.             Training and Experience (T&E)
- That if a patient was not available within the 60 days, the licensee must document the reason for the unavailability.
- The total source strength outside
-facility Training and Experience (T&E)
* Removed written attestation from board treatment site compared to total          certification pathway requirements source strength in post implant written
* Removed written attestation from board certification pathway requirements
* Revised written attestation statement directive.                                - is able to independently fulfill the
* Revised written attestation statement
- That if a patient was not available          radiation safety-related duties as within the 60 days, the licensee must
- is able to independently fulfill the radiation safety-related duties as
* Permits residency program directors to document the reason for the              provide written attestation under certain unavailability.                          conditions
* Permits residency program directors to provide written attestation under certain conditions
- facility 5


T&E: 35.51                                     T&E: 35.57
6 T&E: 35.51
* Grandfathered RSOs and AMPs must
* Require AMP to be board certified by board recognized under 10 CFR 35.51 T&E: 35.57
* Require AMP to be board certified by            meet requirements in 10 CFR 35.50(d) or board recognized under 10 CFR 35.51            35.51(c), for materials or uses not authorized earlier
* Grandfathered RSOs and AMPs must meet requirements in 10 CFR 35.50(d) or 35.51(c), for materials or uses not authorized earlier
* Grandfathered individuals board certified on or before October 24, 2005 by boards listed in regulation for materials and uses performed before this date Diagnostic medical uses: 35.65             Diagnostic medical uses: 35.65 cont.
* Grandfathered individuals board certified on or before October 24, 2005 by boards listed in regulation for materials and uses performed before this date Diagnostic medical uses: 35.65
* Clarified medical use does not include calibration, transmission, and reference
* Clarified medical use does not include calibration, transmission, and reference sources except as authorized under 10 CFR 35.500
* Clarified when sources do not have to sources except as authorized under 10           be listed on license CFR 35.500
* Bundled or aggregated sources with activities greater than maximum single source activities in 35.65 is not permitted under 10 CFR 35.65 Diagnostic medical uses: 35.65 cont.
* Bundled or aggregated sources with activities greater than maximum single source activities in 35.65 is not permitted under 10 CFR 35.65 6
* Clarified when sources do not have to be listed on license


Diagnostic medical uses: 35.590               Radiopharmaceuticals:
7 Diagnostic medical uses: 35.590
* Authorizes an AU for imaging uses for medical use of sealed sources and medical devices for diagnosis Radiopharmaceuticals:
35.300, 35.390, & 35.396
35.300, 35.390, & 35.396
* Authorizes an AU for imaging uses for
* Clarified that 10 CFR 35.300 only applied to materials listed in 10 CFR 35.390
* Clarified that 10 CFR 35.300 only applied medical use of sealed sources and        to materials listed in 10 CFR 35.390 medical devices for diagnosis
* Revised listing of materials in 10 CFR 35.390 for parenteral uses by the primary emission needed for the particular medical use (i.e., is primarily used for emission)
* Revised listing of materials in 10 CFR 35.390 for parenteral uses by the primary emission needed for the particular medical use (i.e., is primarily used for emission)
Radiopharmaceuticals:                    Radiopharmaceuticals:
Radiopharmaceuticals:
35.300, 35.390, & 35.396             35.300, 35.390, & 35.396 cont.
35.300, 35.390, & 35.396
* Current Rule reads:
* Current Rule reads:
-A licensee may use any unsealed byproduct material prepared for medical use and for which a written directive is required that is Radiopharmaceuticals:
35.300, 35.390, & 35.396 cont.
* New Rule reads:
* New Rule reads:
  - A licensee may use any unsealed        - A licensee may use any unsealed byproduct material prepared for          byproduct material identified in § medical use and for which a written      35.390(b)(1)(ii)(G) prepared for directive is required that is          medical use and for which a WD is required that is 7
-A licensee may use any unsealed byproduct material identified in § 35.390(b)(1)(ii)(G) prepared for medical use and for which a WD is required that is


Radiopharmaceuticals:                      Radiopharmaceuticals:
8 Radiopharmaceuticals:
35.300, 35.390, & 35.396               35.300, 35.390, & 35.396 cont.
35.300, 35.390, & 35.396 10 CFR 35.390(1)(ii)(G) categories for 3 cases Current Rule reads:
10 CFR 35.390(1)(ii)(G) categories for 3 cases 3. Parenteral of any beta emitter, or a photon- emitting radionuclide with a photon energy less than 150 keV, for Current Rule reads:
: 1. Oral 1.22 GBq (33 mCi) of NaI I-131 WD;
which a WD is required; and/or
: 2. Oral > 1.22 GBq (33 mCi) of NaI I-131 WD; Radiopharmaceuticals:
: 1. Oral 1.22 GBq (33 mCi) of NaI I-131 WD;
35.300, 35.390, & 35.396 cont.
: 4. Parenteral administration of any other
: 3. Parenteral of any beta emitter, or a photon-emitting radionuclide with a photon energy less than 150 keV, for which a WD is required; and/or
: 2. Oral > 1.22 GBq (33 mCi) of NaI I-131 radionuclide, for which a WD is WD; required; Radiopharmaceuticals:                      Radiopharmaceuticals:
: 4. Parenteral administration of any other radionuclide, for which a WD is required; Radiopharmaceuticals:
35.300, 35.390, & 35.396               35.300, 35.390, & 35.396 cont.
35.300, 35.390, & 35.396 10 CFR 35.390(1)(ii)(G) categories for 3 cases New Rule reads:
10 CFR 35.390(1)(ii)(G) categories for 3 cases 2) the same as current rule New Rule reads:                               3) Parenteral administration of any
- A licensee may use any unsealed byproduct material identified in § 35.390(b)(1)(ii)(G) prepared for medical use and for which a WD is required that is
  - A licensee may use any unsealed               radioactive drug that contains a byproduct material identified in §           radionuclide that is primarily used for its 35.390(b)(1)(ii)(G) prepared for medical     electron emission, beta radiation use and for which a WD is required that       characteristics, alpha radiation is                                           characteristics, or photon energy of less than 150 keV, for which a written
: 1) the same as current rule.
: 1) the same as current rule.
directive is required 8
Radiopharmaceuticals:
35.300, 35.390, & 35.396 cont.
: 2) the same as current rule
: 3) Parenteral administration of any radioactive drug that contains a radionuclide that is primarily used for its electron emission, beta radiation characteristics, alpha radiation characteristics, or photon energy of less than 150 keV, for which a written directive is required


SS&D: 35.400, 35.500, & 35.600                   Vendor Training: 35.610
9 SS&D: 35.400, 35.500, & 35.600
* Clarifies that use includes uses under the
* Clarifies that use includes uses under the appropriate medical use that is not explicitly listed in the Sealed Source and Device Registry (SSDR)
* Requires vendor training of 10 CFR 35.600 appropriate medical use that is not           medical use devices when there are explicitly listed in the Sealed Source and    upgrades that affect the operational and Device Registry (SSDR)                       safety of the unit
* Requires the use to be in accordance with radiation safety conditions and limitations in SSDR
* Requires the use to be in accordance with radiation safety conditions and
* Differentiated between use requirements for sources and devices containing sources Vendor Training: 35.610
* Vendor training must be by the vendor or limitations in SSDR someone certified by the vendor
* Requires vendor training of 10 CFR 35.600 medical use devices when there are upgrades that affect the operational and safety of the unit
* Differentiated between use requirements for sources and devices containing sources Gamma Knife: 35.655                                   Acronyms
* Vendor training must be by the vendor or someone certified by the vendor Gamma Knife: 35.655
* Clarifies in the title that the section is
* Clarifies in the title that the section is addressing full-inspection servicing
* ANP - Authorized Nuclear Pharmacist addressing full-inspection servicing
* Retains 5 year frequency for teletherapy units
* Changes frequency for gamma stereotactic units to 7 years Acronyms
* ANP - Authorized Nuclear Pharmacist
* AMP - Authorized Medical Physicist
* AMP - Authorized Medical Physicist
* ARSO - Associate Radiation Safety Officer
* ARSO - Associate Radiation Safety Officer
* Retains 5 year frequency for teletherapy
* AU - Authorized User
* AU - Authorized User units
* Ga - Gallium
* Ga - Gallium
* Ge - Germanium
* Ge - Germanium
* Changes frequency for gamma
* GBq - Gigabecquerel
* GBq - Gigabecquerel stereotactic units to 7 years 9


Acronyms                                Acronyms
10 Acronyms
* I-131 - Iodide-131
* I-131 - Iodide-131
* keV - kiloelectron volts
* mCi - millicurie
* ME - Medical Event
* Mo Molybdenum-99
* NaI - Sodium Iodide
* PIB - Permanent Implant Brachytherapy
* PRM - Petition for Rulemaking Acronyms
* Rb - Rubidium
* Rb - Rubidium
* keV - kiloelectron volts
* RSO - Radiation Safety Officer
* RSO - Radiation Safety Officer
* mCi - millicurie
* Sr - Strontium
* Sr - Strontium
* ME - Medical Event
* SS&D - Sealed Source and Device
* SS&D - Sealed Source and Device
* Mo Molybdenum-99
* SSDR - Sealed Source and Device Registry
* SSDR - Sealed Source and Device Registry
* T&E - Training and Experience
* T&E - Training and Experience
* NaI - Sodium Iodide
* Tc Technetium-99
* Tc Technetium-99
* PIB - Permanent Implant Brachytherapy
* WD - written directive
* WD - written directive
* PRM - Petition for Rulemaking 10


Subcommittee Members
1 1
* Melissa Martin Subcommittee on
Subcommittee on Germanium-68/Gallium-68 Generator Licensing Guidance Megan Shober Advisory Committee on the Medical Uses of Isotopes April 3, 2019
* Melissa Martin
* Darlene Metter, M.D.
* Darlene Metter, M.D.
Germanium-68/Gallium-68 Generator
* Michael Sheetz
* Michael Sheetz Licensing Guidance
* Megan Shober (Chair) 2 Subcommittee Members Current Ge-68/Ga-68 Generator Licensing Guidance (2017)
* Megan Shober (Chair)
* Expressly names Eckert and Ziegler brand of generator
Megan Shober Advisory Committee on the Medical Uses of Isotopes April 3, 2019 1                                                2 Current Ge-68/Ga-68 Generator                           Proposed Revision to Ge-68/Ga-68 Licensing Guidance (2017)                               Generator Licensing Guidance
* Includes specific breakthrough limit
* Expressly names Eckert and Ziegler brand of
* Describes steps to take if generator has not been eluted within 48 hours
* Brand neutral generator
* Removed reconditioning requirements for
* Includes specific breakthrough limit                   generators not eluted within 48 hours
* Describes steps to take if generator has not been
* Revised breakthrough reporting requirements eluted within 48 hours                                 (multiple failures)
* Requires notification to the NRC Operations Center if an eluate exceeds breakthrough levels
* Requires notification to the NRC Operations Center if an eluate exceeds breakthrough levels
* Requires wipe tests each day of use 3                                                 4 1
* Requires wipe tests each day of use 3
* Brand neutral
* Removed reconditioning requirements for generators not eluted within 48 hours
* Revised breakthrough reporting requirements (multiple failures) 4 Proposed Revision to Ge-68/Ga-68 Generator Licensing Guidance


Recommendations                                             Recommendations contd.
2 Recommendations
* Subcommittee recommends endorsing the draft             4. Due to the long time period required for guidance with changes as noted:                             breakthrough testing, add guidance on when breakthrough failure is effective.
* Subcommittee recommends endorsing the draft guidance with changes as noted:
: 1. Add alternate pathway training option for ANP user. 5. Revise survey requirements to allow increased
1.
: 2. Remove brand-specific breakthrough limit.                flexibility in performance.
Add alternate pathway training option for ANP user.
: 3. Reject proposed breakthrough failure reporting requirement and recommend conformance with 10 CFR 35.3204.
2.
5                                                 6 Acronyms ANP - Authorized Nuclear Pharmacist CFR - Code of Federal Regulations Ga Gallium 68 Ge Germanium 68 NRC - Nuclear Regulatory Commission 7
Remove brand-specific breakthrough limit.
2
3.
Reject proposed breakthrough failure reporting requirement and recommend conformance with 10 CFR 35.3204.
5 Recommendations contd.
4.
Due to the long time period required for breakthrough testing, add guidance on when breakthrough failure is effective.
5.
Revise survey requirements to allow increased flexibility in performance.
6 ANP - Authorized Nuclear Pharmacist CFR - Code of Federal Regulations Ga Gallium 68 Ge Germanium 68 NRC - Nuclear Regulatory Commission 7
Acronyms


Nuclear Regulatory Commission (NRC)
1 of 3 Nuclear Regulatory Commission (NRC)
Advisory Committee on the Medical Use of Isotopes (ACMUI)
Advisory Committee on the Medical Use of Isotopes (ACMUI)
Subcommittee Review and Comments on Germanium-68/Gallium-68 Generator Licensing Guidance, Revision 1 Submitted on: November 30, 2018 Subcommittee Members:
Subcommittee Review and Comments on Germanium-68/Gallium-68 Generator Licensing Guidance, Revision 1 Submitted on: November 30, 2018 Subcommittee Members:
Ms. Melissa Martin Dr. Darlene Metter Mr. Michael Sheetz Ms. Megan Shober (Chair)
Ms. Melissa Martin Dr. Darlene Metter Mr. Michael Sheetz Ms. Megan Shober (Chair)
NRC Staff Resource: Said Daibes-Figueroa, Ph.D.
NRC Staff Resource: Said Daibes-Figueroa, Ph.D.  


===Background===
===
Background===
The subcommittee and its Chair were appointed by ACMUI Chairman, Christopher Palestro, at the ACMUI meeting on September 21, 2018. The purpose of the subcommittee was to review the NRC staffs draft proposed revision to the licensing guidance for Germanium-68 (Ge-68)/Gallium-68 (Ga-68) generators. The NRCs current licensing guidance for Ge-68/Ga-68 generators (Revision 1) was issued on July 13, 2017. At that time, the only Ge-68/Ga-68 generator approved by the U.S.
The subcommittee and its Chair were appointed by ACMUI Chairman, Christopher Palestro, at the ACMUI meeting on September 21, 2018. The purpose of the subcommittee was to review the NRC staffs draft proposed revision to the licensing guidance for Germanium-68 (Ge-68)/Gallium-68 (Ga-68) generators. The NRCs current licensing guidance for Ge-68/Ga-68 generators (Revision 1) was issued on July 13, 2017. At that time, the only Ge-68/Ga-68 generator approved by the U.S.
Food and Drug Administration (FDA) and available on the market was the Eckert and Ziegler GalliaPharm generator. As such, the NRC tailored its licensing guidance to this specific product.
Food and Drug Administration (FDA) and available on the market was the Eckert and Ziegler GalliaPharm generator. As such, the NRC tailored its licensing guidance to this specific product.
Line 439: Line 526:
==Title:==
==Title:==
The Subcommittee supports the change to the title of the proposed guidance.
The Subcommittee supports the change to the title of the proposed guidance.
Pg 1, 1st paragraph: Delete the sentence Future Ge-68/Ga-68 radionuclide generators will be addressed in revisions to the licensing guidance.
Pg 1, 1st paragraph: Delete the sentence Future Ge-68/Ga-68 radionuclide generators will be addressed in revisions to the licensing guidance.  
1 of 3


Pg 2, Section 4.1, 2nd paragraph: Replace the words FDA approved with if utilizing an FDA-approved kit for radiolabeling.
2 of 3 Pg 2, Section 4.1, 2nd paragraph: Replace the words FDA approved with if utilizing an FDA-approved kit for radiolabeling.
Pg 3, Authorized Use for commercial nuclear pharmacies: Add (Form 313 Item 5) under Radionuclides, Chemical/Physical Form, and Maximum Possession Limit.
Pg 3, Authorized Use for commercial nuclear pharmacies: Add (Form 313 Item 5) under Radionuclides, Chemical/Physical Form, and Maximum Possession Limit.
Pg 4 Section 4.4, 1st paragraph: Replace to develop/create Ga-68 with to elute Ga-68.
Pg 4 Section 4.4, 1st paragraph: Replace to develop/create Ga-68 with to elute Ga-68.
Line 455: Line 541:
Pg 6, 11th bullet: The criteria for multiple and unusable are vague. Delete on multiple occasions rendering the generator unusable in human patients and research subjects. Adopt the language from the new 10 CFR 35.3204 for telephone reports to the NRC Operations Center within 7 days.
Pg 6, 11th bullet: The criteria for multiple and unusable are vague. Delete on multiple occasions rendering the generator unusable in human patients and research subjects. Adopt the language from the new 10 CFR 35.3204 for telephone reports to the NRC Operations Center within 7 days.
Pg 6, 12th bullet: Center should be capitalized.
Pg 6, 12th bullet: Center should be capitalized.
Pg 7, general: Due to the extended time necessary for completing a breakthrough test, the guidance should specify when a generator failure is effective. The Subcommittee recommends specifying that a generator has failed on the date when the breakthrough calculation is 2 of 3
Pg 7, general: Due to the extended time necessary for completing a breakthrough test, the guidance should specify when a generator failure is effective. The Subcommittee recommends specifying that a generator has failed on the date when the breakthrough calculation is  


performed. This should be no more than 7 days from the date of the previous breakthrough calculation.
3 of 3 performed. This should be no more than 7 days from the date of the previous breakthrough calculation.
Pg 7, 1st bullet: Remove this bullet. There is no reasonable scenario where a breakthrough failure could cause a reportable medical event due to Ge-68, based on 5 rem effective dose to the whole body or 50 rem dose to an organ.
Pg 7, 1st bullet: Remove this bullet. There is no reasonable scenario where a breakthrough failure could cause a reportable medical event due to Ge-68, based on 5 rem effective dose to the whole body or 50 rem dose to an organ.
Pg 7, 2nd bullet: In the first sentence, replace manufactures with manufacturers.
Pg 7, 2nd bullet: In the first sentence, replace manufactures with manufacturers.
Line 466: Line 552:
Other recommendations The subcommittee agrees with the remainder of the licensing guidance document.
Other recommendations The subcommittee agrees with the remainder of the licensing guidance document.
Respectfully submitted, November 30, 2018, Subcommittee on Germanium-68/Gallium-68 Generator Licensing Guidance, Advisory Committee on the Medical Use of Isotopes (ACMUI),
Respectfully submitted, November 30, 2018, Subcommittee on Germanium-68/Gallium-68 Generator Licensing Guidance, Advisory Committee on the Medical Use of Isotopes (ACMUI),
Nuclear Regulatory Commission (NRC) 3 of 3
Nuclear Regulatory Commission (NRC)  


Medical Events The dose threshold for diagnostic events Status of Medical Events                    precludes reportable events most years.
1 1
FY 2018 Each year, there are approximately 150,000 therapeutic procedures performed utilizing Donna-Beth Howe, Ph.D.                  radioactive materials.
Status of Medical Events FY 2018 Donna-Beth Howe, Ph.D.
Medical Radiation Safety Team April 3, 2019 1                                                2 Medical Events FY 2013 - 2015                   Medical Events FY 2016 - 2018
Medical Radiation Safety Team April 3, 2019 Medical Events The dose threshold for diagnostic events precludes reportable events most years.
Each year, there are approximately 150,000 therapeutic procedures performed utilizing radioactive materials.
2 Medical Events FY 2013 - 2015
* 43 Medical events reported - FY 2013
* 43 Medical events reported - FY 2013
* 46 Medical events reported - FY 2014
* 57 Medical events reported - FY 2015 FY13 FY14 FY15 35.200 0 1
3 35.300 2 3 8
35.400 15 5 9 (10) 35.600 10 10 17 35.1000 16 27 20 (30) 3 Medical Events FY 2016 - 2018
* 50 Medical events reported - FY 2016
* 50 Medical events reported - FY 2016
* 46 Medical events reported - FY 2014
* 43 Medical events reported - FY 2016
* 43 Medical events reported - FY 2016
* 57 Medical events reported - FY 2015
* 50 Medical events reported - FY 2018 FY16 FY17 FY18 35.200 4
* 50 Medical events reported - FY 2018 FY13        FY14        FY15                    FY16         FY17       FY18 35.200       0          1          3          35.200      4           0           0 35.300       2          3          8          35.300      4           4           2 35.400     15          5          9 (10)      35.400      6 (18)       7         13 (15) 35.600     10          10          17          35.600      6           8 (14)     10 35.1000     16          27          20 (30)      35.1000    30           24         25 (26) 3                                                4 1
0 0 35.300 4 4 2 35.400 6 (18) 7 13 (15) 35.600 6 8 (14) 10 35.1000 30 24 25 (26) 4


Medical Events 2018                                         35.300 Medical Events 35.300 Medical events                            2      Iodine-131 MIBG                                   1
2 Medical Events 2018 35.300 Medical events 2
* 50,000 to 12,000 cGy skin dose to 15 cm² Iodine-131 MIBG                1                            - Patient was disconnected from infusion pump at Spiros connection to use restroom.
Iodine-131 MIBG 1 Radium-223 1 5
Radium-223                      1
35.300 Medical Events Iodine-131 MIBG 1
                                                            - At end of procedure, high activity of I-131 on patients clothing and bed linen.
* 50,000 to 12,000 cGy skin dose to 15 cm²
                                                            - Two days later, patient reported discomfort and reddening of skin on upper right thigh erythematous lesion to desquamation the next day.
- Patient was disconnected from infusion pump at Spiros connection to use restroom.
5                                                              6*
- At end of procedure, high activity of I-131 on patients clothing and bed linen.
35.300 Medical Events                                      35.300 Medical Events Iodine-131 MIBG (cont.)                                   Ra-223 dichloride                                1
- Two days later, patient reported discomfort and reddening of skin on upper right thigh erythematous lesion to desquamation the next day.
6*
35.300 Medical Events Iodine-131 MIBG (cont.)
* 50,000 to 120,000 cGy skin dose to 15 cm²
* 50,000 to 120,000 cGy skin dose to 15 cm²
- Did not decontaminate patient until signs of erythema.
- Will only disconnect patient if medical emergency.
- Will use adsorbent pads under administration line.
- Will develop patient specific decontamination procedures.
7 8
Ra-223 dichloride 1
* Administered 176.1 µCi instead of 180 µCi
* Administered 176.1 µCi instead of 180 µCi
  - Did not decontaminate patient until signs of            - Signed written directive called for oral administration erythema.
- Signed written directive called for oral administration
                                                              - Technologist administered intravenous
- Technologist administered intravenous
  - Will only disconnect patient if medical emergency.
- Will implement new written directive
                                                              - Will implement new written directive
- Review current policy and procedures with staff 35.300 Medical Events
  - Will use adsorbent pads under administration line.
                                                              - Review current policy and procedures with staff
  - Will develop patient specific decontamination procedures.
7                                                              8 2


