AmoxicillinAdministration of Medications--Preparing to Administer Medications

Objectives

Please review chapter 5 and Ch 21 in your textbook

Note: Reference the following regulations throughout this unit.
KAR 26-39-431
KAR 26-41-205
KAR 26-42-205
KAR 26-43-205
KAR 28-39-156

 

Medication Supply

Medications may be supplied in several ways. All medications must be clearly labeled. If labels are loose or illegible the pharmacist should be notified.

Prescription medications are supplied to the facility by a licensed pharmacy. Over the counter medications (OTC) can be brought to the facility and used as long as the requirements are followed:

The container must be unopened and in the original package. A licensed nurse or pharmacist shall place the resident's full name on the package.

Medication PackagingPackaging

Bubble packUnused doses still in the packaging may be returned to the pharmacy for credit. Unused doses of controlled medications cannot be returned to a pharmacy. This is a Drug Enforcement Agency (DEA) requirement.

This type of packaging decreases opportunity for error in administration.

Multiple dose packaging-this system is used when an individual purchases a prescription at a pharmacy or medications are provided by the Veteran's Administration. The container or tube must be labeled with the same information listed above for multiple unit dose packaging.

Stock Supply-bottles of over the counter medications. See KAR 28-39-156(b)(3) for proper handling of these medications. Stock Bottles

Medication Storage-medications can be stored in several ways Note proper storage of controlled medications. 
Refer to your textbook pg 140.

Medication cart

Refer to your textbook pg 128-129f.

Medication room Refer to your textbook pg 128.

Medication tray Refer to your textbook pg 152.Medication Tray

Disposing of unused medications Refer to your textbook pg 129-130.

Med AideChecking the medication order

Medication orders are recorded on the resident's chart by an ordering practitioner who may be a physician, advanced registered nurse practitioner (ARNP), a physician's assistant (PA), or dentist.

A licensed nurse may receive a verbal order from a physician, ARNP or PA. The verbal order must be recorded by the nurse receiving the order in duplicate. The duplicate copy is placed on the resident's clinical record. The original copy of the verbal order is sent to the ordering practitioner for signature, returned to the facility and placed on the resident's clinical record. The duplicate copy of the verbal order is then removed from the record.

A medication aide may not take a verbal order from a physician, ARNP or PA. In facilities without a licensed nurse on duty 24 hours a day, seven days a week, the medication aide must contact the licensed nurse on call. The licensed nurse will contact the physician, ARNP or PA, obtain the order, record the order and give the medication aide verbal or written instructions for administration of the medication. The medication aide must record the phone call to the nurse and the directions provided by the nurse in the resident's clinical record. The nurse must also record the directions given to the medication aide in the resident's clinical record on the next visit to the facility.

Verbal orders must be signed by the ordering practitioner and returned to the facility within seven days of the date of the order.

Follow regulations:

Medication orders should -

Automatic stop orders. Refer to your textbook pg 131.  Nursing facilities are required to have a stop order policy for medications. medications can be given for a period of time without a renewal order from the ordering practitioner. A licensed nurse should contact the practitioner a few days before a stop order on a medication would be implemented to ensure that the practitioner wants the drug discontinued. The purpose of automatic stop orders is to require facility staff to review a resident's drug regimen periodically. Automatic stop orders are usually for more than 60 days up to 6 months. Other licensed facilities are not required to have an automatic stop order policy.

Standing orders may be used for over the counter medications and treatments given for specific situations. Standing orders must be signed by the resident's attending physician before a medication can be administered. A copy of
the signed standing order must be on the resident's clinical record. A licensed nurse must be involved in the decision to implement a standing order. A medication aide cannot make the decision to implement a standing order.

PRN-to be given whenever necessary. Refer to your textbook pg 122-123. Ordering practitioners may write a PRN order for a medication or treatment. The order must contain specific parameters for implementing the order. The order must include the name of the drug, the dosage and specific reasons for administration. An example would be: "Tylenol #3 every 6 hours for pain at incision site." If the resident requests medication for a headache, the Tylenol #3 should not be administered as the site of the pain is not covered by the order. Medication aides may not administer PRN medications which require an assessment. For example, a medication aide could not administer a PRN drug order for Ativan PRN for agitation. Standard of practice is for a nurse to assess the resident and decide the best method for reducing the resident's agitation. The medication aide would need to call a nurse for instructions.

STAT orders-medication is to be administered as soon as possible. Stat orders must be implemented under the direction of a licensed nurse. Source of medications for stat orders is usually the emergency drug kit. Refer to your textbook pg 123.

Questioning a medication order Refer to your textbook pg 125-126.

Ordering medications from the pharmacy

Medication documentation system Refer to your textbook pg 141.Medicaiton Documenting

The facility is required to ensure that each drug and treatment is recorded when administered according to the physician/ARNP/PA/dentist's order. Most facilities use a document called a Medication Administration Record. A procedure for completing the MAR should be available. It is the responsibility of the medication aide to review this policy and ask for assistance from a licensed nurse.

The MAR is a legal document and must be completed accurately. All medications and treatments must be recorded during the medication aide's time on duty. If the medication aide fails to record a medication or treatment, a late entry must be entered in the resident's clinical record.

Medication cards-used less often today because of the unit dose system. Medications cards may be needed when stock medications or medications in multiple dose packaging are used.

Medication Administration Record (MAR) The MAR provides a method for recording the administration of medications to residents by facility by licensed nurses and medication aides. Review pages 130-131 in your textbook. See the picture of a MAR.

Medication preparation or "set up"- general guidelines

The medication aide must know the expected effect of each medication before administration. Each facility should have a nursing drug manual available to staff. If the medication aide is unfamiliar with the medication and cannot find it in a resource, he or she should contact a licensed nurse for that information. The nurse may contact the pharmacist or physician for information. A Physician's Desk Reference does not include all the information necessary for safe administration of medications.

Clear your mind of all distractions, concentrate, do not allow people to talk with you while you are setting up medications.

Prevent transfer of infection.

The environment should promote safety.

There should be plenty of lighting so that labels can be read accurately.

It should be free of distractions