Medical Events 2018                                       35.400 Medical Events 35.400 Medical events                           13 (15)   Eye Plaque                                       1
3 Medical Events 2018 35.400 Medical events 13 (15)
* Prescribed 8,600 cGy - received 6,500 cGy Eye Plaque                                1 Unknown procedure                        1              - Used new model of eye plaque that differed from old Prostate                                11 (13)            model
Eye Plaque 1 Unknown procedure 1 Prostate 11 (13)
                                                            - Isodose curves differed from brachytherapy plan.
One licensee, 3 reports 3 (5)
One licensee, 3 reports          3 (5)
Human error 2
                                                            - Dose was deeper than expected Human error                      2 Wrong site                      1 Larger than pre-plan or swelling 2 9                                                        10 35.400 Medical Events                                     35.400 Medical Events Prostate                                         9 (11)
Wrong site 1 Larger than pre-plan or swelling 2 9
Unknown Procedure                                1 One licensee, 3 separate reports, 5 patients
35.400 Medical Events Eye Plaque 1
* Report 1 - First patient prescribed 14,000 cGy, but
* Prescribed 8,600 cGy - received 6,500 cGy
* 70% of the intended dose was delivered administered 8,990 cGy - 62% of prescribed dose
- Used new model of eye plaque that differed from old model
                                                            - No root cause, but attributed to human error
- Isodose curves differed from brachytherapy plan.
                                                            - Some seeds may have migrated post-implant
- Dose was deeper than expected 10 35.400 Medical Events Unknown Procedure 1
                                                            - Performed historical review after inspection
* 70% of the intended dose was delivered 11 35.400 Medical Events Prostate 9 (11)
                                                            - Second Patient prescribed 14,500 cGy, but received 19,200 cGy - 132% of the prescribed dose
One licensee, 3 separate reports, 5 patients
                                                            - Third Patient prescribed 14,500 cGy, but received 18,900 cGy - 130% of the prescribed dose 11                                                        12 3
* Report 1 - First patient prescribed 14,000 cGy, but administered 8,990 cGy - 62% of prescribed dose
- No root cause, but attributed to human error
- Some seeds may have migrated post-implant
- Performed historical review after inspection
- Second Patient prescribed 14,500 cGy, but received 19,200 cGy - 132% of the prescribed dose
- Third Patient prescribed 14,500 cGy, but received 18,900 cGy - 130% of the prescribed dose 12


35.400 Medical Events                                              35.400 Medical Events One licensee, 3 separate reports, 5 patients (cont.)
4 35.400 Medical Events One licensee, 3 separate reports, 5 patients (cont.)
* Report 2 - Patient prescribed 14,500 cGy, but received 10,500 cGy - 72.4% of the prescribed dose
* Report 3 - Patient prescribed 14,500 cGy, but received 7,000 cGy - 48% of the prescribed dose 13 35.400 Medical Events
* Patient prescribed 11,000 cGy, but received 5,815 cGy - 53% of dose
* Patient prescribed 11,000 cGy, but received 5,815 cGy - 53% of dose
* Report 2 - Patient prescribed 14,500 cGy, but received            - Partial seed strand implanted in the bladder 10,500 cGy - 72.4% of the prescribed dose                          - Removed errant seeds immediately with cystoscopy
- Partial seed strand implanted in the bladder  
                                                                      - Attributed to human error
- Removed errant seeds immediately with cystoscopy
* Report 3 - Patient prescribed 14,500 cGy, but received            - Corrective actions include:
- Attributed to human error
7,000 cGy - 48% of the prescribed dose
- Corrective actions include:
* New written procedure
* New written procedure
* Use of more needles, more seeds, and less aggressive sparing of the urethra
* Use of more needles, more seeds, and less aggressive sparing of the urethra
* Stop using pre-loaded stranded seeds, so improperly implanted seeds can be individually 13                                                            14 35.400 Medical Events                                              35.400 Medical Events
* Stop using pre-loaded stranded seeds, so improperly implanted seeds can be individually 14 35.400 Medical Events
* Patient intended 10,800 cGy, but 50% of prostate
* Patient intended 10,800 cGy, but 50% of prostate received no dose  
* Patient prescribed 11,000 cGy, but received 6,215 received no dose                                                    cGy - 56.5% of dose
- Ultrasound volume of prostate was smaller on ultrasound pre-implant scan than CT post-implant scan
  - Ultrasound volume of prostate was smaller on                     - Attributed to human error ultrasound pre-implant scan than CT post-implant                 - Improve imaging techniques scan
- Real-time implantation with ultrasound did not permit potential visualization errors  
  - Real-time implantation with ultrasound did not permit
- Attributed to human error  
* Patient prescribed 14,400 cGy, but received only potential visualization errors                                   73% of dose
- Corrective actions include:
  - Attributed to human error
                                                                      - Attributed to 18% increase in prostate size compared
  - Corrective actions include:                                         to pre-plan
* Additional training to personnel and improved supervision
* Additional training to personnel and improved supervision
                                                                      - Planned intentional cooler coverage near rectum
* Terminate the seed implant program due to low patient volume 15 35.400 Medical Events
* Terminate the seed implant program due to low patient volume                                                       - Additional training to personnel 15                                                            16 4
* Patient prescribed 11,000 cGy, but received 6,215 cGy - 56.5% of dose
- Attributed to human error
- Improve imaging techniques
* Patient prescribed 14,400 cGy, but received only 73% of dose
- Attributed to 18% increase in prostate size compared to pre-plan
- Planned intentional cooler coverage near rectum
- Additional training to personnel 16


35.400 Medical Events                                                  35.400 Medical Events
5 35.400 Medical Events
* Patient intended 12,500 cGy, but received 1,000 cGy
* Patient intended 12,500 cGy, but received 1,000 cGy 12.5% of dose (Pd-103 seeds)
* Patient intended 12,500 cGy, but received 1,000 12.5% of dose (Pd-103 seeds)                                          cGy 12.5% of dose (Pd-103 seeds) [cont.]
- Used Foley catheter but inflated balloon in prostate urethra instead of bladder
  - Used Foley catheter but inflated balloon in prostate              - Physician and medical physicist will audibly concur urethra instead of bladder                                          on image quality before preceding
- 32 of 54 seeds placed outside prostate and 3 seeds could not be seen
  - 32 of 54 seeds placed outside prostate and 3 seeds                - Manufacturer reset new default magnification value could not be seen                                                    that will initial view of relevant prostate anatomy
- Expect risk of radiation damage to rectum and surrounding tissue
  - Expect risk of radiation damage to rectum and                      - Once first seed is implanted, fluoroscopic image will surrounding tissue                                                  be used to verify relative location of seed and Foley
- Failed to locate Foley catheter compounded by using magnification factor of ultrasound device that did not give full view of relevant anatomy 17*
  - Failed to locate Foley catheter compounded by using                  catheter is where it is expected to be magnification factor of ultrasound device that did not give full view of relevant anatomy 17*                                                          18 35.400 Medical Events                                                     Medical Events 2018
35.400 Medical Events
* Patient prescribed 12,500 cGy, but received 9,670                   35.600 Medical events                                10 cGy - 77% of dose (Pd-103 seeds)
* Patient intended 12,500 cGy, but received 1,000 cGy 12.5% of dose (Pd-103 seeds) [cont.]  
  - Three seeds from one needle did not remain in place               HDR
- Physician and medical physicist will audibly concur on image quality before preceding  
  - Contributing factors:
- Manufacturer reset new default magnification value that will initial view of relevant prostate anatomy
* Skin                                        1
- Once first seed is implanted, fluoroscopic image will be used to verify relative location of seed and Foley catheter is where it is expected to be 18 35.400 Medical Events
* Patient prescribed 12,500 cGy, but received 9,670 cGy - 77% of dose (Pd-103 seeds)
- Three seeds from one needle did not remain in place
- Contributing factors:
* AUs preference for peripheral loading
* AUs preference for peripheral loading
* Potential rotation of the prostate during needle insertion
* Potential rotation of the prostate during needle insertion
* Breast                                      2
* Pressure effects from using hydrogel to separate prostate from rectum
* Pressure effects from using hydrogel to separate prostate
- Corrective actions:
* Gynecological                                7 from rectum                                                           Device malfunction              2
* No longer implant needle between urethra and rectum - will use two needles offset on axis
  - Corrective actions:                                                       Wrong site                      3
* Use stabilized needles during surgery 19 Medical Events 2018 35.600 Medical events 10 HDR
* No longer implant needle between urethra and rectum - will use two needles offset on axis                                         Human mistake                    2
* Skin 1
* Use stabilized needles during surgery 19                                                           20 5
* Breast 2
* Gynecological 7 Device malfunction 2 Wrong site 3 Human mistake 2 20


35.600 HDR Events                                          35.600 HDR Events Skin                                                 1     Skin (cont.)
6 35.600 HDR Events Skin 1
                                                            - Lack of policy for custom immobilization devices for
* Patient prescribed 8 fractions of 500 cGy each to temple area, but received 350 cGy on first 2 fractions  
* Patient prescribed 8 fractions of 500 cGy                   skin treatment each to temple area, but received 350 cGy                 - Therapist present at first treatment and any time there on first 2 fractions                                       is a new physicist
- First physicist used incorrect setup - forgot to use accuform - second physicist used correct setup
- First physicist used incorrect setup - forgot to use     - Photograph set up with and without patient to show accuform - second physicist used correct setup             accuform
- Wrong position - gap between treatment device and patients skin 21 35.600 HDR Events Skin (cont.)
- Wrong position - gap between treatment device and         - Barcode scanning to track custom set up devices patients skin 21                                                                        22*
- Lack of policy for custom immobilization devices for skin treatment
35.600 HDR Events                                           35.600 HDR Events Breast                                              2      Breast                                                         2
- Therapist present at first treatment and any time there is a new physicist
- Photograph set up with and without patient to show accuform
- Barcode scanning to track custom set up devices 22*
35.600 HDR Events Breast 2
* Wrong site - 1,200 cGy to lateral breast skin
* Wrong site - 1,200 cGy to lateral breast skin
* Wrong site - 1 cc volume of skin received 850
- Patient contacted oncologist because of skin reaction  
- Patient contacted oncologist because of skin reaction       cGy instead of intended 256 cGy
- Physicist used tip end instead of connector end in treatment plan
- Physicist used tip end instead of connector end in       - Savi applicator - struts 2 and 6 mislabeled - changed treatment plan                                              orientation of the applicator - direction of radiation
- Corrective actions:
- Corrective actions:                                     - Corrective actions:
Additional training to personnel 23 35.600 HDR Events Breast 2
* Additional training to personnel
* Wrong site - 1 cc volume of skin received 850 cGy instead of intended 256 cGy
* Second physicist to independently verify catheter struts in treatment plan.
- Savi applicator - struts 2 and 6 mislabeled - changed orientation of the applicator - direction of radiation
* HDR review checklist - verify digitization of struts in treatment plan
- Corrective actions:
* Add HDR plan review to monthly audit
Second physicist to independently verify catheter struts in treatment plan.
* Additional training to personnel 23                                                                        24 6
HDR review checklist - verify digitization of struts in treatment plan Add HDR plan review to monthly audit Additional training to personnel 24


35.600 HDR Events                                                        35.600 HDR Events Gynecological                                     7
7 35.600 HDR Events Gynecological 7
* Device malfunction
* Device malfunction
* Device malfunction                                                  - Device failed to fully retract at completion of treatment
- Patient to receive 1,500 cGy during 3 fractions in 13 dwell points
- Patient to receive 1,500 cGy during 3 fractions in 13                   fraction dwell points                                                         - Dose of 100 cGY to patient thigh - source was 5 cm from cylinder guide tube connector
- HDR unit malfunctioned at dwell point 9
- HDR unit malfunctioned at dwell point 9                              - Source wire was bent near source
- Treatment adjusted after repair of the HDR unit 25 35.600 HDR Events
                                                                      - Delay in removing source from vicinity of patient and
* Device malfunction
- Treatment adjusted after repair of the HDR unit                          reporting the event to RSO 25                                                                    26 35.600 HDR Events                                                        35.600 HDR Events
- Device failed to fully retract at completion of treatment fraction
* Catheter movement - connector locking nut too
- Dose of 100 cGY to patient thigh - source was 5 cm from cylinder guide tube connector
* Prescribed 6 fractions of 350 cGy each - first loose, which allowed catheter to slide out                             fraction received 2,100 cGy
- Source wire was bent near source
- Event discovered by skin reaction progressed to moist             - Total treatment time incorrectly entered into treatment desquamation                                                         planning system
- Delay in removing source from vicinity of patient and reporting the event to RSO 26 35.600 HDR Events
- Dose to skin of 5,154 to 8,555 cGy                                 - Human error and poor decision making - started first
* Catheter movement - connector locking nut too loose, which allowed catheter to slide out  
- Corrective action:                                                    treatment after hours - second physicist not available
- Event discovered by skin reaction progressed to moist desquamation
* Retrain medical staff and AU                                    - Corrective actions:
- Dose to skin of 5,154 to 8,555 cGy
* AU will double check all connections and placement before and
- Corrective action:
* Second physicist has to independently verify treatment plan after each treatment
Retrain medical staff and AU AU will double check all connections and placement before and after each treatment Purchased new cylinder with new design 27 35.600 HDR Events Prescribed 6 fractions of 350 cGy each - first fraction received 2,100 cGy
* Physicist to check that plan was exported correctly to the
- Total treatment time incorrectly entered into treatment planning system
* Purchased new cylinder with new design                                  treatment console 27                                                                    28 7
- Human error and poor decision making - started first treatment after hours - second physicist not available
- Corrective actions:
Second physicist has to independently verify treatment plan Physicist to check that plan was exported correctly to the treatment console 28


35.600 HDR Events                                                   35.600 HDR Events
8 35.600 HDR Events Wrong Site - 587 cGy dose to small intestine and bowel instead of 220 cGy
* Wrong Site - 587 cGy dose to small
- Patients pelvis had extensive damage from uterine cancel
* Wrong site - 5.5 cm outside the treatment site intestine and bowel instead of 220 cGy                               received 500 cGy in 0.5 cm volume
- Patients pelvis had extensive damage from uterine                 - Channel 12 digitized twice with no digitization of cancel                                                               Channel 13 (Channel 13 digitization included in Channel 12 with no dwell positions for 13)
- Two dwell positions shifted to deliver dose to non-targeted small intestine/bowel in first of 3 fractions
- Two dwell positions shifted to deliver dose to non-targeted small intestine/bowel in first of 3 fractions
- Treatment plan modified for next 2 fractions                       - Treatment plan displayed expected dose distribution to critical organs and tumor and no dwell positions for
- Treatment plan modified for next 2 fractions
- Licensee thought not reportable - 10 CFR 35.3045(a)(1)
- Licensee thought not reportable - 10 CFR 35.3045(a)(1) and (3); NRC determined reportable - 10 CFR 35.3045(a)(1)(iii) and (a)(3) 29 35.600 HDR Events Wrong site - 5.5 cm outside the treatment site received 500 cGy in 0.5 cm volume
Channel 13 and (3); NRC determined reportable - 10 CFR 35.3045(a)(1)(iii) and (a)(3)
- Channel 12 digitized twice with no digitization of Channel 13 (Channel 13 digitization included in Channel 12 with no dwell positions for 13)
                                                                    - Physician approved the plan 29                                                                30*
- Treatment plan displayed expected dose distribution to critical organs and tumor and no dwell positions for Channel 13
35.600 HDR Events                                                   35.600 HDR Events
- Physician approved the plan 30*
* Wrong site - 5.5 cm outside the treatment site
35.600 HDR Events Wrong site - 5.5 cm outside the treatment site received 500 cGy in 0.5 cm volume (cont.)  
* Wrong site - 100 cGy outside treatment site received 500 cGy in 0.5 cm volume (cont.)                           Prescribed 1,890 cGy, but received 1,675 cGy
- Patient discomfort (full bladder)
- Patient discomfort (full bladder)                                   - In first of three fractions digitize the catheter as linear
- Physicist rushed to complete the plan and export to treatment console - error overlooked
- Physicist rushed to complete the plan and export to                   instead of as a single curved catheter treatment console - error overlooked
- Corrective action:
- Corrective action:                                                 - Physicist failed to recognize the incorrectly
Second check by physicist that did not prepare the plan Each channel will be carefully reviewed Patient not brought to treatment area until plan has been checked and exported to console 31 35.600 HDR Events Wrong site - 100 cGy outside treatment site Prescribed 1,890 cGy, but received 1,675 cGy
* Second check by physicist that did not prepare the plan           reconstructed catheter shape in planning software
- In first of three fractions digitize the catheter as linear instead of as a single curved catheter
* Each channel will be carefully reviewed
- Physicist failed to recognize the incorrectly reconstructed catheter shape in planning software
* Patient not brought to treatment area until plan has been
- Treatment length of 15.7 cm instead of 9 cm 32*
                                                                      - Treatment length of 15.7 cm instead of 9 cm checked and exported to console 31                                                                32*
8


35.600 HDR Events (cont.)                                             Medical Events 2018
9 35.600 HDR Events (cont.)
* Wrong site - 100 cGy outside treatment site                       35.1000 Medical events                              25 (cont.)
Wrong site - 100 cGy outside treatment site (cont.)  
- Discovered on second fraction                                       Perfexion                                  1 Intervascular Brachytherapy                1
- Discovered on second fraction
- Treatment plan was not enlarged so physicist could not             Radioactive seed localization              1 see the dwell points overlapping Y-90 Microspheres                        22
- Treatment plan was not enlarged so physicist could not see the dwell points overlapping
- Corrective actions:                                                   Unidentified                        2
- Corrective actions:
* Enlarge each treatment plan in which the physicist signs off     Therasphere                      13
Enlarge each treatment plan in which the physicist signs off Use of a formalized check list 33 Medical Events 2018 35.1000 Medical events 25 Perfexion 1 Intervascular Brachytherapy 1 Radioactive seed localization 1 Y-90 Microspheres 22 Unidentified 2 Therasphere 13 SirSphere 7
* Use of a formalized check list SirSphere                          7 33                                                           34 35.1000 Medical Events                                              35.1000 Medical Events Perfexion                                                 1         Intravascular Brachytherapy                             1
34 35.1000 Medical Events Perfexion 1
* Device malfunctioned                                                  - First extra long delivery catheter - source could not get to treatment site and retracted safely to unit
* Device malfunctioned
- Device recorded an error and backup power was low,                    - Second extra long treatment catheter - source still so the sources were returned to the shielded position                  could not get to treatment site but source could not be returned to IVB unit; all catheters removed
- Device recorded an error and backup power was low, so the sources were returned to the shielded position
- One-third of prescribed dose delivered                                - Hydraulic return mechanism failed to return source.
- One-third of prescribed dose delivered 35 Intravascular Brachytherapy 1
                                                                        - No dose to treatment site and 39 cGy to surrounding tissue
- First extra long delivery catheter - source could not get to treatment site and retracted safely to unit
                                                                        - Deformation of delivery catheter confirmed root cause 35                                                           36 9
- Second extra long treatment catheter - source still could not get to treatment site but source could not be returned to IVB unit; all catheters removed
- Hydraulic return mechanism failed to return source.
- No dose to treatment site and 39 cGy to surrounding tissue
- Deformation of delivery catheter confirmed root cause 36 35.1000 Medical Events


35.1000 Medical Events                                      35.1000 Medical Events Radioactive seed localization                         1   Y-90 Microspheres                    25
10 Radioactive seed localization 1
  - Expected dose 12 cGy to tissue, but patient received 99 cGy to tissue                                       Unknown                      2
- Expected dose 12 cGy to tissue, but patient received 99 cGy to tissue
  - Seed implanted and scheduled for removal 6 days later
- Seed implanted and scheduled for removal 6 days later
  - Insurance company rescinded approval after seed was implanted and required 3 medical opinions
- Insurance company rescinded approval after seed was implanted and required 3 medical opinions
  - Surgery performed approximately 64 days after implant 37                                         38 35.1000 Unknown Y-90 Events                                      35.1000 Medical Events Unknown                                         2          Y-90 Microspheres                  25
- Surgery performed approximately 64 days after implant 37 35.1000 Medical Events Y-90 Microspheres 25 Unknown 2
* Prescribed 13,400 cGy to a segment of the liver, but     Therasphere                  13 (14) received 10,300 cGy - 77% of intended dose               - Overdose             1
38 35.1000 Medical Events 35.1000 Unknown Y-90 Events Unknown 2
                                                            - Catheter/Obstruction 8
* Prescribed 13,400 cGy to a segment of the liver, but received 10,300 cGy - 77% of intended dose
* Patient received 60% of prescribed dose                  - Bubbles             2
* Patient received 60% of prescribed dose 39 Y-90 Microspheres 25 Therasphere 13 (14)
                                                            - Backflow to contrast 1
- Overdose 1
                                                            - Human mistake       1 39                                          40 10
- Catheter/Obstruction 8
- Bubbles 2
- Backflow to contrast 1
- Human mistake 1
40 35.1000 Medical Events


35.1000 Y-90 Therasphere Events                                35.1000 Y-90 Therasphere Events Overdose                                                       Dose in Waste Jar
11 35.1000 Y-90 Therasphere Events Overdose
* Prescribed 13,600 cGy, but received 29,400 cGy
* Prescribed 13,600 cGy, but received 29,400 cGy
- Picked up wrong dosage, measured and compared activity to shipping box information and not the written directive
- Shipping box was for next weeks patient
- Post administration calculations identified the medical event
- Will add a dose verification step in interventional radiology 41 35.1000 Y-90 Therasphere Events Dose in Waste Jar
* Prescribed 12,000 cGy administered 1,770 cGy -
* Prescribed 12,000 cGy administered 1,770 cGy -
  - Picked up wrong dosage, measured and compared                liver volume - 14% of intended dose activity to shipping box information and not the              - Licensee thought equipment did not function as written directive                                                designed
liver volume - 14% of intended dose
  - Shipping box was for next weeks patient
- Licensee thought equipment did not function as designed
  - Post administration calculations identified the                - Most of the dosage was in the waste jar medical event
- Most of the dosage was in the waste jar
  - Will add a dose verification step in interventional            - Manufacturer could not determine root cause radiology 41                                                        42 35.1000 Y-90 Therasphere Events                                35.1000 Y-90 Therasphere Events
- Manufacturer could not determine root cause 42 35.1000 Y-90 Therasphere Events
* Two patients received less dose than prescribed
* Two patients received less dose than prescribed
- First patient prescribed 72.6 mCi, but received 15 mCi. Inspector thought expansion tubing resulted in turbulent flow triggering suspension issues
- Second patient prescribed 72 mCi, but received 36.75 mCi - Inspector thought lack of adequate agitation prior to administration or issues with quality/sizing of microspheres
- Extension tubing no longer used
- Manufacturer supported Inspectors findings 43 35.1000 Y-90 Therasphere Events
* Prescribed activity 122 mCi - received 46 mCi - 38%
* Prescribed activity 122 mCi - received 46 mCi - 38%
  - First patient prescribed 72.6 mCi, but received 15            of intended activity mCi. Inspector thought expansion tubing resulted in            - From device components sent to manufacturer no turbulent flow triggering suspension issues                      cause for the blockage was determined
of intended activity  
  - Second patient prescribed 72 mCi, but received 36.75 mCi - Inspector thought lack of adequate agitation            - Obstruction/blockage located in microcatheter -
- From device components sent to manufacturer no cause for the blockage was determined
prior to administration or issues with quality/sizing of        obstruction in the outlet tubing at the E junction microspheres
- Obstruction/blockage located in microcatheter -
  - Extension tubing no longer used                                - Manufacturer recommended handling microcatheters
obstruction in the outlet tubing at the E junction  
  - Manufacturer supported Inspectors findings                      with extra care and looking for kinks 43                                                        44 11
- Manufacturer recommended handling microcatheters with extra care and looking for kinks 44


35.1000 Y-90 Therasphere Events                              35.1000 Y-90 Therasphere Events
12 35.1000 Y-90 Therasphere Events
* Prescribed 12,000 cGy - received 2,000 cGy (rad)             One licensee - 2 reported medical events
* Prescribed 12,000 cGy - received 2,000 cGy (rad)  
  - Malfunction in the administrative set - significantly
- Malfunction in the administrative set - significantly less pressure than usual to press syringe
* Report 1 - Prescribed 64.8 mCi, but received 41 less pressure than usual to press syringe mCi - 65% of activity
- Saline accumulating in overflow vial
  - Saline accumulating in overflow vial
- Only returned portion of administration set that infused dosage into patient to manufacturer
                                                                  - Air bubbles noted in overflow tubing connected to the
- May have been a kink or obstruction in treatment catheter but not conclusive
  - Only returned portion of administration set that infused      micro-catheter dosage into patient to manufacturer
- Will send complete administrative set next time 45 35.1000 Y-90 Therasphere Events One licensee - 2 reported medical events
                                                                  - Connected 3-way stopcock between overflow tubing
* Report 1 - Prescribed 64.8 mCi, but received 41 mCi - 65% of activity  
  - May have been a kink or obstruction in treatment              and micro-catheter aspirated bubbles to syringe with catheter but not conclusive                                    stopcock close to patient
- Air bubbles noted in overflow tubing connected to the micro-catheter
  - Will send complete administrative set next time              - Resurvey of delivery kit showed residual activity 45                                                            46*
- Connected 3-way stopcock between overflow tubing and micro-catheter aspirated bubbles to syringe with stopcock close to patient
35.1000 Y-90 Therasphere Events                             35.1000 Y-90 Therasphere Events
- Resurvey of delivery kit showed residual activity 46*
35.1000 Y-90 Therasphere Events
* Report 2 - Prescribed 46 mCi but received 27 mCi -
59% of activity
- Used left radial artery with 5-French Sarah Radial catheter with coaxial micro-catheter
- Nothing unusual was encountered
- No radioactive contamination of the suite
- Dose was in catheter, gauze, dose vial and other waste 47 35.1000 Y-90 Therasphere Events
* Prescribed 89,200 cGy, but received 57,500 cGy -
* Prescribed 89,200 cGy, but received 57,500 cGy -
* Report 2 - Prescribed 46 mCi but received 27 mCi -            64% of dose 59% of activity                                              - Backflow of microspheres into contrast line and
64% of dose
    - Used left radial artery with 5-French Sarah Radial          syringe catheter with coaxial micro-catheter                      - Significant contamination in contrast syringe, flushing
- Backflow of microspheres into contrast line and syringe
    - Nothing unusual was encountered                              syringe, contrast tubing, and associated y-adaptor
- Significant contamination in contrast syringe, flushing syringe, contrast tubing, and associated y-adaptor
    - No radioactive contamination of the suite                  - Thought contrasting syringe and tubing were made of
- Thought contrasting syringe and tubing were made of materials that bind microspheres more than administration kit - will look for same materials
    - Dose was in catheter, gauze, dose vial and other            materials that bind microspheres more than waste                                                        administration kit - will look for same materials
- Will use clamp and one-way valve 48
                                                                - Will use clamp and one-way valve 47                                                            48 12


35.1000 Y-90 Therasphere Events                              35.1000 Y-90 Therasphere Events
13 35.1000 Y-90 Therasphere Events
* Prescribed 23 mCi, but received 7.4 mCi - 32% of the
* Prescribed 23 mCi, but received 7.4 mCi - 32% of the activity
* Prescribed 35 mCi, but received 5.4 mCi - 16% of activity                                                      activity
- Blockage occurred in the delivery apparatus
  - Blockage occurred in the delivery apparatus                - Microspheres were coagulated in the tubing
- Imaged the administration set and saw most of the undelivered activity near where plunger connects to the dose vial
                                                                - Unexpected activity remained near the Touhy-Borst
- Will send administration set and procedure waste to contractor for manufacturer 49 35.1000 Y-90 Therasphere Events
  - Imaged the administration set and saw most of the              connector undelivered activity near where plunger connects to        - Manufacturer thought caused by issues with the the dose vial                                                  micro-catheter
* Prescribed 35 mCi, but received 5.4 mCi - 16% of activity  
                                                                - Will flush micro-catheter immediately prior to
- Microspheres were coagulated in the tubing
  - Will send administration set and procedure waste to            connecting it to the administration kit contractor for manufacturer 49                                                      50 35.1000 Y-90 Therasphere Events                              35.1000 Y-90 Therasphere Events
- Unexpected activity remained near the Touhy-Borst connector
* Prescribed 13,000 cGy to left lobe of liver, but
- Manufacturer thought caused by issues with the micro-catheter
* Prescribed 24,500 cGy, but administered 13,083 cGy received 8,490 cGy - 65% of dose                              - 53% of dose
- Will flush micro-catheter immediately prior to connecting it to the administration kit 50 35.1000 Y-90 Therasphere Events
  - First vial administered without incident                   - CT scan verified dose was administered to correct
* Prescribed 13,000 cGy to left lobe of liver, but received 8,490 cGy - 65% of dose
  - Second vial primed and prepped, but saw a train of             location bubbles in the line between the dose vial and patient
- First vial administered without incident
  - AU stopped the procedure; did not want the bubbles         - Remainder of dose hung up in catheter despite to cause the flow to reflux into gastric artery and           flushing cause permanent damage to the stomach
- Second vial primed and prepped, but saw a train of bubbles in the line between the dose vial and patient
  - Could not pinpoint cause of bubbles                         - Catheter tubing met manufacturers specifications
- AU stopped the procedure; did not want the bubbles to cause the flow to reflux into gastric artery and cause permanent damage to the stomach  
  - Limit number of staff trained to prime and do set-up and ensure enough are available on treatment days         - No root cause identified 51                                                      52 13
- Could not pinpoint cause of bubbles  
- Limit number of staff trained to prime and do set-up and ensure enough are available on treatment days 51 35.1000 Y-90 Therasphere Events
* Prescribed 24,500 cGy, but administered 13,083 cGy
- 53% of dose
- CT scan verified dose was administered to correct location
- Remainder of dose hung up in catheter despite flushing
- Catheter tubing met manufacturers specifications
- No root cause identified 52


35.1000 Y-90 Therasphere Events                                      35.1000 Medical Events
14 35.1000 Y-90 Therasphere Events
* Prescribed 1,300 cGy to specific part of liver, but           SirSphere                                    7 received 931 cGy - 71% of dose
* Prescribed 1,300 cGy to specific part of liver, but received 931 cGy - 71% of dose  
  - Used 3 different written directives to fractionate the     - Wrong site                          2 delivery                                                   - Measurement unit error              1
- Used 3 different written directives to fractionate the delivery
  - Thought the small activity prescribed contributed to       - Written Directive error            1 under dose because of typical losses in the valve and
- Thought the small activity prescribed contributed to under dose because of typical losses in the valve and tubing
                                                                - High activity clogging              1 tubing
- Order higher dosages for any administration below 10 mCi
                                                                - Low activity administration        1
- Amend license to go to different manufacturer 53 SirSphere 7
  - Order higher dosages for any administration below 10 mCi
- Wrong site 2
  - Amend license to go to different manufacturer 53                                                         54 35.1000 Y-90 SirSphere Events                              35.1000 Y-90 SirSphere Events Wrong treatment site                               2       Wrong treatment site (cont.)
- Measurement unit error 1
* Prescribed 38.4 mCi to liver but received about 13           - Difficult visualizing arterial access to the tumor mCi to abdominal wall                                       - Micro-catheter was not advanced far enough into
- Written Directive error 1
    - Post-treatment scan appeared normal with small             correct artery uptake in bowel                                           - Pre-existing kidney impairment precluded using more
- High activity clogging 1
    - Pain in abdomen with erythema on abdomen -                 contrast thought dose was above 55 cGy but less than 1,000         - Add second monitor to refer to original arteriogram cGy                                                         without switching tasks and improve confidence of
- Low activity administration 1
    - Thought one-third of dose migrated up a venous             correct location ligament and lodged in abdominal wall                     - Take prophylactic measures for future patients with impaired kidney function 55*                                                        56 14
54 35.1000 Medical Events Wrong treatment site 2
* Prescribed 38.4 mCi to liver but received about 13 mCi to abdominal wall
- Post-treatment scan appeared normal with small uptake in bowel
- Pain in abdomen with erythema on abdomen -
thought dose was above 55 cGy but less than 1,000 cGy
- Thought one-third of dose migrated up a venous ligament and lodged in abdominal wall 55*
35.1000 Y-90 SirSphere Events Wrong treatment site (cont.)
- Difficult visualizing arterial access to the tumor
- Micro-catheter was not advanced far enough into correct artery
- Pre-existing kidney impairment precluded using more contrast
- Add second monitor to refer to original arteriogram without switching tasks and improve confidence of correct location
- Take prophylactic measures for future patients with impaired kidney function 56 35.1000 Y-90 SirSphere Events


35.1000 Y-90 SirSphere Events                                  35.1000 Y-90 SirSphere Events Wrong site                                                   Measurement Unit Error
15 Wrong site
* Prescribed 4,874 cGy to right lobe of liver, but
* Prescribed 4,874 cGy to right lobe of liver, but received 11,080 cGy to left lobe
* Prescribed 0.91 GBq, but received 8.9 mCi received 11,080 cGy to left lobe
- Human error
                                                                - Ordered 0.91 mCi - marked wrong box in computer
- Placed catheter in left hepatic artery instead of right hepatic artery 57 35.1000 Y-90 SirSphere Events Measurement Unit Error
                                                                - Did not multiply measured dose value by correction
* Prescribed 0.91 GBq, but received 8.9 mCi
  - Human error                                                  factor of 10
- Ordered 0.91 mCi - marked wrong box in computer
                                                                - Not identify until post-procedure check
- Did not multiply measured dose value by correction factor of 10  
  - Placed catheter in left hepatic artery instead of right    - Worksheet revised to be in SI units hepatic artery
- Not identify until post-procedure check
                                                                - Written directive sheet to be in SI units
- Worksheet revised to be in SI units
                                                                - Dose preparation and post-procedure forms to be in SI units 57                                                          58 35.1000 Y-90 SirSphere Events                                  35.1000 Y-90 SirSphere Events Written Directive Error                                       High activity clogging                              1
- Written directive sheet to be in SI units
* Prescribed 1,504 cGy to right lobe of liver, but
- Dose preparation and post-procedure forms to be in SI units 58 35.1000 Y-90 SirSphere Events Written Directive Error
* Prescribed 1,504 cGy to right lobe of liver, but received 1,498 cGy in left lobe
- Written directive prepared incorrectly - AU wanted to treat left lobe
- Identified after completion of the procedure
- AU did not indicate correct treatment site on written directive; AU did not forward pre-treatment information to the RSO
- Clinical staff failed to identify discrepancy during patient time-out just before the implantation 59 35.1000 Y-90 SirSphere Events High activity clogging 1
* Prescribed 4,320 cGy, but received 828 cGy - 19%
* Prescribed 4,320 cGy, but received 828 cGy - 19%
received 1,498 cGy in left lobe                              of the dose
of the dose
  - Written directive prepared incorrectly - AU wanted to      - Micro-catheter clogging due to unusually large treat left lobe                                              number of microspheres being used
- Micro-catheter clogging due to unusually large number of microspheres being used
  - Identified after completion of the procedure                - Prescribed activity was at high end of the treatment
- Prescribed activity was at high end of the treatment range
  - AU did not indicate correct treatment site on written        range directive; AU did not forward pre-treatment                - Patient administration delayed 1 day - 25% increase information to the RSO                                        in number of microspheres were needed to deliver
- Patient administration delayed 1 day - 25% increase in number of microspheres were needed to deliver the dose
  - Clinical staff failed to identify discrepancy during          the dose patient time-out just before the implantation              - Will use smaller aliquots and/or slower infusion rate 59                                                          60 15
- Will use smaller aliquots and/or slower infusion rate 60 35.1000 Y-90 SirSphere Events


35.1000 Y-90 SirSphere Events                              35.1000 Y-90 SirSphere Events Device malfunctioned                                1
16 Device malfunctioned 1
* Prescribed 19.6 mCi to left lobe of liver, but
* Prescribed 32.5 mCi but received 8 mCi - 25% of activity
* Prescribed 32.5 mCi but received 8 mCi - 25% of            received 10 mCi - 51% of activity activity                                                    - Planned to deliver activity in two split dosages
- Treatment device malfunctioned and ceased to deliver microspheres
  - Treatment device malfunctioned and ceased to              - Written directive not properly reviewed, so split one deliver microspheres                                        dosage in two instead of the total dosage in two
- Manufacturers representative was present, but cause of malfunction is unknown
  - Manufacturers representative was present, but cause      - Radiation oncologist failed to check the drawn of malfunction is unknown                                    dosages prior to injecting them
- Will return delivery device to manufacturer for technical analysis and root cause determination 61 35.1000 Y-90 SirSphere Events
  - Will return delivery device to manufacturer for          - Identified after injection when the remainder of the technical analysis and root cause determination              dosage was discovered 61                                                          62*
* Prescribed 19.6 mCi to left lobe of liver, but received 10 mCi - 51% of activity  
35.1000 Y-90 SirSphere Events                                                 Acronyms
- Planned to deliver activity in two split dosages
* Prescribed 19.6 mCi to left lobe of liver, but
- Written directive not properly reviewed, so split one dosage in two instead of the total dosage in two
* AU - Authorized User received 10 mCi - 51% of activity (cont.)
- Radiation oncologist failed to check the drawn dosages prior to injecting them
- Identified after injection when the remainder of the dosage was discovered 62*
35.1000 Y-90 SirSphere Events
* Prescribed 19.6 mCi to left lobe of liver, but received 10 mCi - 51% of activity (cont.)
- Lack of comprehension of dose draw worksheet
- Miscommunication and failure to review the written directive
- Failure to perform a safety pause and properly review the dosage to be administered against the written directive prior to the administration 63 35.1000 Y-90 SirSphere Events Acronyms
* AU - Authorized User
* cGy - centiGray
* cGy - centiGray
  - Lack of comprehension of dose draw worksheet
* FY - Fiscal Year
* FY - Fiscal Year
* GBq - Giga Becquerel
* GBq - Giga Becquerel
  - Miscommunication and failure to review the written
* HDR - High Dose Rate Remote Afterloader
* HDR - High Dose Rate Remote Afterloader directive
* I-131 - Iodine-131
* I-131 - Iodine-131
* I-124 - Iodine-124
* I-124 - Iodine-124
  - Failure to perform a safety pause and properly review
* IVB - Intravascular Brachytherapy
* IVB - Intravascular Brachytherapy the dosage to be administered against the written directive prior to the administration
* Ra-223 - Radium-223
* Ra-223 - Radium-223
* MBq - Mega Becquerel 63                                                          64 16
* MBq - Mega Becquerel 64


Acronyms
17 Acronyms
* µCi - microcurie
* µCi - microcurie
* mCi - millicurie
* mCi - millicurie
* MIBG - Metaiodobenzylguanidine
* MIBG - Metaiodobenzylguanidine
* Pd-103 - Palladium-103
* Pd-103 - Palladium-103
* RSO - radiation safety officer             QUESTIONS?
* RSO - radiation safety officer
* SI units - International System of Units
* SI units - International System of Units
* Y Yttrium-90 65           66 17
* Y Yttrium-90 65 QUESTIONS?
66


Subcommittee Charge
1 Appropriateness of Medical Event Reporting Subcommittee Report Ronald D. Ennis, M.D.
* To review the appropriateness of the required Appropriateness of Medical Event     elements of medical event reporting; the Reporting Subcommittee Report       adherence to these requirements; and recommend actions to improve reporting.
April 3, 2019 Subcommittee Charge
Ronald D. Ennis, M.D.
* Toreviewtheappropriatenessoftherequired elementsofmedicaleventreporting;the adherencetotheserequirements;and recommendactionstoimprovereporting.
April 3, 2019 Subcommittee Members                        Purpose of Reporting
Subcommittee Members
* An ME is reported to an Agreement State or NRC per 10 CFR
* Dr.Dilsizian
* Dr. Dilsizian                       35.3045 as summarized in Event Reporting Schedule for
* Dr.Ennis(Chair)
* Dr. Ennis (Chair)                   Agreement States 7/29/12 and SA300, Reporting Material Events - The information collected on  medical events  is
* Ms.Martin
* Ms. Martin                           invaluable in assessing trends or patterns, identifying generic
* Mr.Ouhib
* Mr. Ouhib                           issues or generic concerns, and recognizing any inadequacies or unreliability of specific equipment or procedures. The
* Ms.Shober
* Ms. Shober                           reported information is critical for initiating a timely and effective response to securityrelated events and will
* Ms.Weil Purpose of Reporting
* Ms. Weil                             significantly aid in understanding why the event occurred and identifying any actions necessary to improve the effectiveness of NRC and Agreement State regulatory programs.
* AnMEisreportedtoanAgreementStateorNRCper10CFR 35.3045assummarizedinEventReportingSchedulefor AgreementStates7/29/12andSA300,ReportingMaterial Events-Theinformationcollectedonmedicaleventsis invaluableinassessingtrendsorpatterns,identifyinggeneric issuesorgenericconcerns,andrecognizinganyinadequacies orunreliabilityofspecificequipmentorprocedures. The reportedinformationiscriticalforinitiatingatimelyand effectiveresponsetosecurityrelatedeventsandwill significantlyaidinunderstandingwhytheeventoccurredand identifyinganyactionsnecessarytoimprovetheeffectiveness ofNRCandAgreementStateregulatoryprograms.
1


Documents Reviewed                               Nuclear Material Events Database
2 Documents Reviewed
* SA300 FSME Procedure Approval Reporting Material
* SA300 FSMEProcedureApprovalReportingMaterial Events
* Nuclear Material Events Database (NMED)
* SA105 ReviewingtheCommonPerformanceIndicator, TechnicalQualityofIncidentandAllegationActivities
Events
* EventReportingforAgreementStatesofJuly29,2012
* Includes data from both Agreement States and
* NMEDAnnualReportof2017
* SA105  Reviewing the Common Performance Indicator,         NRC Technical Quality of Incident and Allegation Activities
* OASLetter7/2/14regardingproposalforapublicNMED
* NMED is managed by NRCs Office of Nuclear
* Rootcauseandcorrectiveactionpicklists
* Event Reporting for Agreement States of July 29, 2012        Material Safety and Safeguards
* NMEDcontent Nuclear Material Events Database
* NMED Annual Report of 2017
* NuclearMaterialEventsDatabase(NMED)
* The NMED contractor is responsible for coding
* IncludesdatafrombothAgreementStatesand NRC
* OAS Letter 7/2/14 regarding proposal for a public NMED       and quality control of information with general
* NMEDismanagedbyNRCsOfficeofNuclear MaterialSafetyandSafeguards
* Root cause and corrective action pick lists                  oversight from the NRC NMED Project Manager
* TheNMEDcontractorisresponsibleforcoding andqualitycontrolofinformationwithgeneral oversightfromtheNRCNMEDProjectManager
* NMED content
* AccesstoNMEDislimited NMED Issues
* Access to NMED is limited NMED Issues                                              NMED Issues
* Frequently,narrativeisinadequateforanACMUI reviewertounderstandanevent,itscauseand contributingfactorsandtheadequacyofthe correctiveaction.
* Frequently, narrative is inadequate for an ACMUI
* Attimes,thereappearstobeadisconnect betweenthenarrativeandthechosencausefrom thecausepicklist.
* NMED lacks information from some inspections reviewer to understand an event, its cause and            that has been conducted by the NRC region or contributing factors and the adequacy of the              Agreement State.
* Attimes,thereappearstobeadisconnect betweenthenarrativeandthechosencorrective actionfromthecorrectiveactionpicklist.
corrective action.
NMED Issues
* In 23% of MEs from FY 201718, either no cause or no corrective action was indicated in NMED
* NMEDlacksinformationfromsomeinspections thathasbeenconductedbytheNRCregionor AgreementState.
* At times, there appears to be a disconnect                report.
* In23%ofMEsfromFY201718,eithernocause ornocorrectiveactionwasindicatedinNMED report.
between the narrative and the chosen cause from
* Ofall2017MEs,11%areincompleteandan additional11%arependingadditional information.
* Of all 2017 MEs, 11% are incomplete and an the cause pick list.                                    additional 11% are pending additional
* Public,includingAUsandRSOs,onlyhaveaccess toanNMEDannualreport.
* At times, there appears to be a disconnect                information.
between the narrative and the chosen corrective
* Public, including AUs and RSOs, only have access action from the corrective action pick list.           to an NMED annual report.
2


Recommendations of the                                         Recommendations under Subcommittee                                Consideration by this Subcommittee
3 Recommendations of the Subcommittee
* Root cause and corrective action sections on NMED - In
* RootcauseandcorrectiveactionsectionsonNMED-In additiontothepicklists,anarrative,searchable,section shouldberequired.
* Modify how Event Reports are written:
* RequirerootcauseandcorrectiveactionsectionsinNMED, bothpicklistandnarrativesectionsalwaysbecompleted.
addition to the pick lists, a narrative, searchable, section   - Require the report use additional guidelines to be developed should be required.                                               by this subcommittee to assure more complete and useful
* Requireinformationgatheredfromanyinvestigationbe addedtoNMED.
* Require root cause and corrective action sections in NMED,         information is provided.
* RequirethatareportinNMEDbecompletedwithin12 months.
both pick list and narrative sections always be completed.     - Require the report be initially written by the AU and clinical
* RequireACMUIandNRCstafftopromulgatethefindingsof annualreportoftheACMUISubcommitteeonMedical Eventstothemedicalandmedicalphysicscommunities.
* Require information gathered from any investigation be            physicists and subsequently reviewed by the inspector.
Recommendations under Consideration by this Subcommittee
added to NMED.                                                 - Require the inspector interview all involved in the ME.
* ModifyhowEventReportsarewritten:
* Require that a report in NMED be completed within 12            - Require a report from the manufacturer be included if the months.                                                           event involved a device.
- Requirethereportuseadditionalguidelinestobedeveloped bythissubcommitteetoassuremorecompleteanduseful informationisprovided.
* Require ACMUI and NRC staff to promulgate the findings of        - Corrective action should include medical as well as technical.
- RequirethereportbeinitiallywrittenbytheAUandclinical physicistsandsubsequentlyreviewedbytheinspector.
annual report of the ACMUI Subcommittee on Medical Events to the medical and medical physics communities.         - Require the final report must be signed off by the AU, physicist and inspector.
- RequiretheinspectorinterviewallinvolvedintheME.
Conclusion                                                       Acronyms
- Requireareportfromthemanufacturerbeincludedifthe eventinvolvedadevice.
* Significant opportunities exist to enhance the
- Correctiveactionshouldincludemedicalaswellastechnical.
* ACMUI - Advisory Committee on the Medical Use of Isotopes utility of medical event reporting, the NMED
- RequirethefinalreportmustbesignedoffbytheAU, physicistandinspector.
* AU - Authorized user database, and the promulgation of the
Conclusion
* FSME Office of Federal and State Materials and Environmental Management Programs information to the user community.
* Significantopportunitiesexisttoenhancethe utilityofmedicaleventreporting,theNMED database,andthepromulgationofthe informationtotheusercommunity.
* FY - fiscal year
* TheSubcommitteeasksthatitbeableto continueevaluatingtheseissuesinmoredetail withagoalofcreatingasetofspecific recommendations.
* The Subcommittee asks that it be able to
Acronyms
* ME - medical event continue evaluating these issues in more detail
* ACMUI-AdvisoryCommitteeontheMedicalUseofIsotopes
* NMED - Nuclear Materials Event Database with a goal of creating a set of specific
* AU-Authorizeduser
* NRC - Nuclear Regulatory Commission recommendations.
* FSME OfficeofFederalandStateMaterialsand EnvironmentalManagementPrograms
* OAS - Organization of Agreement States
* FY-fiscalyear
* RSO - Radiation Safety Officer
* ME-medicalevent
* SA - State Agreement 3
* NMED-NuclearMaterialsEventDatabase
* NRC-NuclearRegulatoryCommission
* OAS-OrganizationofAgreementStates
* RSO-RadiationSafetyOfficer
* SA-StateAgreement


ACMUI Working Session
ACMUI Working Session
[CLOSED MEETING PORTION]
[CLOSED MEETING PORTION]
NO HANDOUT
NO HANDOUT  


Outline
1 Committee Reporting Structure Kellee Jamerson, ACMUI Coordinator Medical Radiation Safety Team April 4, 2019 Outline
* Current Reporting Structure Committee
* Current Reporting Structure
* Annual Review Reporting Structure
* Annual Review
* Meetings
* Meetings
* Discussion Kellee Jamerson, ACMUI Coordinator Medical Radiation Safety Team April 4, 2019 2
* Discussion 2
Current Reporting Structure           Annual Review The Commission
Current Reporting Structure 3
* In September 2012, the ACMUI EDO                    recommended to have an annual Director, NMSS              review of reporting structure.
The Commission EDO Director, NMSS Director, MSST ACMUI MSEB Annual Review
* In September 2012, the ACMUI recommended to have an annual review of reporting structure.
* This is the ninth annual review.
* This is the ninth annual review.
Director, MSST ACMUI                    MSEB 3                                    4 1
4


Meetings Two meetings at Headquarters each year
2 Meetings Two meetings at Headquarters each year
* March/April                                               Discussion
* March/April
* September/October Approximately 2-3 teleconferences (as needed) 5                                         6 Points of Contact                             Acronyms
* September/October Approximately 2-3 teleconferences (as needed) 5 Discussion 6
* Andrea Kock - MSST Director
Points of Contact
* EDO - Executive Director for
* Andrea Kock - MSST Director  
  - 301-415-2368; Andrea.Kock@nrc.gov           Operations
- 301-415-2368; Andrea.Kock@nrc.gov
* Christian Einberg - Designated Federal
* Christian Einberg - Designated Federal Officer (DFO), Chief, MSEB
* MSST - Division of Materials Safety, Officer (DFO), Chief, MSEB                   Security, States, and Tribal Programs
- 301-415-5422; Christian.Einberg@nrc.gov
  - 301-415-5422; Christian.Einberg@nrc.gov
* Kellee Jamerson - DFO, ACMUI Coordinator
* MSEB - Medical Safety and Events
- 301-415-7408; Kellee.Jamerson@nrc.gov 7
* Kellee Jamerson - DFO, ACMUI                 Assessment Branch Coordinator
Acronyms
* NMSS - Office of Nuclear Material
* EDO - Executive Director for Operations
  - 301-415-7408; Kellee.Jamerson@nrc.gov       Safety and Safeguards 7                                        8 2
* MSST - Division of Materials Safety, Security, States, and Tribal Programs
* MSEB - Medical Safety and Events Assessment Branch
* NMSS - Office of Nuclear Material Safety and Safeguards 8


Special Presentation to Ms. Laura Weil NO HANDOUT
Special Presentation to Ms. Laura Weil NO HANDOUT  


Thoughts on Leaving the ACMUI NO HANDOUT
Thoughts on Leaving the ACMUI NO HANDOUT  


Commission Meeting with the ACMUI NO HANDOUT
Commission Meeting with the ACMUI NO HANDOUT  


Group Photo NO HANDOUT
Group Photo NO HANDOUT  


Subcommittee Members ACMUI
1 ACMUI Bylaws Subcommittee Laura Weil April 4, 2019 Subcommittee Members
* Robert Schleipman, M.D.
* Robert Schleipman, M.D.
Bylaws Subcommittee
* Michael Sheetz
* Michael Sheetz
* Megan Shober Laura Weil
* Megan Shober
* Laura Weil (chair)
* Laura Weil (chair)
April 4, 2019 NRC Staff Resource: Sophie Holiday Subcommittee Charge                   Existing Language in the Bylaws Section 1.3.6 currently states:
NRC Staff Resource: Sophie Holiday Subcommittee Charge
* Review ACMUI Bylaws and recommend updates The Chair may take part in the discussion of any
* Review ACMUI Bylaws and recommend updates
* Particular focus on the role of the ACMUI subject before the ACMUI and may vote. The Chairman and his/her participation on    Chair should not use the power of the Chair to bias subcommittees                            the discussion. Any dispute over the Chairs level of advocacy shall be resolved by a vote on the Chairs continued participation in the discussion of the subject.
* Particular focus on the role of the ACMUI Chairman and his/her participation on subcommittees Existing Language in the Bylaws Section 1.3.6 currently states:
1
The Chair may take part in the discussion of any subject before the ACMUI and may vote. The Chair should not use the power of the Chair to bias the discussion. Any dispute over the Chairs level of advocacy shall be resolved by a vote on the Chairs continued participation in the discussion of the subject.


Suggested Additional Language                           Existing Language - Conduct of Members The Subcommittee proposes to add the following                   Section 4.1 currently states:
2 Suggested Additional Language The Subcommittee proposes to add the following language:
language:
In matters where the ACMUI Chairs unique experience and knowledge would be especially informative, the Chair may serve on relevant subcommittees. In these instances, the ACMUI Chair will not chair the subcommittee.
If a member believes that he or she may have a In matters where the ACMUI Chairs unique                        conflict of interest with regard to an agenda item to experience and knowledge would be especially                    be addressed by the ACMUI, this member should informative, the Chair may serve on relevant                    divulge it to the Chair and the DFO as soon as subcommittees. In these instances, the ACMUI                    possible and before the ACMUI discusses it as an Chair will not chair the subcommittee.                          agenda item. ACMUI members must recuse themselves from discussion of any agenda item in which they have a conflict of interest.
Existing Language - Conduct of Members Section 4.1 currently states:
Suggested Language - Conduct of Members                                         Recommendations The Subcommittee proposes to add the following:
If a member believes that he or she may have a conflict of interest with regard to an agenda item to be addressed by the ACMUI, this member should divulge it to the Chair and the DFO as soon as possible and before the ACMUI discusses it as an agenda item. ACMUI members must recuse themselves from discussion of any agenda item in which they have a conflict of interest.
* ACMUI Chair should be permitted to serve as a subcommittee member (not chair) when his/her Members cannot personally and substantially participate in specific expertise is necessary. A specific the review of any particular matter (including general matters such as a rulemaking) that could directly and             statement to that effect should be included in the predictably affect their personal financial interest or the       ACMUI Bylaws.
Suggested Language - Conduct of Members The Subcommittee proposes to add the following:
financial interest of:
Members cannot personally and substantially participate in the review of any particular matter (including general matters such as a rulemaking) that could directly and predictably affect their personal financial interest or the financial interest of:  
      - Their spouse or minor child
- Their spouse or minor child  
* Explicit language defining financial Conflict of
- Their general partner or organization in which they serve as an officer, director, trustee, general partner, or employee  
      - Their general partner or organization in which they         Interest (COI) should be inserted in bylaws.
- An organization with which they are negotiating or have an arrangement for prospective employment Recommendations
serve as an officer, director, trustee, general partner, or employee
* ACMUI Chair should be permitted to serve as a subcommittee member (not chair) when his/her specific expertise is necessary. A specific statement to that effect should be included in the ACMUI Bylaws.
      - An organization with which they are negotiating or have an arrangement for prospective employment 2
* Explicit language defining financial Conflict of Interest (COI) should be inserted in bylaws.


Acronyms ACMUI - Advisory Committee on the Medical Uses of Isotopes COI -   Conflict of Interest DFO -   Designated Federal Officer 3
3 Acronyms ACMUI -
Advisory Committee on the Medical Uses of Isotopes COI -
Conflict of Interest DFO -
Designated Federal Officer


U.S. Nuclear Regulatory Commission (NRC)
U.S. Nuclear Regulatory Commission (NRC)
Line 880: Line 1,043:
: 2. What other clarifications or additions to the ACMUI Bylaws, if any, should be considered?
: 2. What other clarifications or additions to the ACMUI Bylaws, if any, should be considered?
Discussion:
Discussion:
: 1. ACMUI Chair participation on subcommittees It has been the practice of the NRC to prohibit the participation of the ACMUI Chair in subcommittee deliberations and recommendations. This was recently brought to the attention of the incoming ACMUI Chairman, Dr. Palestro, who was asked to relinquish his position as Chair of an ongoing subcommittee in anticipation of his role as ACMUI Chairman. Dr. Palestro felt that this issue should be investigated by a subcommittee, and an explicit recommendation be made to the ACMUI, with potential clarification in the ACMUI Bylaws. The current ACMUI Chair and Vice Chair would not vote on the recommendations put forth by this Subcommittee.
: 1. ACMUI Chair participation on subcommittees It has been the practice of the NRC to prohibit the participation of the ACMUI Chair in subcommittee deliberations and recommendations. This was recently brought to the attention of the incoming ACMUI Chairman, Dr. Palestro, who was asked to relinquish his position as Chair of an ongoing subcommittee in anticipation of his role as ACMUI Chairman. Dr. Palestro felt that this issue should be investigated by a subcommittee, and an explicit recommendation be made to the ACMUI, with potential clarification in the ACMUI Bylaws. The current ACMUI Chair and Vice Chair would not vote on the recommendations put forth by this Subcommittee.  


The ACMUI Bylaws do not address this point, nor does the ACMUI Charter. The documents of our sister NRC Federal Advisory Committee Act (FACA) Committee, Advisory Committee on Reactor Safeguards (ACRS) are also generally silent on this issue, although the ACRS Chair is the designated Chair of a standing subcommittee.
The ACMUI Bylaws do not address this point, nor does the ACMUI Charter. The documents of our sister NRC Federal Advisory Committee Act (FACA) Committee, Advisory Committee on Reactor Safeguards (ACRS) are also generally silent on this issue, although the ACRS Chair is the designated Chair of a standing subcommittee.
Line 886: Line 1,049:
Each member of the ACMUI has a specific area of expertise. In some cases, there is no duplication of expertise among the ACMUI members. The Subcommittee felt that all subcommittees should be able to avail themselves of the relevant expertise of any member of the ACMUI. The potential for benefit of specific expertise on any given subcommittee outweighs the potential for undue influence by the position of Chair.
Each member of the ACMUI has a specific area of expertise. In some cases, there is no duplication of expertise among the ACMUI members. The Subcommittee felt that all subcommittees should be able to avail themselves of the relevant expertise of any member of the ACMUI. The potential for benefit of specific expertise on any given subcommittee outweighs the potential for undue influence by the position of Chair.
The example given was the recent subcommittee relating to gamma stereotactic radiosurgery (GSR) licensing guidance. Only one member of the ACMUI had specific and significant GSR expertise. Had that one member been the ACMUI Chair, and prohibited from subcommittee participation, the subcommittee would have been deprived of essential information and input in its deliberations. Concern was expressed that ACMUI Chair participation on a subcommittee should not overburden or compromise the ability of the Chair to perform the duties of ACMUI Chair; so it is proposed that the ACMUI Chair should not be asked to serve as any subcommittee chair.
The example given was the recent subcommittee relating to gamma stereotactic radiosurgery (GSR) licensing guidance. Only one member of the ACMUI had specific and significant GSR expertise. Had that one member been the ACMUI Chair, and prohibited from subcommittee participation, the subcommittee would have been deprived of essential information and input in its deliberations. Concern was expressed that ACMUI Chair participation on a subcommittee should not overburden or compromise the ability of the Chair to perform the duties of ACMUI Chair; so it is proposed that the ACMUI Chair should not be asked to serve as any subcommittee chair.
The Subcommittee also discussed whether explicit Bylaws language is required to address this question (or whether a formal position expressed and captured at the ACMUI meeting would be adequate). The membership of the ACMUI turns over completely every eight years or sooner, and NRC staff rotate in and out of the medical team with unpredictable frequency. It is challenging to research areas of tradition and practice such as this. The minutes and transcripts of ACMUI meetings, while available, are not indexed by subject. It was felt that there are potential limits to ACMUI institutional memory, such that inclusion of specific language in the Bylaws would be the most efficient way to address this issue. New language is suggested (in bold italics) to be inserted in the existing Bylaws statement regarding ACMUI Chair discussion, participation, and voting rights. Section 1.3.6):
The Subcommittee also discussed whether explicit Bylaws language is required to address this question (or whether a formal position expressed and captured at the ACMUI meeting would be adequate). The membership of the ACMUI turns over completely every eight years or sooner, and NRC staff rotate in and out of the medical team with unpredictable frequency. It is challenging to research areas of tradition and practice such as this. The minutes and transcripts of ACMUI meetings, while available, are not indexed by subject. It was felt that there are potential limits to ACMUI institutional memory, such that inclusion of specific language in the Bylaws would be the most efficient way to address this issue. New language is suggested (in bold italics) to be inserted in the existing Bylaws statement regarding ACMUI Chair discussion, participation, and voting rights. Section 1.3.6):  


The Chair may take part in the discussion of any subject before the ACMUI and may vote. The Chair should not use the power of the Chair to bias the discussion. Any dispute over the Chairs level of advocacy shall be resolved by a vote on the Chairs continued participation in the discussion of the subject. In matters where the ACMUI Chairs unique experience and knowledge would be especially informative, the Chair may serve on relevant subcommittees. In these instances, the ACMUI Chair will not chair the subcommittee.
The Chair may take part in the discussion of any subject before the ACMUI and may vote. The Chair should not use the power of the Chair to bias the discussion. Any dispute over the Chairs level of advocacy shall be resolved by a vote on the Chairs continued participation in the discussion of the subject. In matters where the ACMUI Chairs unique experience and knowledge would be especially informative, the Chair may serve on relevant subcommittees. In these instances, the ACMUI Chair will not chair the subcommittee.
Line 896: Line 1,059:
Their spouse or minor child Their general partner or organization in which they serve as an officer, director, trustee, general partner, or employee An organization with which they are negotiating or have an arrangement for prospective employment However, the Subcommittee welcomes staff input on other language that will provide adequate clarification.
Their spouse or minor child Their general partner or organization in which they serve as an officer, director, trustee, general partner, or employee An organization with which they are negotiating or have an arrangement for prospective employment However, the Subcommittee welcomes staff input on other language that will provide adequate clarification.
Summary of recommendations:
Summary of recommendations:
The Subcommittee recommends that the ACMUI Chair be permitted to serve as subcommittee member (not chair) when his/her specific expertise is necessary. A specific statement to that effect should be included in the ACMUI Bylaws.
The Subcommittee recommends that the ACMUI Chair be permitted to serve as subcommittee member (not chair) when his/her specific expertise is necessary. A specific statement to that effect should be included in the ACMUI Bylaws.  


The Subcommittee recommends that more explicit language be included in the ACMUI Bylaws defining conflict of interest with respect to participation of individual ACMUI members in discussion of matters that come before the Committee.
The Subcommittee recommends that more explicit language be included in the ACMUI Bylaws defining conflict of interest with respect to participation of individual ACMUI members in discussion of matters that come before the Committee.
Respectfully submitted.
Respectfully submitted.
The ACMUI Bylaws Subcommittee
The ACMUI Bylaws Subcommittee  
 
Open Forum NO HANDOUT
 
Monday Tuesday Wednesday Thursday Friday 2
3 4
5 6
Labor Day X
9 10 11 12 13 16 17 18 19 20 ASTRO Annual Meeting ASTRO Annual Meeting ASTRO Annual Meeting X
23 24 25 26 27 30 Rosh Hashana September 2019
 
Monday Tuesday Wednesday Thursday Friday 1
2 3
4 Rosh Hashana 7
8 9
10 11 X
Yom Kippur 14 15 16 17 18 Columbus Day Sukkot Sukkot


Open Forum NO HANDOUT
21 22 23 24 25 Shmini Atzeret Simchat Torah


September 2019 Monday        Tuesday        Wednesday      Thursday    Friday 2              3              4          5        6 Labor Day          X 9              10              11          12        13 16              17              18          19        20 ASTRO Annual    ASTRO Annual    ASTRO Annual Meeting        Meeting        Meeting X
28 29 30 31
23              24              25          26        27 30 Rosh Hashana


October 2019 Monday            Tuesday        Wednesday      Thursday    Friday 1              2          3        4 Rosh Hashana 7                8              9          10        11 X                              Yom Kippur 14              15            16          17        18 Columbus Day        Sukkot Sukkot 21              22            23          24        25 Shmini Atzeret    Simchat Torah 28              29            30          31}}
October 2019}}

Latest revision as of 04:07, 5 January 2025

Advisory Committee on the Medical Uses of Isotopes (ACMUI) April 3-4, 2019 Meeting Ebinder
ML19081A145
Person / Time
Issue date: 03/22/2019
From:
Office of Nuclear Material Safety and Safeguards
To:
Jamerson, Kellee
References
Download: ML19081A145 (78)


Text

MEETING AGENDA ADVISORY COMMITTEE ON THE MEDICAL USES OF ISOTOPES April 3-4, 2019 Three White Flint North Building, 11601 Landsdown Street, Room 1-C03/1-C05, North Bethesda, Maryland 20852 NOTE: Sessions of the meeting may be closed pursuant to 5 U.S.C. 552(b) to discuss organizational and personnel matters that relate solely to internal personnel rules and practices of the ACMUI; information the release of which would constitute a clearly unwarranted invasion of personal privacy; information the premature disclosure of which would be likely to significantly frustrate implementation of a proposed agency action; and disclosure of information which would risk circumvention of an agency regulation or statute.

Wednesday, April 3, 2019 OPEN SESSION

1. Opening Remarks Mr. Einberg will formally open the meeting and Ms. Kock will provide opening remarks.

C. Einberg, NRC A. Kock, NRC

2.

Old Business Ms. Holiday will review past ACMUI recommendations and provide NRC responses.

S. Holiday, NRC 8:30 - 10:30

3.

Open Forum The ACMUI will identify medical topics of interest for further discussion.

ACMUI

4.

Yttrium-90 Microspheres Brachytherapy Licensing Guidance Subcommittee Report Dr. OHara will discuss the subcommittees recommendations on the NRCs draft Revision 10 to the Yttrium-90 Microspheres Brachytherapy Licensing Guidance.

M. OHara, ACMUI

5.

Lucerno Dynamics LARA Infiltration Detection Mr. Lattanze will provide an overview about a product that can assist with detecting nuclear medicine injection infiltrations.

R. Lattanze, Lucerno Dynamics 10:30 - 10:45 BREAK 10:45 - 12:00

6.

Summary of Changes to 10 CFR Part 35 Ms. Dimmick will discuss the changes to the final rule 10 CFR Part 35 that went into effect January 2019.

L. Dimmick, NRC

7.

Germanium-68/Gallium-68 Subcommittee Report Ms. Shober will discuss the subcommittees recommendations on the NRCs draft revision to the Germanium-68/Gallium-68 Pharmacy Grade Generator Licensing Guidance.

M. Shober, ACMUI 12:00 - 1:00 LUNCH

8.

Medical Related Events Dr. Howe will provide an update on recent medical events.

DB. Howe, NRC 1:00 - 2:45

9.

Appropriateness of Medical Event Reporting Subcommittee Report Dr. Ennis will discuss the subcommittees recommendations on the appropriateness of the required medical event reporting in accordance with 10 CFR 35.3045.

R. Ennis, ACMUI

2:45 - 3:15 BREAK (public portion ends)

WEDNESDAY, APRIL 3, 2019 CLOSED SESSION 3:15 - 5:00

10. ACMUI Working Session: Biennial Evaluations and Commission Meeting Presentation Development ACMUI THURSDAY, APRIL 4, 2019 OPEN SESSION
11. ACMUI Reporting Structure Members will discuss the reporting structure of the Committee and provide feedback to the NRC staff.

K. Jamerson, NRC 8:30 - 9:30

12. Special Presentation to Ms. Weil Mr. Moore will make a special presentation to Ms. Laura Weil S. Moore, NRC
13. Thoughts on Leaving the ACMUI Ms. Weil will share her thoughts on leaving the ACMUI, after serving two full terms (8 years).

L. Weil, ACMUI 9:30 - 10:00 BREAK 10:00 - 12:15

14. Commission Meeting with the ACMUI The ACMUI will brief the Commission on various topics in a public meeting.

ACMUI

15. Group Photo The ACMUI will take a group photo with and without the Commission.

ACMUI 12:15 - 1:15 LUNCH

16. ACMUI Bylaws Subcommittee Report Ms. Weil will discuss the subcommittees recommendations for changes to the ACMUIs Bylaws - with particular focus on the ACMUI Chairs role with respect to subcommittees.

L. Weil, ACMUI 1:15 - 2:45

17. Open Forum The ACMUI will discuss medical topics of interest previously identified.

ACMUI

18. Administrative Closing Ms. Jamerson will provide a meeting summary and propose dates for the fall 2019 meeting.

K. Jamerson, NRC 2:45 ADJOURN

Opening Remarks NO HANDOUT

2007 ACMUI RECOMMENDATIONS AND ACTION ITEMS ITEM DATE 33 NRC staff should modify 10 CFR 35.491(b)(2) to specify 'superficial ophthalmic treatments. Additionally, NRC staff should change the title of 10 CFR 35.491 to specify superficial ophthalmic treatments.

10/22/07 Accepted Open Delayed 34 NRC staff should not revise 10 CFR 35.491 (intended for ophthalmologists) to include training and experience for the new intraocular device. Instead, NRC staff should regulate the new intraocular device under 10 CFR 35.490.

10/22/07 Partially Accepted Open Delayed STATUS 1

2008 ACMUI RECOMMENDATIONS AND ACTION ITEMS ITEM DATE 19 NRC staff should accept the six recommendations of the Permanent Implant Brachytherapy Subcommittee report with one modification.

Recommendation six should be modified to read, When a Written Directive (WD) is required, administrations without a prior WD are to be reported as regulatory violations and may or may not constitute an ME.

10/27/08 Pending Open Delayed 26 NRC staff should revise 10 CFR 35.40 to clarify that the AU should sign and date both the pre-implantation and post-implantation portions of the WD for all modalities with two part WDs 10/28/08 Accepted Open Delayed 27 NRC staff should revise 10 CFR 35.40 to clarify that an AU, not the AU, should sign and date both the pre-implantation and post-implantation portions of the WD for all modalities with two part WDs.

[Note this allows for one AU to sign the pre-implantation portion of the WD and another AU to sign the post-implantation portion of the WD]

10/28/08 Accepted Open Delayed STATUS 1

2011 ACMUI RECOMMENDATIONS AND ACTION ITEMS ITEM DATE 6

ACMUI created an action item to reevaluate its satisfaction with the reporting structure annually.

1/12/11 ACMUI Action Open indefinitely STATUS 1

2016 ACMUI RECOMMENDATIONS AND ACTION ITEMS ITEM DATE 16 Dr. Alderson formed a subcommittee to review and evaluate the training and experience requirements for all modalities in 10 CFR Part 35. Subcommittee members include: Dr.

Langhorst, Dr. Metter, Dr. Palestro (chair), Dr. Suh and Ms. Weil. NRC staff resource: Maryann Abogunde.

2/25/2016 ACMUI Action Open Indefinitely 24 The ACMUI will contact their respective professional organizations to request and encourage interactions between the NRC and ACMUI with their organization.

3/18/2016 ACMUI Action Open Indefinitely 39 The Committee recommended that staff issue a generic communication (information notice) regarding tubing issues (kinking, connection, hub etc.) during the administration of Y-90 microspheres brachytherapy.

10/6/16 NRC Action Open 42 The Committee recommended that the Pathway 2 remain for the Y-90 Microsphere Brachytherapy Licensing Guidance. The NRC/OAS working group should determine what the requirements should be for the proctoring of cases by the manufacturer(s).

10/7/16 NRC Action Open 43 The Committee recommended to support the update to the waste disposal section and the review of the Y-90 radiation safety issues in autopsy and cremation in the draft revision of the Y-90 Microsphere Brachytherapy Licensing Guidance.

10/7/16 NRC Action Open 44 For the NorthStar Guidance Subcommittee: The Committee recommended that NorthStar provide a video clip of how the system operates in the training module.

10/7/16 NRC Action Open 45 For the NorthStar Guidance Subcommittee: Given the unique design and operation of the NorthStar system, the Committee agreed that NorthStar should have sole responsibility for the content of the training course and certification.

10/7/16 NRC Action Open 46 For the NorthStar Guidance Subcommittee: The Committee stated that it is important to clarify that a System Administrator can be any individual assigned by the AU without a specifically defined educational or training background. Given the unique role of the System Administrator, perhaps that individual should be named on the license.

10/7/16 NRC Action Open STATUS 1

2016 ACMUI RECOMMENDATIONS AND ACTION ITEMS ITEM DATE STATUS 47 For the NorthStar Guidance Subcommittee:The Committee recommended an explicit statement regarding the System Administrator Designee, although it may not have been intended, one could infer from the description of the system administrator designee that there can be only one designee. Presumably, there can, and should, be multiple System Administrator designees.

10/7/16 NRC Action Open 48 For the NorthStar Guidance Subcommittee:The Committee recommended that the appropriate time period allotted for training on the changes and the responsibility of the vendor/manufacturer to inform and train the applicants on changes in a timely manner be specified.

10/7/16 NRC Action Open 49 For the NorthStar Guidance Subcommittee: The Committee recommended that the guidance clarify whether the generator will be non-operational until ALL individuals handling the generator are trained in the changes, including the AU, RSO, system administrator, etc. or does it require only the AU to be trained on the changes. If the latter, once the AU is trained on the changes, is the AU then solely responsible for training all others on these changes? This should be stated.

10/7/16 NRC Action Open 50 For the NorthStar Guidance Subcommittee: The Committee recommended using the term, individual tasks throughout the document for consistency and to clarify that there is only one protocol and software program with this system.

10/7/16 NRC Action Open 51 For the NorthStar Guidance Subcommittee: The Committee recommended that the manufacturers procedures be reviewed and incorporated into the Licensing Guidance itself.

10/7/16 NRC Action Open 52 For the NorthStar Guidance Subcommittee: The Committee recommended that the term higher than expected be defined in terms of a maximum specific exposure or exposure-rate limit which a survey meter should be capable of measuring.

10/7/16 NRC Action Open 53 The Committee endorsed the NorthStar Mo-99/Tc-99m Generator (RadioGenix) Subcommittee Report.

10/7/16 ACMUI Action Open 2

2017 ACMUI RECOMMENDATIONS AND ACTION ITEMS ITEM DATE 1

The Committee requested that the recommendations and actions pertaining to the Part 35 rulemaking be reviewed during the fall 2017 ACMUI meeting and that additional time be provided to review each item.

4/26/2017 NRC Action Open 13 The ACMUI recommended that the NRC establish a program allowing a medical use licensee to evaluate MEs as described in 10 CFR 35.3045, in NRC 10 CFR 35.1000 licensing guidance, and in 10 CFR 35.3047 with an approved patient safety program.

9/11/2017 NRC Action Open 14 The ACMUI recommended that NRC licensees with an NRC-approved patient safety program will continue to report medical events as required with the following conditions:

(1) The NRC will not include this event notification in the Event Notification Report posted on its website. If this is not possible, the ME notification posted on the website will leave the licensee information and location anonymous. (2) The NRC will not conduct a reactive inspection of the ME unless the event results or will result in death, unintended permanent harm, or unintended significant temporary harm for which medical intervention was or will be required to alleviate the harm or reduce radiation effects. (3)

The medical use licensee will write a report available for the next NRC inspection describing the event cause and corrective action taken. (4) NRC will develop, with ACMUI advice, new temporary inspection procedures for NRC review of licensee patient safety event reports, and will evaluate, with ACMUI advice, need to change enforcement manual procedures regarding MEs to support a test of this program.

9/11/2017 NRC Action Open STATUS 1

2017 ACMUI RECOMMENDATIONS AND ACTION ITEMS 15 The ACMUI recommended that NRC should test out this program with two large medical centers, two community hospitals, two rural hospitals, and two patient clinics for a year, evaluating the ME reports with the ACMUI. During this test period, the NRC, with advice from the ACMUI, should do the following: (1) Develop the minimum criteria for patient safety program reviews; (2) Assess how this change in ME reporting impacts the NRCs ability to protect patient health and to minimize danger to the patients life; and (3)

Evaluate the different types of patient safety programs in how lessons learned from their patient safety incident reviews are shared with the medical community.

9/11/2017 NRC Action Open 16 The ACMUI recommended that after completion of the test year, the NRC should consider opening the program to all NRC medical use licensees who request approval of their patient safety program, and to Agreement States who request to implement the program with their medical licensees.

9/11/2017 NRC Action Open 17 The ACMUI recommended that the NRC redefine its perspective of patient safety to be different from occupational safety and from public safety.

9/11/2017 NRC Action Open 18 The ACMUI recommended that NRC partner with the Department of Health and Human Services (HHS), specially the Agency for Healthcare and Research and Quality (AHRQ),

and ACMUI to develop a national database taxonomy specific for reporting patient events involving medical use of byproduct material.

9/11/2017 NRC Action Open 19 The ACMUI recommended that the NRC Update its Medical Use Policy Statement and 10 CFR 35 event reporting regulations for patient safety programs to verify the active involvement of the licensees patient safety program review of medical errors and reporting of reviews to the national patient safety database.

9/11/2017 NRC Action Open 20 The ACMUI endorsed the Medical Event Reporting and Impact on Medical Licensee Patient Safety Culture Draft Report, as amended to support the concept of the pilot program with the total number of sites and duration to be determined at a later date and to include the Patient Intervention Subcommittee recommendations as an addendum.

9/11/2017 ACMUI Action Open 2

2018 ACMUI RECOMMENDATIONS AND ACTION ITEMS ITEM DATE 1

The ACMUI recommended that there be no breast feeding cessation for 11C, 13N, 15O, and 82Rb; a 12-hours cessation for 18F-labeled and 68Ga-labeled; a 24-hours cessation for 99mTc-labeled; 7-days cessation for 123I-NaI and 111In-leukocytes; 14 days cessation for 201-Tl-chloride; 28 days cessation for 67Ga and 89Zr; 35 days for 177Lu, diagnostic; and total stop of breastfeeding for 131I-NaI, 177Lu, therapeutic, 223Ra and all alpha emitters.

2/15/2018 NRC Action Open 2

The ACMUI endorsed the Nursing Mother Guidelines for the Medical Administration of Radioactive Materials Subcommittee Report, as amended to: (1) include recommended cessation periods for both 100 and 500 mrem limits; (2) acknowledge benefits of breastfeeding; (3) incorporate corrections as needed for gamma ray constants; (4) convert the units from conventional to SI units; and (5) correct references.

2/15/2018 ACMUI Action Open 3

The ACMUI recommended that the AU be physically present during the initiation of all Leksell Gamma Knife Icon treatments.

However, the AU could be present in the department (defined as a two minute walk to the console area) during treatment but is immediately available to come to the treatment room. If there is an interruption of treatment secondary to medical or mechanical issues, the AU must return to the console prior to reinitiation.

2/15/2018 NRC Action Closed STATUS 1

2018 ACMUI RECOMMENDATIONS AND ACTION ITEMS 4

The ACMUI recommended as a best practice that appropriately trained nursing or auxiliary staff be present at the console to respond to any immediate medical needs.

2/15/2018 ACMUI Action Closed 5

The ACMUI unanimously endorsed the Physical Presence Requirements for the Leksell Gamma Knife Icon Subcommittee Report.

2/15/2018 ACMUI Action Closed 6

The NRC staff will create an ACMUI Recommendations Web page and post the full ACMUI Recommendations and Actions charts on the ACMUI Web page from 2007 - present 3/7/2018 NRC Action Open Indefinitely 7

The NRC staff will send out a medical list server announcement to inform subscribers of the availability of ACMUI and NRC ME slides each time that they are posted on the Medical Toolkit.

3/7/2018 NRC Action Open Indefinitely 9

Dr. Palestro appointed Ms. Megan Shober and Mr. Zoubir Ouhib to the Physical Presence Requirements for the Leksell Gamma Knife Icon Subcommittee. Subcommittee membership includes: Dr. Ennis, Mr. Ouhib, Ms. Shober, Dr. Suh (Chair),

and Ms. Weil. NRC POC: Sophie Holiday 7/16/2018 ACMUI Action Closed 11 The ACMUI endorsed the report of the Subcommittee on the Nursing Mother Guidelines for the Medical Administration of Radioactive Materials with added language that this document reflects the FDA approved radiopharmaceuticals on the market at this time and that licensees are obligated to carefully evaluate radiopharmaceuticals that are not encompassed in this report to keep exposures ALARA to patients, staff, and members of the public. The recommendation passed unanimously.

9/20/2018 ACMUI Action Open 2

2018 ACMUI RECOMMENDATIONS AND ACTION ITEMS 12 The ACMUI endorsed the Leksell Gamma Knife PerfexionTM and Leksell Gamma Knife IconTM Licensing Guidance Subcommittee Report. The recommendation passed unanimously.

9/20/2018 ACMUI Action Closed 13 The NRC staff will provide the Committee with a copy of the Briefing on Results of the Agency Action Review Meeting presentation slides on Yttrium-90 microspheres; SECY 0048, Annual Report to the Commission on Licensee Performance in the Nuclear Materials and Waste Safety Program Fiscal Year 2017, which includes a discussion on medical events involving Yttrium-90 microsphere brachytherapy; and the Strategic Programmatic Overview of the Fuel Facilities and Nuclear Materials Users Business Lines Commission meeting slides related to Yttrium-90.

9/21/2018 NRC Action Closed 14 Dr. Palestro amended the membership of the Training and Experience for All Modalities Subcommittee. Subcommittee membership now includes Dr. Metter (chair), Dr. Ennis, Dr.

Schleipman, Ms. Weil, Ms. Shober, and Mr. Sheetz. The NRC staff resource continues to be Ms. Maryann Ayoade.

9/20/2018 ACMUI Action Open 3

2018 ACMUI RECOMMENDATIONS AND ACTION ITEMS 15 Dr. Palestro formed a subcommittee to review the Germanium-68/Gallium-68 Pharmacy Grade Generator Licensing Guidance.

Subcommittee membership includes Ms. Shober (chair), Dr.

Metter, Mr. Sheetz, and Ms. Martin. The NRC staff resource is Dr. Said Daibes.

9/21/2018 ACMUI Action Open 16 Dr. Palestro formed a subcommittee to review the revisions to Regulatory Guide 8.39, Release of Patients Administered Radioactive Material. Subcommittee membership includes Mr.

Sheetz (chair), Ms. Shober, Dr. Dilsizian, Dr. Schleipman, Ms.

Martin, and Ms. Weil. The NRC staff resource is Dr. Said Daibes.

9/21/2018 ACMUI Action Open 17 Dr. Palestro formed a subcommittee to review the Yttrium-90 Microspheres Brachytherapy Sources and Devices TheraSphere and SIR_Spheres Licensing Guidance.

Subcommittee membership includes Dr. OHara (chair), Dr.

Dilsizian, Mr. Ouhib, Ms. Marin, Dr. Metter, and Dr. Schleipman.

The NRC staff resource is Dr. Katie Tapp.

9/21/2018 ACMUI Action Open 18 Dr. Palestro formed a subcommittee to review and update the ACMUI Bylaws as needed, including a review of the role of the ACMUI Chair and his or her participation on subcommittees.

Subcommittee membership includes Ms. Weil (chair), Dr.

Schleipman, Ms. Shober, and Mr. Sheetz. The NRC staff resource is Ms. Sophie Holiday.

9/21/2018 ACMUI Action Open 4

2018 ACMUI RECOMMENDATIONS AND ACTION ITEMS 19 Dr. Palestro formed a subcommittee to review the appropriateness of the required elements of medical event reporting, the adherence to these requirements, and recommend actions to improve reporting. Subcommittee membership includes Dr. Ennis (chair), Ms. Weil, Ms. Martin, Mr. Ouhib, Dr. Dilsizian, and Ms. Shober. The NRC staff resource is Ms. Lisa Dimmick 9/20/2018 ACMUI Action Open 20 The Committee recommended for the NRC to draft an Information Notice on the best practices that could help prevent medical events.

9/21/2018 NRC Action Open 21 The Committee requested a list of all the current ACMUI members, their contact information, information regarding each members term, and the subcommittee(s) they serve on. The Committee also requested that the NRC staff create a web page that lists the active subcommittees and subcommittees that have been sunset, their members with term expiration, NRC staff resource, and the specific charge of the subcommittee.

9/21/18 NRC Action Closed 22 The Committee tentatively scheduled the spring 2019 meeting for April 15-16, 2019. The alternate meeting dates are April 3-4, 2019, subject to Commission availability.

9/21/18 ACMUI Action Closed 5

2019 ACMUI RECOMMENDATIONS AND ACTION ITEMS ITEM DATE 1

The ACMUI recommended adding language into the draft Training and Experience Requirements for All Modalities Subcommittee report regarding the Committee's desire to work with the NRC staff to develop a curriculum for limited-scope authorized user pathway.

2/26/2019 ACMUI Action Open 2

The ACMUI endorsed the Training and Experience Requirements for All Modalities Subcommittee Report, and the recommendations included therein.

2/26/2019 ACMUI Action Open STATUS 1

Open Forum NO HANDOUT

1 ACMUI Sub-committee on the Draft Y-90 Microspheres Brachytherapy Licensing Guidance, Rev. 10 Michael OHara, Ph.D.

ACMUI FDA Representative April 3, 2019 Sub-Committee Members

  • Vasken Dilsizian, M.D.
  • Melissa Martin, M.S.
  • Darlene Metter, M.D.
  • Michael OHara, Ph.D. (Chair)
  • Zoubir Ouhib, M.S.
  • Robert Schleipman, Ph.D.

NRC Resource: Katie Tapp, Ph.D.

Background

  • Manual intra-arterial brachytherapy implants with unique properties for 1°and 2°hepatic malignancies
  • Regulated under 10 CFR 35.1000 Other Medical Uses of Byproduct Material or Radiation from Byproduct Material

Background

  • The licensing guidance was published in 2002 and revised in 2004, 2007, 2008, 2011 and 2016.
  • In Oct. 2016, the ACMUI provided comments on the initial draft Rev. 10 of the licensing guidance. Specific topics addressed included:
1. Consider the elimination of Pathway 2 (manufacturer AU training)
2. Update the waste and disposal section
3. Review Y-90 radiation safety issues in autopsy and cremation

2 Background

  • In Nov. 2017, the NRC published the draft Rev.

10 of the licensing guidance in the FR for public comment. The comment period ended in Jan.

2018.

  • In July 2018, the final Part 35 rule, Medical Use of Byproduct MaterialsMedical Event Definitions, Training and Experience, and Clarifying Amendments, was issued. The rule went into effect Jan. 14, 2019 for NRC licensees.

Background

  • The NRC/Agreement State WG updated the draft Revision 10 licensing guidance to include the criteria for T&E and medical event reporting, inventory requirement specifications, and waste disposal issues and aligned the guidance with the Part 35 rule.
  • After addressing public comments, the 2016 ACMUI comments, and the rule changes, the WG provided the Subcommittee with a revised draft guidance for its review and comment.

Subcommittee Charge To review the staffs draft Revision 10 of the Yttrium-90 Microsphere Brachytherapy Sources and Devices TheraSpheres and Sir-Spheres Licensing Guidance and provide any comments or recommendations for change/acceptance of the guidance.

Comments on the Licensing Guidance

  • The Subcommittee believes this is a well written and documented licensing guidance document.
  • Subcommittee endorses the draft Revision 10 of the licensing guidance, subject to the following specific changes

3 Specific Comments on the Licensing Guidance

  • Defining manufacturers representative
  • Keeping three hands-on cases for each type of microsphere delivery device. The Y-90 spheres are slightly different (glass or polymeric) and the delivery systems of the two devices have different characteristics
  • RSO familiarity required with all devices used at the facility
  • Evaluation of a possible ME for unexpected dose or activity to an organ or tissue other than the treatment site that is caused by catheter placement Specific Comments on the Licensing Guidance
  • Delineating the site to be treated more specifically (left hepatic lobe, right hepatic lobe)
  • Adding activity, date of administration and route of administration
  • Question whether intervention should be defined in the licensing guidance document

U.S. Nuclear Regulatory Commission (NRC)

Advisory Committee on the Medical Use of Isotopes (ACMUI)

Subcommittee on Yttrium-90 Microsphere Brachytherapy Sources and Devices TheraSphere and Sir-Spheres Licensing Guidance, Revision 10 Draft Report Submitted on: March 11, 2019 Subcommittee Charge The Subcommittees charge was to review the staffs draft Revision 10 of the Yttrium-90 Microsphere Brachytherapy Sources and Devices TheraSphere and Sir-Spheres Licensing Guidance and provide any comments or recommendations for change/acceptance of the guidance.

Subcommittee Members Dr. Vasken Dilsizan Mr. Zoubir Ouhib Ms. Melissa Martin Dr. Robert Schleipman Dr. Darlene Metter Dr. Michael OHara (Chair)

NRC Staff Resource: Dr. Katie Tapp Introduction Yttrium-90, a pure beta emitter, decays to stable zirconium-90 with a physical half-life of 64.1 hours1.157407e-5 days <br />2.777778e-4 hours <br />1.653439e-6 weeks <br />3.805e-7 months <br /> (2.67 days). The average energy of the beta emissions from yttrium-90 is 0.9367 MeV with an average penetration range of 2.5 mm and a maximum range of 11 mm in tissue. Following delivery of the yttrium-90 microspheres in tumorous liver tissue, the microspheres provide an embolic effect and the beta radiation emitted provides a therapeutic effect. The microspheres are delivered into the liver tumor through a catheter placed into the hepatic artery that supplies blood to the tumor. The microspheres, being unable to pass through the vasculature of the liver due to arteriolar capillary blockade, are trapped in the tumor and exert a local radiotherapeutic effect with some concurrent damage to surrounding normal liver tissue. There are currently two Y-90 based microsphere devices that have been reviewed by the FDA. They differ slightly in composition of the spheres and in the patient population for which they are approved.

TheraSphere consists of insoluble glass microspheres where yttrium-90 is an integral constituent of the glass. A preassembled single use TheraSphere Administration Set is provided for each dose. Also provided are re-usable accessories including an acrylic box base, top shield, removable side shield, bag hook and a RADOS RAD-60R radiation dosimeter (or equivalent). TheraSphere is an approved HDE device indicated for use in radiation treatment

or as neoadjuvant to surgery or transplantation in patients with unresectable hepatocellular carcinoma (HCC) who can have placement of appropriately positioned hepatic arterial catheters.

SIR-Spheres microspheres consist of biocompatible resin microspheres containing yttrium-90 with a size between 20 and 60 microns in diameter. The administration set includes a delivery box (an acrylic box base), delivery set (including all the catheters and connectors), and a V-vial (including the shielding). Sir-sphere are an approved PMA device for the treatment of unresectable metastatic liver tumors from primary colorectal cancer with adjuvant intrahepatic artery chemotherapy (IHAC) of FUDR (Floxuridine).

Background

The Yttrium-90 Microsphere Brachytherapy Sources and Devices TheraSphere and Sir-Spheres Licensing Guidance was published in 2002 and revised in 2004, 2007, 2008, 2011 and 2016. NRC staff, stakeholders and the ACMUI identified numerous issues that needed to be addressed. NRC staff and Agreement State Representatives formed a working group to address the issues and make any necessary revisions. Revision 10 updated the criteria for training and medical event reporting, inventory requirement specifications, and waste disposal issues and aligned the guidance with the Part 35 rule entitled Medical Use of Byproduct Materials Medical Event Definitions, Training and Experience, and Clarifying Amendments which went into effect on January 14, 2019 for NRC licensees.

Overall, the Subcommittee believes this is a well written and documented licensing guidance document. The Subcommittee endorses the draft Revision 10 of the licensing guidance, subject to the specific changes outlined below.

Specific Changes to the Guidance Considered by the Subcommittee and its Recommendations Page 8, section iii, line 3: The current section readsto support training provided by a Y-90 microsphere manufacturer representative involving: We suggest defining what manufacturers representative means. This will help to ensure the manufacturers trainer has the proper experience.

Page 9, section B, paragraph 2, line 2: This section currently reads unsupervised use should include at least 3 hands-on patient cases for each type of Y-90 microsphere requested. We suggest keeping three hands on cases for each type of microsphere delivery device. The Y-90 spheres are slightly different (glass or polymeric) and the delivery systems of the two devices have different characteristics. This will ensure that the user has documented experience with both device types.

Page 11, section 4.2, line 4: The current sentence reads, An RSO already listed on a license that includes one type of microsphere device does not require additional approval for the other type of microsphere device We suggest adding to the end of the sentence, but should be familiar with all devices used at the facility.

Page 13, section 5.1, paragraph 1, last sentence: The current sentence reads, Unexpected dose or activity to an organ or tissue other than the treatment site that is caused by catheter placement during delivery of the y-90 microspheres is not considered shunting. We suggest adding and should be evaluated as a possible medical event to the end of the sentence.

Page 14, section 5.2, paragraph 3, line 2: The current sentence reads, the treatment site, the radionuclide (including the physical form (Y-90 microspheres)); the model of spheres e.g.

TheraSpheres or Sir-Spheres) or manufacturer, the prescribed dose or activity, and if appropriate for the type of microsphere used, the statement or dose or activity delivered at stasis. We suggest describing the site to be treated more specifically (left lobe, right lobe)

Page 14, section 5.2, paragraph 3, line 4: The current sentence reads, the treatment site, the radionuclide (including the physical form (Y-90 microspheres)); the model of spheres e.g.

TheraSpheres or Sir-Spheres) or manufacturer, the prescribed dose or activity, and if appropriate for the type of microsphere used, the statement or dose or activity delivered at stasis. We suggest adding activity, date of administration and route of administration Page 14, section 5.2, paragraph 4, line 6: The sentence currently reads, anatomical description of the tissue intended to receive a radiation dose We suggest changing tissue to tissue(s). Segmented doses may be delivered to various anatomic locations.

Page 15, section 5.3, paragraph 1, line 3: The current sentence reads, as a result from patient intervention, as defined in 10 CFR 35.2... We question if the term intervention should be defined in the guidance document.

Page 16, section 5.3, paragraph 1, line 1: The sentence currently reads organ or tissue other than the treatment site We suggest that treatment site should be intended treatment.

Page 16, section 5.6, paragraph 2, line 2: The current sentence reads label syringes and syringe radiation shields with the radioactive drug. We believe the label should be explicit and include patient name, dose and date, and treatment site, if feasible.

Other Recommendations There are no other recommendations from the subcommittee.

Respectfully Submitted, Subcommittee on Yttrium-90 Microsphere Brachytherapy Sources and Devices TheraSphere and Sir-Spheres Licensing Guidance, Revision 10 Advisory Committee on the Medical Use of Isotopes Nuclear Regulatory Commission

1 NuclearMedicineInjection Infiltrations RonLattanze,Lucerno Dynamics ACMUIMeeting April3,2019 InfiltrationAgenda

  • Presentation-RonLattanze

- Overview

- Incidence

- Patientimplication/impact

- Solution

- RequestNRCandACMUIreconsidera1980 decisionregardinginfiltrations

  • Q&A-RonLattanze,Dr.DavidTownsend,and Dr.DanielSullivan Overview
  • Bolusinjectionqualitycritical
  • Infiltrationdefinitionandeffects
  • QualityControl(QC)forinjecteddose,but notthedosedeliveredintocirculation Overview-NRCandACMUI InfiltrationPosition
  • 1980 - MisadministrationReporting RequirementsFinalRule
  • 2008 - BostonVAreportsaninfiltrationasa MedicalEvent
  • 2002 - Misadministrationreplacedby MedicalEvent

- infiltrationsarevirtuallyimpossibletoavoid

2 NuclearMedicineInfiltrationRatesAreHigh

  • 2017AlbertaQI,9 centers:

- 15.0%(0% 28%)

- 20.0%(8% 44%)

RoutineImagingFieldofView

  • 200617Publisheddata:

- 15.2%(3% 23%)

  • 2018LaraQI,7centers:

- 6.2%(2% 16%)

Lesionquantificationis understated,butnooneknows wheninfiltrationisoutsidethe imagingFOV InfiltrationsCanMatter 50+referencessupport howdiagnostic radiopharmaceutical infiltrationscanharmor haveharmedpatients Day1Day3 MissedMetastaticLesion SUV Day1 Day5 Understated Lesion1 5.27 10.49 50%

Lesion2 3.97 5.94 33%

Lesion3 7.17 11.46 37%

Lesion4 2.62 5.73 54%

AdverselyAffectsAssessment ScanConclusions Patient11490SUV Change AdverselyAffectsTreatment Planning MTV Day1 Day5 Understated Lesion1 7.43 11.34 34%

Lesion2 5.57 10.66 48%

Lesion3 27.77 41.07 32%

Lesion4 0.88 2.93 70%

Patient11490MTV Change 6

~50%ofinjectionsites areoutsideimageFOV InfiltrationsCanExceedReportingLimits

  • ReportingLimit- 0.5Sievert(Sv)effective doseequivalenttothetissue Time between injectionand imaging Estimated infiltration activityattime ofimaging Estimatedeffectivedose equivalenttothetissue frominjectionto reabsorptiontime A

57mins 4.55mCi 11.5Sv (~23xlimit)

Time between injectionand imaging Estimated infiltration activityattime ofimaging Estimatedeffectivedose equivalenttothetissue frominjectionto reabsorptiontime A

57mins 4.55mCi 11.5Sv (~23xlimit)

B 107mins 0.11mCi 2.26Sv (~4.5xlimit)

InfiltrationsAreAvoidable

  • 2017Chemotherapyrates- 0.18%

Timeactivitycurveisindicativeofan idealinjection,beforeimaging.Bolus passesinjectionarmsensorand countsdroptoreferencearmlevels within30seconds.

TACisindicativeofalargeinfiltration.

Injectionsensorcountsremainhighduring uptakeperiod.

  • Monitoringnuclearmedicineinjectionquality canleadtosignificantandquickimprovement
  • 2016ContrastCTrates- 0.24%

Site Measure PhaseRate Standard Error Improve PhaseRate Standard Error Change A

13.3%

2.1%

2.9%

1.0%

78%

B 15.7%

4.0%

6.0%

2.6%

62%

C 12.8%

1.5%

8.7%

1.3%

32%

D 2.1%

0.6%

1.9%

0.6%

10%

3 Identifying,Reporting,andReducing Infiltrations Consistentwiththegoalsof:

- NRC

- NuclearMedicineSocieties

- Technologists

- Physicians

- Patients Request

  • Nuclearmedicineinfiltrationsareavoidable
  • Someinfiltrationscannegativelyaffect patients
  • Someinfiltrationsexceedreportinglimits RequestingtheNRCandACMUItoreconsider the1980infiltrationdecisionand,moving forward,requirereportingofinfiltrationsthat meetSubpartMcriteria.

DiscussionandQ&A Acronyms

  • QI-QualityImprovement
  • SUV-StandardizedUptakeValue
  • MTV-MetabolicTumorValue
  • FOV-FieldofView
  • mCi-Millicurie
  • CT-ComputedTomography
  • TAC-TimeactivityCurve

1 10 CFR Parts 30, 32, and 35 FINAL RULE CHANGES Lisa Dimmick, Team Leader Medical Radiation Safety Team April 3, 2019 Objective

  • Present a summary of rule changes that became effective January 14, 2019 Major Changes
  • Permanent implant brachytherapy medical event reporting & notification
  • Name Associate Radiation Safety Officers on a medical license
  • Training & Experience (T&E) generic changes for all individuals
  • Molybdenum (Mo) breakthrough measurement frequency and reporting of failed generators General Topics
  • Diagnostic Medical Uses
  • Sealed Source &

Device Registry

  • Vendor Training
  • Gamma Knife Source Exchange
  • Generators
  • Associate RSO &

Ophthalmic Physicist

  • Emerging Technologies
  • Notification
  • Training &

Experience

2 Generators: 35.204 & 35.3204

  • Breakthrough has to be measured for each elution of Mo-99/Tc-99m generator
  • Breakthrough in excess of regulatory limits need to be reported to NRC and the generator distributor
  • Information that has to be reported and reporting timeframe is provided Associate RSO (ARSO) and Ophthalmic Physicist: 35.2 & 35.24 Associate Radiation Safety Officer Ophthalmic physicist - defined Revised the Preceptor definition - add ARSO
  • Introduced provisions to appoint an ARSO
  • Clarified requirements for licensee, RSO, and ARSO Associate RSO: 35.50
  • Permit ARSO to provide written attestation
  • Permit new AU to be RSO on new license
  • Permit authorized individuals (AU, AMP, ANP) to use authorized status be RSO on a different license for same uses for which the individual is authorized Ophthalmic Physicist: 35.433
  • Added ophthalmic physicist to individuals who are required to perform certain task
  • Clarified the training needed to be an ophthalmic physicist
  • Clarified expected duties of AMP and ophthalmic physicist for Strontium-90 sources used for ophthalmic

3 Emerging Technologies: 35.12

  • Clarified information required for 10 CFR 35.1000 medical uses application
  • Additional aspects needed for radiation safety not in or different from requirements in the regulations
  • Identification and commitment to meet appropriate existing requirements.

Notification: 35.13, 35.14, & 35.15

  • Added notification/termination provision for the ophthalmic physicist
  • Added amendment requirement before an individual works as an ARSO or before the RSO can assign duties and tasks to an ARSO beyond the current authorization Notification: 35.13, 35.14, & 35.15
  • Added notification provision for certain manual brachytherapy sources
  • Removed notification attestation statement
  • Exempted Type A broad scope licensees from needing to notify NRC when permitting an ophthalmic physicist to working as an ophthalmic physicist; Manual Brachytherapy: 35.40
  • Clarified permanent implant brachytherapy written directive (WD) components:

- Still includes AU signature and dating before administration

- Requiring the total source strength in the pre-implantation portion of the WD

-recovery

4 Manual Brachytherapy: 35.40 cont.

  • Deleting the total dose from the post-implantation portion of the WD added total number of sources and date
  • Deleting the requirement to include dose
  • Requiring completion of the post-implantation portion of the WD before the patient leaves post treatment recovery area Manual Brachytherapy: 35.40 The term post-treatment recovery area means the area or place where a patient recovers immediately following the brachytherapy procedure before being released to a hospital intensive care unit or patient room, or in the case of an outpatient treatment, released from the licensees facility.

Manual Brachytherapy: 35.40

  • Revises the definition of an ME for permanent implant brachytherapy:

-The total source strength for inside and outside the treatment site compared with post-implantation written directive

-The wrong radionuclide Manual Brachytherapy: 35.40 cont.

-The wrong individual or human research subject

-Sealed source(s) directly delivered to the wrong treatment site

-A leaking sealed source resulting in a dose that exceeds 0.5 Sv (50 rem) to an organ or tissue

5 Manual Brachytherapy: 35.40 What does discontiguous mean?

  • As it relates to the ME criteria in 10 CFR 35.3045 for PIB, discontiguous means a location that is not physically adjacent to or touching the treatment site.

-facility Manual Brachytherapy: 35.41

  • All licensees must have procedures to determine if a medical event occurred
  • Permanent implant brachytherapy licensees must have procedures to determine within 60 days Manual Brachytherapy: 35.41 cont.

- The total source strength outside treatment site compared to total source strength in post implant written directive.

- That if a patient was not available within the 60 days, the licensee must document the reason for the unavailability.

-facility Training and Experience (T&E)

  • Removed written attestation from board certification pathway requirements
  • Revised written attestation statement

- is able to independently fulfill the radiation safety-related duties as

  • Permits residency program directors to provide written attestation under certain conditions

6 T&E: 35.51

  • Require AMP to be board certified by board recognized under 10 CFR 35.51 T&E: 35.57
  • Grandfathered RSOs and AMPs must meet requirements in 10 CFR 35.50(d) or 35.51(c), for materials or uses not authorized earlier
  • Grandfathered individuals board certified on or before October 24, 2005 by boards listed in regulation for materials and uses performed before this date Diagnostic medical uses: 35.65
  • Clarified medical use does not include calibration, transmission, and reference sources except as authorized under 10 CFR 35.500
  • Bundled or aggregated sources with activities greater than maximum single source activities in 35.65 is not permitted under 10 CFR 35.65 Diagnostic medical uses: 35.65 cont.
  • Clarified when sources do not have to be listed on license

7 Diagnostic medical uses: 35.590

  • Authorizes an AU for imaging uses for medical use of sealed sources and medical devices for diagnosis Radiopharmaceuticals:

35.300, 35.390, & 35.396

  • Revised listing of materials in 10 CFR 35.390 for parenteral uses by the primary emission needed for the particular medical use (i.e., is primarily used for emission)

Radiopharmaceuticals:

35.300, 35.390, & 35.396

  • Current Rule reads:

-A licensee may use any unsealed byproduct material prepared for medical use and for which a written directive is required that is Radiopharmaceuticals:

35.300, 35.390, & 35.396 cont.

  • New Rule reads:

-A licensee may use any unsealed byproduct material identified in § 35.390(b)(1)(ii)(G) prepared for medical use and for which a WD is required that is

8 Radiopharmaceuticals:

35.300, 35.390, & 35.396 10 CFR 35.390(1)(ii)(G) categories for 3 cases Current Rule reads:

1. Oral 1.22 GBq (33 mCi) of NaI I-131 WD;
2. Oral > 1.22 GBq (33 mCi) of NaI I-131 WD; Radiopharmaceuticals:

35.300, 35.390, & 35.396 cont.

3. Parenteral of any beta emitter, or a photon-emitting radionuclide with a photon energy less than 150 keV, for which a WD is required; and/or
4. Parenteral administration of any other radionuclide, for which a WD is required; Radiopharmaceuticals:

35.300, 35.390, & 35.396 10 CFR 35.390(1)(ii)(G) categories for 3 cases New Rule reads:

- A licensee may use any unsealed byproduct material identified in § 35.390(b)(1)(ii)(G) prepared for medical use and for which a WD is required that is

1) the same as current rule.

Radiopharmaceuticals:

35.300, 35.390, & 35.396 cont.

2) the same as current rule
3) Parenteral administration of any radioactive drug that contains a radionuclide that is primarily used for its electron emission, beta radiation characteristics, alpha radiation characteristics, or photon energy of less than 150 keV, for which a written directive is required

9 SS&D: 35.400, 35.500, & 35.600

  • Clarifies that use includes uses under the appropriate medical use that is not explicitly listed in the Sealed Source and Device Registry (SSDR)
  • Requires the use to be in accordance with radiation safety conditions and limitations in SSDR
  • Differentiated between use requirements for sources and devices containing sources Vendor Training: 35.610
  • Requires vendor training of 10 CFR 35.600 medical use devices when there are upgrades that affect the operational and safety of the unit
  • Vendor training must be by the vendor or someone certified by the vendor Gamma Knife: 35.655
  • Clarifies in the title that the section is addressing full-inspection servicing
  • Retains 5 year frequency for teletherapy units
  • Changes frequency for gamma stereotactic units to 7 years Acronyms
  • ANP - Authorized Nuclear Pharmacist
  • AMP - Authorized Medical Physicist
  • ARSO - Associate Radiation Safety Officer
  • AU - Authorized User
  • GBq - Gigabecquerel

10 Acronyms

  • keV - kiloelectron volts
  • mCi - millicurie
  • ME - Medical Event
  • Mo Molybdenum-99
  • RSO - Radiation Safety Officer
  • SS&D - Sealed Source and Device
  • SSDR - Sealed Source and Device Registry
  • T&E - Training and Experience
  • WD - written directive

1 1

Subcommittee on Germanium-68/Gallium-68 Generator Licensing Guidance Megan Shober Advisory Committee on the Medical Uses of Isotopes April 3, 2019

  • Melissa Martin
  • Darlene Metter, M.D.
  • Michael Sheetz
  • Megan Shober (Chair) 2 Subcommittee Members Current Ge-68/Ga-68 Generator Licensing Guidance (2017)
  • Expressly names Eckert and Ziegler brand of generator
  • Includes specific breakthrough limit
  • Describes steps to take if generator has not been eluted within 48 hours5.555556e-4 days <br />0.0133 hours <br />7.936508e-5 weeks <br />1.8264e-5 months <br />
  • Requires notification to the NRC Operations Center if an eluate exceeds breakthrough levels
  • Requires wipe tests each day of use 3
  • Brand neutral
  • Removed reconditioning requirements for generators not eluted within 48 hours5.555556e-4 days <br />0.0133 hours <br />7.936508e-5 weeks <br />1.8264e-5 months <br />
  • Revised breakthrough reporting requirements (multiple failures) 4 Proposed Revision to Ge-68/Ga-68 Generator Licensing Guidance

2 Recommendations

  • Subcommittee recommends endorsing the draft guidance with changes as noted:

1.

Add alternate pathway training option for ANP user.

2.

Remove brand-specific breakthrough limit.

3.

Reject proposed breakthrough failure reporting requirement and recommend conformance with 10 CFR 35.3204.

5 Recommendations contd.

4.

Due to the long time period required for breakthrough testing, add guidance on when breakthrough failure is effective.

5.

Revise survey requirements to allow increased flexibility in performance.

6 ANP - Authorized Nuclear Pharmacist CFR - Code of Federal Regulations Ga Gallium 68 Ge Germanium 68 NRC - Nuclear Regulatory Commission 7

Acronyms

1 of 3 Nuclear Regulatory Commission (NRC)

Advisory Committee on the Medical Use of Isotopes (ACMUI)

Subcommittee Review and Comments on Germanium-68/Gallium-68 Generator Licensing Guidance, Revision 1 Submitted on: November 30, 2018 Subcommittee Members:

Ms. Melissa Martin Dr. Darlene Metter Mr. Michael Sheetz Ms. Megan Shober (Chair)

NRC Staff Resource: Said Daibes-Figueroa, Ph.D.

=

Background===

The subcommittee and its Chair were appointed by ACMUI Chairman, Christopher Palestro, at the ACMUI meeting on September 21, 2018. The purpose of the subcommittee was to review the NRC staffs draft proposed revision to the licensing guidance for Germanium-68 (Ge-68)/Gallium-68 (Ga-68) generators. The NRCs current licensing guidance for Ge-68/Ga-68 generators (Revision 1) was issued on July 13, 2017. At that time, the only Ge-68/Ga-68 generator approved by the U.S.

Food and Drug Administration (FDA) and available on the market was the Eckert and Ziegler GalliaPharm generator. As such, the NRC tailored its licensing guidance to this specific product.

Now that additional Ge-68/Ga-68 generators (IREs [Institute of Radio Elements] Galli Eo' generator and others) are becoming commercially available, the Ge-68/Ga-68 generator licensing guidance is being revised to eliminate reference to any specific generator manufacturer or product.

This document represents the Subcommittees report on the draft proposed revision of this licensing guidance issued by NRC staff in July 2018.

Changes to Guidance Considered by the Subcommittee and its Recommendations General Comment: Throughout the document, ensure that font sizing and bullet size and shape are uniform.

Specific Comments

Title:

The Subcommittee supports the change to the title of the proposed guidance.

Pg 1, 1st paragraph: Delete the sentence Future Ge-68/Ga-68 radionuclide generators will be addressed in revisions to the licensing guidance.

2 of 3 Pg 2, Section 4.1, 2nd paragraph: Replace the words FDA approved with if utilizing an FDA-approved kit for radiolabeling.

Pg 3, Authorized Use for commercial nuclear pharmacies: Add (Form 313 Item 5) under Radionuclides, Chemical/Physical Form, and Maximum Possession Limit.

Pg 4 Section 4.4, 1st paragraph: Replace to develop/create Ga-68 with to elute Ga-68.

Pg 4, Section 4.4: The training for authorized individuals has omitted an alternate pathway option for ANPs, similar to 10 CFR 35.55(b), and written attestation signed by a preceptor ANP.

Pg 5 Written attestation requirement: Replace 35.1000 Ge-68 generator use with 35.1000 Ge-68/Ga-68 generator use.

Pg 5, Section 4.4, last sentence: Replace Physicians or nuclear pharmacists with Other individuals.

Pg 6, 1st bullet: Delete the word to.

Pg 6, 3rd bullet: Begin the sentence with Eluting Pg 6, 7th bullet: Remove the value of 0.001 percent, as this is specific to a particular manufacturer.

Replace with a generic reference to the manufacturers recommended breakthrough limit.

Pg 6, 7th bullet: Delete the sentence Not knowingly distributing or administering to a patient or human research subject any material containing Ga-68 which is determined to exceed the manufacturers 0.001 percent breakthrough limit. This topic is covered by the revised 8th bullet, below.

Pg 6, 8th bullet: Revise to read During the course of breakthrough testing, if the eluate exceeds the manufacturers breakthrough limits, the eluate will not be distributed or administered to a patient or human research subject; Pg 6, 10th bullet: Move this bullet to be the last bullet in the series.

Pg 6, 11th bullet: The criteria for multiple and unusable are vague. Delete on multiple occasions rendering the generator unusable in human patients and research subjects. Adopt the language from the new 10 CFR 35.3204 for telephone reports to the NRC Operations Center within 7 days.

Pg 6, 12th bullet: Center should be capitalized.

Pg 7, general: Due to the extended time necessary for completing a breakthrough test, the guidance should specify when a generator failure is effective. The Subcommittee recommends specifying that a generator has failed on the date when the breakthrough calculation is

3 of 3 performed. This should be no more than 7 days from the date of the previous breakthrough calculation.

Pg 7, 1st bullet: Remove this bullet. There is no reasonable scenario where a breakthrough failure could cause a reportable medical event due to Ge-68, based on 5 rem effective dose to the whole body or 50 rem dose to an organ.

Pg 7, 2nd bullet: In the first sentence, replace manufactures with manufacturers.

Pg 7, 3rd bullet: Revise the sentence to read Conduct surveys of all areas of licensed material use, including the generator storage and kit preparation areas, for contamination each day of use; and Pg 7, 4th bullet: Remove the bullet. This bullet appears to be less stringent than the guidance in NUREG-1556, Vol. 13, Appendix R, which says that areas where licensed material is stored must be surveyed for contamination weekly. What additional survey should be performed every three months that would not be captured in the required weekly surveys?

Pg 8, Section 7.3.2: Distributor (in 2 cases) should be spelled with an o.

Pg 9, Section 7.4.1, 2nd paragraph: In the last sentence, delete the first for to read must provide financial assurance for decommissioning Pg 10, Section 8, 1st paragraph: Add Medical at the beginning of the first sentence.

Pg 10, Section 8, 2nd paragraph: Delete also.

Other recommendations The subcommittee agrees with the remainder of the licensing guidance document.

Respectfully submitted, November 30, 2018, Subcommittee on Germanium-68/Gallium-68 Generator Licensing Guidance, Advisory Committee on the Medical Use of Isotopes (ACMUI),

Nuclear Regulatory Commission (NRC)

1 1

Status of Medical Events FY 2018 Donna-Beth Howe, Ph.D.

Medical Radiation Safety Team April 3, 2019 Medical Events The dose threshold for diagnostic events precludes reportable events most years.

Each year, there are approximately 150,000 therapeutic procedures performed utilizing radioactive materials.

2 Medical Events FY 2013 - 2015

  • 43 Medical events reported - FY 2013
  • 46 Medical events reported - FY 2014
  • 57 Medical events reported - FY 2015 FY13 FY14 FY15 35.200 0 1

3 35.300 2 3 8

35.400 15 5 9 (10) 35.600 10 10 17 35.1000 16 27 20 (30) 3 Medical Events FY 2016 - 2018

  • 50 Medical events reported - FY 2016
  • 43 Medical events reported - FY 2016
  • 50 Medical events reported - FY 2018 FY16 FY17 FY18 35.200 4

0 0 35.300 4 4 2 35.400 6 (18) 7 13 (15) 35.600 6 8 (14) 10 35.1000 30 24 25 (26) 4

2 Medical Events 2018 35.300 Medical events 2

Iodine-131 MIBG 1 Radium-223 1 5

35.300 Medical Events Iodine-131 MIBG 1

  • 50,000 to 12,000 cGy skin dose to 15 cm²

- Patient was disconnected from infusion pump at Spiros connection to use restroom.

- At end of procedure, high activity of I-131 on patients clothing and bed linen.

- Two days later, patient reported discomfort and reddening of skin on upper right thigh erythematous lesion to desquamation the next day.

6*

35.300 Medical Events Iodine-131 MIBG (cont.)

  • 50,000 to 120,000 cGy skin dose to 15 cm²

- Did not decontaminate patient until signs of erythema.

- Will only disconnect patient if medical emergency.

- Will use adsorbent pads under administration line.

- Will develop patient specific decontamination procedures.

7 8

Ra-223 dichloride 1

  • Administered 176.1 µCi instead of 180 µCi

- Signed written directive called for oral administration

- Technologist administered intravenous

- Will implement new written directive

- Review current policy and procedures with staff 35.300 Medical Events

3 Medical Events 2018 35.400 Medical events 13 (15)

Eye Plaque 1 Unknown procedure 1 Prostate 11 (13)

One licensee, 3 reports 3 (5)

Human error 2

Wrong site 1 Larger than pre-plan or swelling 2 9

35.400 Medical Events Eye Plaque 1

  • Prescribed 8,600 cGy - received 6,500 cGy

- Used new model of eye plaque that differed from old model

- Isodose curves differed from brachytherapy plan.

- Dose was deeper than expected 10 35.400 Medical Events Unknown Procedure 1

  • 70% of the intended dose was delivered 11 35.400 Medical Events Prostate 9 (11)

One licensee, 3 separate reports, 5 patients

  • Report 1 - First patient prescribed 14,000 cGy, but administered 8,990 cGy - 62% of prescribed dose

- No root cause, but attributed to human error

- Some seeds may have migrated post-implant

- Performed historical review after inspection

- Second Patient prescribed 14,500 cGy, but received 19,200 cGy - 132% of the prescribed dose

- Third Patient prescribed 14,500 cGy, but received 18,900 cGy - 130% of the prescribed dose 12

4 35.400 Medical Events One licensee, 3 separate reports, 5 patients (cont.)

  • Report 2 - Patient prescribed 14,500 cGy, but received 10,500 cGy - 72.4% of the prescribed dose
  • Report 3 - Patient prescribed 14,500 cGy, but received 7,000 cGy - 48% of the prescribed dose 13 35.400 Medical Events
  • Patient prescribed 11,000 cGy, but received 5,815 cGy - 53% of dose

- Partial seed strand implanted in the bladder

- Removed errant seeds immediately with cystoscopy

- Attributed to human error

- Corrective actions include:

  • New written procedure
  • Use of more needles, more seeds, and less aggressive sparing of the urethra
  • Stop using pre-loaded stranded seeds, so improperly implanted seeds can be individually 14 35.400 Medical Events
  • Patient intended 10,800 cGy, but 50% of prostate received no dose

- Ultrasound volume of prostate was smaller on ultrasound pre-implant scan than CT post-implant scan

- Real-time implantation with ultrasound did not permit potential visualization errors

- Attributed to human error

- Corrective actions include:

  • Additional training to personnel and improved supervision
  • Terminate the seed implant program due to low patient volume 15 35.400 Medical Events
  • Patient prescribed 11,000 cGy, but received 6,215 cGy - 56.5% of dose

- Attributed to human error

- Improve imaging techniques

  • Patient prescribed 14,400 cGy, but received only 73% of dose

- Attributed to 18% increase in prostate size compared to pre-plan

- Planned intentional cooler coverage near rectum

- Additional training to personnel 16

5 35.400 Medical Events

  • Patient intended 12,500 cGy, but received 1,000 cGy 12.5% of dose (Pd-103 seeds)

- Used Foley catheter but inflated balloon in prostate urethra instead of bladder

- 32 of 54 seeds placed outside prostate and 3 seeds could not be seen

- Expect risk of radiation damage to rectum and surrounding tissue

- Failed to locate Foley catheter compounded by using magnification factor of ultrasound device that did not give full view of relevant anatomy 17*

35.400 Medical Events

  • Patient intended 12,500 cGy, but received 1,000 cGy 12.5% of dose (Pd-103 seeds) [cont.]

- Physician and medical physicist will audibly concur on image quality before preceding

- Manufacturer reset new default magnification value that will initial view of relevant prostate anatomy

- Once first seed is implanted, fluoroscopic image will be used to verify relative location of seed and Foley catheter is where it is expected to be 18 35.400 Medical Events

  • Patient prescribed 12,500 cGy, but received 9,670 cGy - 77% of dose (Pd-103 seeds)

- Three seeds from one needle did not remain in place

- Contributing factors:

  • AUs preference for peripheral loading
  • Potential rotation of the prostate during needle insertion
  • Pressure effects from using hydrogel to separate prostate from rectum

- Corrective actions:

  • No longer implant needle between urethra and rectum - will use two needles offset on axis
  • Use stabilized needles during surgery 19 Medical Events 2018 35.600 Medical events 10 HDR
  • Skin 1
  • Breast 2
  • Gynecological 7 Device malfunction 2 Wrong site 3 Human mistake 2 20

6 35.600 HDR Events Skin 1

  • Patient prescribed 8 fractions of 500 cGy each to temple area, but received 350 cGy on first 2 fractions

- First physicist used incorrect setup - forgot to use accuform - second physicist used correct setup

- Wrong position - gap between treatment device and patients skin 21 35.600 HDR Events Skin (cont.)

- Lack of policy for custom immobilization devices for skin treatment

- Therapist present at first treatment and any time there is a new physicist

- Photograph set up with and without patient to show accuform

- Barcode scanning to track custom set up devices 22*

35.600 HDR Events Breast 2

  • Wrong site - 1,200 cGy to lateral breast skin

- Patient contacted oncologist because of skin reaction

- Physicist used tip end instead of connector end in treatment plan

- Corrective actions:

Additional training to personnel 23 35.600 HDR Events Breast 2

  • Wrong site - 1 cc volume of skin received 850 cGy instead of intended 256 cGy

- Savi applicator - struts 2 and 6 mislabeled - changed orientation of the applicator - direction of radiation

- Corrective actions:

Second physicist to independently verify catheter struts in treatment plan.

HDR review checklist - verify digitization of struts in treatment plan Add HDR plan review to monthly audit Additional training to personnel 24

7 35.600 HDR Events Gynecological 7

  • Device malfunction

- Patient to receive 1,500 cGy during 3 fractions in 13 dwell points

- HDR unit malfunctioned at dwell point 9

- Treatment adjusted after repair of the HDR unit 25 35.600 HDR Events

  • Device malfunction

- Device failed to fully retract at completion of treatment fraction

- Dose of 100 cGY to patient thigh - source was 5 cm from cylinder guide tube connector

- Source wire was bent near source

- Delay in removing source from vicinity of patient and reporting the event to RSO 26 35.600 HDR Events

  • Catheter movement - connector locking nut too loose, which allowed catheter to slide out

- Event discovered by skin reaction progressed to moist desquamation

- Dose to skin of 5,154 to 8,555 cGy

- Corrective action:

Retrain medical staff and AU AU will double check all connections and placement before and after each treatment Purchased new cylinder with new design 27 35.600 HDR Events Prescribed 6 fractions of 350 cGy each - first fraction received 2,100 cGy

- Total treatment time incorrectly entered into treatment planning system

- Human error and poor decision making - started first treatment after hours - second physicist not available

- Corrective actions:

Second physicist has to independently verify treatment plan Physicist to check that plan was exported correctly to the treatment console 28

8 35.600 HDR Events Wrong Site - 587 cGy dose to small intestine and bowel instead of 220 cGy

- Patients pelvis had extensive damage from uterine cancel

- Two dwell positions shifted to deliver dose to non-targeted small intestine/bowel in first of 3 fractions

- Treatment plan modified for next 2 fractions

- Licensee thought not reportable - 10 CFR 35.3045(a)(1) and (3); NRC determined reportable - 10 CFR 35.3045(a)(1)(iii) and (a)(3) 29 35.600 HDR Events Wrong site - 5.5 cm outside the treatment site received 500 cGy in 0.5 cm volume

- Channel 12 digitized twice with no digitization of Channel 13 (Channel 13 digitization included in Channel 12 with no dwell positions for 13)

- Treatment plan displayed expected dose distribution to critical organs and tumor and no dwell positions for Channel 13

- Physician approved the plan 30*

35.600 HDR Events Wrong site - 5.5 cm outside the treatment site received 500 cGy in 0.5 cm volume (cont.)

- Patient discomfort (full bladder)

- Physicist rushed to complete the plan and export to treatment console - error overlooked

- Corrective action:

Second check by physicist that did not prepare the plan Each channel will be carefully reviewed Patient not brought to treatment area until plan has been checked and exported to console 31 35.600 HDR Events Wrong site - 100 cGy outside treatment site Prescribed 1,890 cGy, but received 1,675 cGy

- In first of three fractions digitize the catheter as linear instead of as a single curved catheter

- Physicist failed to recognize the incorrectly reconstructed catheter shape in planning software

- Treatment length of 15.7 cm instead of 9 cm 32*

9 35.600 HDR Events (cont.)

Wrong site - 100 cGy outside treatment site (cont.)

- Discovered on second fraction

- Treatment plan was not enlarged so physicist could not see the dwell points overlapping

- Corrective actions:

Enlarge each treatment plan in which the physicist signs off Use of a formalized check list 33 Medical Events 2018 35.1000 Medical events 25 Perfexion 1 Intervascular Brachytherapy 1 Radioactive seed localization 1 Y-90 Microspheres 22 Unidentified 2 Therasphere 13 SirSphere 7

34 35.1000 Medical Events Perfexion 1

  • Device malfunctioned

- Device recorded an error and backup power was low, so the sources were returned to the shielded position

- One-third of prescribed dose delivered 35 Intravascular Brachytherapy 1

- First extra long delivery catheter - source could not get to treatment site and retracted safely to unit

- Second extra long treatment catheter - source still could not get to treatment site but source could not be returned to IVB unit; all catheters removed

- Hydraulic return mechanism failed to return source.

- No dose to treatment site and 39 cGy to surrounding tissue

- Deformation of delivery catheter confirmed root cause 36 35.1000 Medical Events

10 Radioactive seed localization 1

- Expected dose 12 cGy to tissue, but patient received 99 cGy to tissue

- Seed implanted and scheduled for removal 6 days later

- Insurance company rescinded approval after seed was implanted and required 3 medical opinions

- Surgery performed approximately 64 days after implant 37 35.1000 Medical Events Y-90 Microspheres 25 Unknown 2

38 35.1000 Medical Events 35.1000 Unknown Y-90 Events Unknown 2

  • Prescribed 13,400 cGy to a segment of the liver, but received 10,300 cGy - 77% of intended dose
  • Patient received 60% of prescribed dose 39 Y-90 Microspheres 25 Therasphere 13 (14)

- Overdose 1

- Catheter/Obstruction 8

- Bubbles 2

- Backflow to contrast 1

- Human mistake 1

40 35.1000 Medical Events

11 35.1000 Y-90 Therasphere Events Overdose

  • Prescribed 13,600 cGy, but received 29,400 cGy

- Picked up wrong dosage, measured and compared activity to shipping box information and not the written directive

- Shipping box was for next weeks patient

- Post administration calculations identified the medical event

- Will add a dose verification step in interventional radiology 41 35.1000 Y-90 Therasphere Events Dose in Waste Jar

  • Prescribed 12,000 cGy administered 1,770 cGy -

liver volume - 14% of intended dose

- Licensee thought equipment did not function as designed

- Most of the dosage was in the waste jar

- Manufacturer could not determine root cause 42 35.1000 Y-90 Therasphere Events

  • Two patients received less dose than prescribed

- First patient prescribed 72.6 mCi, but received 15 mCi. Inspector thought expansion tubing resulted in turbulent flow triggering suspension issues

- Second patient prescribed 72 mCi, but received 36.75 mCi - Inspector thought lack of adequate agitation prior to administration or issues with quality/sizing of microspheres

- Extension tubing no longer used

- Manufacturer supported Inspectors findings 43 35.1000 Y-90 Therasphere Events

  • Prescribed activity 122 mCi - received 46 mCi - 38%

of intended activity

- From device components sent to manufacturer no cause for the blockage was determined

- Obstruction/blockage located in microcatheter -

obstruction in the outlet tubing at the E junction

- Manufacturer recommended handling microcatheters with extra care and looking for kinks 44

12 35.1000 Y-90 Therasphere Events

  • Prescribed 12,000 cGy - received 2,000 cGy (rad)

- Malfunction in the administrative set - significantly less pressure than usual to press syringe

- Saline accumulating in overflow vial

- Only returned portion of administration set that infused dosage into patient to manufacturer

- May have been a kink or obstruction in treatment catheter but not conclusive

- Will send complete administrative set next time 45 35.1000 Y-90 Therasphere Events One licensee - 2 reported medical events

  • Report 1 - Prescribed 64.8 mCi, but received 41 mCi - 65% of activity

- Air bubbles noted in overflow tubing connected to the micro-catheter

- Connected 3-way stopcock between overflow tubing and micro-catheter aspirated bubbles to syringe with stopcock close to patient

- Resurvey of delivery kit showed residual activity 46*

35.1000 Y-90 Therasphere Events

  • Report 2 - Prescribed 46 mCi but received 27 mCi -

59% of activity

- Used left radial artery with 5-French Sarah Radial catheter with coaxial micro-catheter

- Nothing unusual was encountered

- No radioactive contamination of the suite

- Dose was in catheter, gauze, dose vial and other waste 47 35.1000 Y-90 Therasphere Events

  • Prescribed 89,200 cGy, but received 57,500 cGy -

64% of dose

- Backflow of microspheres into contrast line and syringe

- Significant contamination in contrast syringe, flushing syringe, contrast tubing, and associated y-adaptor

- Thought contrasting syringe and tubing were made of materials that bind microspheres more than administration kit - will look for same materials

- Will use clamp and one-way valve 48

13 35.1000 Y-90 Therasphere Events

  • Prescribed 23 mCi, but received 7.4 mCi - 32% of the activity

- Blockage occurred in the delivery apparatus

- Imaged the administration set and saw most of the undelivered activity near where plunger connects to the dose vial

- Will send administration set and procedure waste to contractor for manufacturer 49 35.1000 Y-90 Therasphere Events

  • Prescribed 35 mCi, but received 5.4 mCi - 16% of activity

- Microspheres were coagulated in the tubing

- Unexpected activity remained near the Touhy-Borst connector

- Manufacturer thought caused by issues with the micro-catheter

- Will flush micro-catheter immediately prior to connecting it to the administration kit 50 35.1000 Y-90 Therasphere Events

  • Prescribed 13,000 cGy to left lobe of liver, but received 8,490 cGy - 65% of dose

- First vial administered without incident

- Second vial primed and prepped, but saw a train of bubbles in the line between the dose vial and patient

- AU stopped the procedure; did not want the bubbles to cause the flow to reflux into gastric artery and cause permanent damage to the stomach

- Could not pinpoint cause of bubbles

- Limit number of staff trained to prime and do set-up and ensure enough are available on treatment days 51 35.1000 Y-90 Therasphere Events

  • Prescribed 24,500 cGy, but administered 13,083 cGy

- 53% of dose

- CT scan verified dose was administered to correct location

- Remainder of dose hung up in catheter despite flushing

- Catheter tubing met manufacturers specifications

- No root cause identified 52

14 35.1000 Y-90 Therasphere Events

  • Prescribed 1,300 cGy to specific part of liver, but received 931 cGy - 71% of dose

- Used 3 different written directives to fractionate the delivery

- Thought the small activity prescribed contributed to under dose because of typical losses in the valve and tubing

- Order higher dosages for any administration below 10 mCi

- Amend license to go to different manufacturer 53 SirSphere 7

- Wrong site 2

- Measurement unit error 1

- Written Directive error 1

- High activity clogging 1

- Low activity administration 1

54 35.1000 Medical Events Wrong treatment site 2

  • Prescribed 38.4 mCi to liver but received about 13 mCi to abdominal wall

- Post-treatment scan appeared normal with small uptake in bowel

- Pain in abdomen with erythema on abdomen -

thought dose was above 55 cGy but less than 1,000 cGy

- Thought one-third of dose migrated up a venous ligament and lodged in abdominal wall 55*

35.1000 Y-90 SirSphere Events Wrong treatment site (cont.)

- Difficult visualizing arterial access to the tumor

- Micro-catheter was not advanced far enough into correct artery

- Pre-existing kidney impairment precluded using more contrast

- Add second monitor to refer to original arteriogram without switching tasks and improve confidence of correct location

- Take prophylactic measures for future patients with impaired kidney function 56 35.1000 Y-90 SirSphere Events

15 Wrong site

  • Prescribed 4,874 cGy to right lobe of liver, but received 11,080 cGy to left lobe

- Human error

- Placed catheter in left hepatic artery instead of right hepatic artery 57 35.1000 Y-90 SirSphere Events Measurement Unit Error

  • Prescribed 0.91 GBq, but received 8.9 mCi

- Ordered 0.91 mCi - marked wrong box in computer

- Did not multiply measured dose value by correction factor of 10

- Not identify until post-procedure check

- Worksheet revised to be in SI units

- Written directive sheet to be in SI units

- Dose preparation and post-procedure forms to be in SI units 58 35.1000 Y-90 SirSphere Events Written Directive Error

  • Prescribed 1,504 cGy to right lobe of liver, but received 1,498 cGy in left lobe

- Written directive prepared incorrectly - AU wanted to treat left lobe

- Identified after completion of the procedure

- AU did not indicate correct treatment site on written directive; AU did not forward pre-treatment information to the RSO

- Clinical staff failed to identify discrepancy during patient time-out just before the implantation 59 35.1000 Y-90 SirSphere Events High activity clogging 1

  • Prescribed 4,320 cGy, but received 828 cGy - 19%

of the dose

- Micro-catheter clogging due to unusually large number of microspheres being used

- Prescribed activity was at high end of the treatment range

- Patient administration delayed 1 day - 25% increase in number of microspheres were needed to deliver the dose

- Will use smaller aliquots and/or slower infusion rate 60 35.1000 Y-90 SirSphere Events

16 Device malfunctioned 1

  • Prescribed 32.5 mCi but received 8 mCi - 25% of activity

- Treatment device malfunctioned and ceased to deliver microspheres

- Manufacturers representative was present, but cause of malfunction is unknown

- Will return delivery device to manufacturer for technical analysis and root cause determination 61 35.1000 Y-90 SirSphere Events

  • Prescribed 19.6 mCi to left lobe of liver, but received 10 mCi - 51% of activity

- Planned to deliver activity in two split dosages

- Written directive not properly reviewed, so split one dosage in two instead of the total dosage in two

- Radiation oncologist failed to check the drawn dosages prior to injecting them

- Identified after injection when the remainder of the dosage was discovered 62*

35.1000 Y-90 SirSphere Events

  • Prescribed 19.6 mCi to left lobe of liver, but received 10 mCi - 51% of activity (cont.)

- Lack of comprehension of dose draw worksheet

- Miscommunication and failure to review the written directive

- Failure to perform a safety pause and properly review the dosage to be administered against the written directive prior to the administration 63 35.1000 Y-90 SirSphere Events Acronyms

  • AU - Authorized User
  • cGy - centiGray
  • FY - Fiscal Year
  • GBq - Giga Becquerel
  • HDR - High Dose Rate Remote Afterloader
  • I-124 - Iodine-124
  • MBq - Mega Becquerel 64

17 Acronyms

  • µCi - microcurie
  • mCi - millicurie
  • MIBG - Metaiodobenzylguanidine
  • RSO - radiation safety officer
  • SI units - International System of Units

66

1 Appropriateness of Medical Event Reporting Subcommittee Report Ronald D. Ennis, M.D.

April 3, 2019 Subcommittee Charge

  • Toreviewtheappropriatenessoftherequired elementsofmedicaleventreporting;the adherencetotheserequirements;and recommendactionstoimprovereporting.

Subcommittee Members

  • Dr.Dilsizian
  • Dr.Ennis(Chair)
  • Ms.Martin
  • Mr.Ouhib
  • Ms.Shober
  • Ms.Weil Purpose of Reporting
  • AnMEisreportedtoanAgreementStateorNRCper10CFR 35.3045assummarizedinEventReportingSchedulefor AgreementStates7/29/12andSA300,ReportingMaterial Events-Theinformationcollectedonmedicaleventsis invaluableinassessingtrendsorpatterns,identifyinggeneric issuesorgenericconcerns,andrecognizinganyinadequacies orunreliabilityofspecificequipmentorprocedures. The reportedinformationiscriticalforinitiatingatimelyand effectiveresponsetosecurityrelatedeventsandwill significantlyaidinunderstandingwhytheeventoccurredand identifyinganyactionsnecessarytoimprovetheeffectiveness ofNRCandAgreementStateregulatoryprograms.

2 Documents Reviewed

  • SA300 FSMEProcedureApprovalReportingMaterial Events
  • SA105 ReviewingtheCommonPerformanceIndicator, TechnicalQualityofIncidentandAllegationActivities
  • EventReportingforAgreementStatesofJuly29,2012
  • NMEDAnnualReportof2017
  • OASLetter7/2/14regardingproposalforapublicNMED
  • Rootcauseandcorrectiveactionpicklists
  • NMEDcontent Nuclear Material Events Database
  • NuclearMaterialEventsDatabase(NMED)
  • IncludesdatafrombothAgreementStatesand NRC
  • NMEDismanagedbyNRCsOfficeofNuclear MaterialSafetyandSafeguards
  • TheNMEDcontractorisresponsibleforcoding andqualitycontrolofinformationwithgeneral oversightfromtheNRCNMEDProjectManager
  • AccesstoNMEDislimited NMED Issues
  • Frequently,narrativeisinadequateforanACMUI reviewertounderstandanevent,itscauseand contributingfactorsandtheadequacyofthe correctiveaction.
  • Attimes,thereappearstobeadisconnect betweenthenarrativeandthechosencausefrom thecausepicklist.
  • Attimes,thereappearstobeadisconnect betweenthenarrativeandthechosencorrective actionfromthecorrectiveactionpicklist.

NMED Issues

  • NMEDlacksinformationfromsomeinspections thathasbeenconductedbytheNRCregionor AgreementState.
  • In23%ofMEsfromFY201718,eithernocause ornocorrectiveactionwasindicatedinNMED report.
  • Ofall2017MEs,11%areincompleteandan additional11%arependingadditional information.
  • Public,includingAUsandRSOs,onlyhaveaccess toanNMEDannualreport.

3 Recommendations of the Subcommittee

  • RootcauseandcorrectiveactionsectionsonNMED-In additiontothepicklists,anarrative,searchable,section shouldberequired.
  • RequirerootcauseandcorrectiveactionsectionsinNMED, bothpicklistandnarrativesectionsalwaysbecompleted.
  • Requireinformationgatheredfromanyinvestigationbe addedtoNMED.
  • RequirethatareportinNMEDbecompletedwithin12 months.
  • RequireACMUIandNRCstafftopromulgatethefindingsof annualreportoftheACMUISubcommitteeonMedical Eventstothemedicalandmedicalphysicscommunities.

Recommendations under Consideration by this Subcommittee

  • ModifyhowEventReportsarewritten:

- Requirethereportuseadditionalguidelinestobedeveloped bythissubcommitteetoassuremorecompleteanduseful informationisprovided.

- RequirethereportbeinitiallywrittenbytheAUandclinical physicistsandsubsequentlyreviewedbytheinspector.

- RequiretheinspectorinterviewallinvolvedintheME.

- Requireareportfromthemanufacturerbeincludedifthe eventinvolvedadevice.

- Correctiveactionshouldincludemedicalaswellastechnical.

- RequirethefinalreportmustbesignedoffbytheAU, physicistandinspector.

Conclusion

  • Significantopportunitiesexisttoenhancethe utilityofmedicaleventreporting,theNMED database,andthepromulgationofthe informationtotheusercommunity.
  • TheSubcommitteeasksthatitbeableto continueevaluatingtheseissuesinmoredetail withagoalofcreatingasetofspecific recommendations.

Acronyms

  • ACMUI-AdvisoryCommitteeontheMedicalUseofIsotopes
  • AU-Authorizeduser
  • FSME OfficeofFederalandStateMaterialsand EnvironmentalManagementPrograms
  • FY-fiscalyear
  • ME-medicalevent
  • NMED-NuclearMaterialsEventDatabase
  • NRC-NuclearRegulatoryCommission
  • OAS-OrganizationofAgreementStates
  • RSO-RadiationSafetyOfficer
  • SA-StateAgreement

ACMUI Working Session

[CLOSED MEETING PORTION]

NO HANDOUT

1 Committee Reporting Structure Kellee Jamerson, ACMUI Coordinator Medical Radiation Safety Team April 4, 2019 Outline

  • Current Reporting Structure
  • Annual Review
  • Meetings
  • Discussion 2

Current Reporting Structure 3

The Commission EDO Director, NMSS Director, MSST ACMUI MSEB Annual Review

  • In September 2012, the ACMUI recommended to have an annual review of reporting structure.
  • This is the ninth annual review.

4

2 Meetings Two meetings at Headquarters each year

  • March/April
  • September/October Approximately 2-3 teleconferences (as needed) 5 Discussion 6

Points of Contact

- 301-415-2368; Andrea.Kock@nrc.gov

- 301-415-5422; Christian.Einberg@nrc.gov

- 301-415-7408; Kellee.Jamerson@nrc.gov 7

Acronyms

  • EDO - Executive Director for Operations
  • MSST - Division of Materials Safety, Security, States, and Tribal Programs
  • MSEB - Medical Safety and Events Assessment Branch
  • NMSS - Office of Nuclear Material Safety and Safeguards 8

Special Presentation to Ms. Laura Weil NO HANDOUT

Thoughts on Leaving the ACMUI NO HANDOUT

Commission Meeting with the ACMUI NO HANDOUT

Group Photo NO HANDOUT

1 ACMUI Bylaws Subcommittee Laura Weil April 4, 2019 Subcommittee Members

  • Robert Schleipman, M.D.
  • Michael Sheetz
  • Megan Shober
  • Laura Weil (chair)

NRC Staff Resource: Sophie Holiday Subcommittee Charge

  • Review ACMUI Bylaws and recommend updates
  • Particular focus on the role of the ACMUI Chairman and his/her participation on subcommittees Existing Language in the Bylaws Section 1.3.6 currently states:

The Chair may take part in the discussion of any subject before the ACMUI and may vote. The Chair should not use the power of the Chair to bias the discussion. Any dispute over the Chairs level of advocacy shall be resolved by a vote on the Chairs continued participation in the discussion of the subject.

2 Suggested Additional Language The Subcommittee proposes to add the following language:

In matters where the ACMUI Chairs unique experience and knowledge would be especially informative, the Chair may serve on relevant subcommittees. In these instances, the ACMUI Chair will not chair the subcommittee.

Existing Language - Conduct of Members Section 4.1 currently states:

If a member believes that he or she may have a conflict of interest with regard to an agenda item to be addressed by the ACMUI, this member should divulge it to the Chair and the DFO as soon as possible and before the ACMUI discusses it as an agenda item. ACMUI members must recuse themselves from discussion of any agenda item in which they have a conflict of interest.

Suggested Language - Conduct of Members The Subcommittee proposes to add the following:

Members cannot personally and substantially participate in the review of any particular matter (including general matters such as a rulemaking) that could directly and predictably affect their personal financial interest or the financial interest of:

- Their spouse or minor child

- Their general partner or organization in which they serve as an officer, director, trustee, general partner, or employee

- An organization with which they are negotiating or have an arrangement for prospective employment Recommendations

  • ACMUI Chair should be permitted to serve as a subcommittee member (not chair) when his/her specific expertise is necessary. A specific statement to that effect should be included in the ACMUI Bylaws.
  • Explicit language defining financial Conflict of Interest (COI) should be inserted in bylaws.

3 Acronyms ACMUI -

Advisory Committee on the Medical Uses of Isotopes COI -

Conflict of Interest DFO -

Designated Federal Officer

U.S. Nuclear Regulatory Commission (NRC)

Advisory Committee on the Medical Use of Isotopes (ACMUI)

Subcommittee on ACMUI Bylaws Draft Report Submitted On: March 3, 2019 Subcommittee Members: Robert Schleipman, Michael Sheetz, Megan Shober, Laura Weil (Chair)

NRC Staff Resource: Sophie Holiday Subcommittee Charge:

Review ACMUI Bylaws and recommend updates, with particular focus on the question of whether the ACMUI Chair may serve as a member or chair of any ACMUI subcommittee.

Subcommittee process:

The Subcommittee and its Chair were appointed by the ACMUI Chairman, Dr. Chris Palestro, at the fall 2018 ACMUI meeting.

The Subcommittee members reviewed ACMUI Bylaws to determine whether the existing ACMUI Bylaws addressed the issue of Chair participation in subcommittee proceedings. Suggestions for possible revision regarding that question and any other concerns were made. A draft report was crafted by the Subcommittee Chair and was circulated to all Subcommittee members. The draft report was discussed, amended as necessary, and submitted to the full ACMUI for discussion at the spring 2019 meeting April 34, 2019.

Issues considered:

1. Should the ACMUI Chair be allowed to participate on subcommittees? If so, in what capacity should the ACMUI Chair participate? What language, if any, should be added to the Bylaws to clarify this question?
2. What other clarifications or additions to the ACMUI Bylaws, if any, should be considered?

Discussion:

1. ACMUI Chair participation on subcommittees It has been the practice of the NRC to prohibit the participation of the ACMUI Chair in subcommittee deliberations and recommendations. This was recently brought to the attention of the incoming ACMUI Chairman, Dr. Palestro, who was asked to relinquish his position as Chair of an ongoing subcommittee in anticipation of his role as ACMUI Chairman. Dr. Palestro felt that this issue should be investigated by a subcommittee, and an explicit recommendation be made to the ACMUI, with potential clarification in the ACMUI Bylaws. The current ACMUI Chair and Vice Chair would not vote on the recommendations put forth by this Subcommittee.

The ACMUI Bylaws do not address this point, nor does the ACMUI Charter. The documents of our sister NRC Federal Advisory Committee Act (FACA) Committee, Advisory Committee on Reactor Safeguards (ACRS) are also generally silent on this issue, although the ACRS Chair is the designated Chair of a standing subcommittee.

The ACMUI has no standing subcommittees, per its charter. There is no discussion of this issue on the FACA website, nor did consulted FACA staff suggest any required position on the issue. Several other FACA committee bylaws and charters were reviewed by the Subcommittee; none had explicit language regarding the potential for Chair membership and participation in subcommittee work. The understood rationale for the existing informal prohibition of the ACMUI Chair on subcommittees is twofold: a) the role of Chair is onerous and timeconsuming. It would be an imposition to expect the Chair to undertake additional subcommittee responsibilities, and b) the Chair might exert undue influence on subcommittee deliberations. Section 1.3.6 of the ACMUI Bylaws explicitly states, The Chair may take part in the discussion of any subject before the ACMUI and may vote. The Chair should not use the power of the Chair to bias the discussion. Any dispute over the Chairs level of advocacy shall be resolved by a vote on the Chairs continued participation in the discussion of the subject.

Each member of the ACMUI has a specific area of expertise. In some cases, there is no duplication of expertise among the ACMUI members. The Subcommittee felt that all subcommittees should be able to avail themselves of the relevant expertise of any member of the ACMUI. The potential for benefit of specific expertise on any given subcommittee outweighs the potential for undue influence by the position of Chair.

The example given was the recent subcommittee relating to gamma stereotactic radiosurgery (GSR) licensing guidance. Only one member of the ACMUI had specific and significant GSR expertise. Had that one member been the ACMUI Chair, and prohibited from subcommittee participation, the subcommittee would have been deprived of essential information and input in its deliberations. Concern was expressed that ACMUI Chair participation on a subcommittee should not overburden or compromise the ability of the Chair to perform the duties of ACMUI Chair; so it is proposed that the ACMUI Chair should not be asked to serve as any subcommittee chair.

The Subcommittee also discussed whether explicit Bylaws language is required to address this question (or whether a formal position expressed and captured at the ACMUI meeting would be adequate). The membership of the ACMUI turns over completely every eight years or sooner, and NRC staff rotate in and out of the medical team with unpredictable frequency. It is challenging to research areas of tradition and practice such as this. The minutes and transcripts of ACMUI meetings, while available, are not indexed by subject. It was felt that there are potential limits to ACMUI institutional memory, such that inclusion of specific language in the Bylaws would be the most efficient way to address this issue. New language is suggested (in bold italics) to be inserted in the existing Bylaws statement regarding ACMUI Chair discussion, participation, and voting rights. Section 1.3.6):

The Chair may take part in the discussion of any subject before the ACMUI and may vote. The Chair should not use the power of the Chair to bias the discussion. Any dispute over the Chairs level of advocacy shall be resolved by a vote on the Chairs continued participation in the discussion of the subject. In matters where the ACMUI Chairs unique experience and knowledge would be especially informative, the Chair may serve on relevant subcommittees. In these instances, the ACMUI Chair will not chair the subcommittee.

2. Additional Bylaw additions The Subcommittee felt that the existing language in the Bylaws regarding conflict of interest was vague. The bylaws currently state:
4. CONDUCT OF MEMBERS 4.1 If a member believes that he or she may have a conflict of interest with regard to an agenda item to be addressed by the ACMUI, this member should divulge it to the Chair and the DFO as soon as possible and before the ACMUI discusses it as an agenda item. ACMUI members must recuse themselves from discussion of any agenda item in which they have a conflict of interest.

It is suggested that the ACMUI Bylaws be amended to include additional language to clarify more completely what constitutes a conflict of interest for ACMUI members.

The following language is used in the ACRS Bylaws, Section 10.22, defining what constitutes a financial conflict of interest and should be considered for amending the ACMUI Bylaws:

Members cannot personally and substantially participate in the review of any particular matter (including general matters such as a rulemaking) that could directly and predictably affect their personal financial interest or the financial interest of:

Their spouse or minor child Their general partner or organization in which they serve as an officer, director, trustee, general partner, or employee An organization with which they are negotiating or have an arrangement for prospective employment However, the Subcommittee welcomes staff input on other language that will provide adequate clarification.

Summary of recommendations:

The Subcommittee recommends that the ACMUI Chair be permitted to serve as subcommittee member (not chair) when his/her specific expertise is necessary. A specific statement to that effect should be included in the ACMUI Bylaws.

The Subcommittee recommends that more explicit language be included in the ACMUI Bylaws defining conflict of interest with respect to participation of individual ACMUI members in discussion of matters that come before the Committee.

Respectfully submitted.

The ACMUI Bylaws Subcommittee

Open Forum NO HANDOUT

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October 2019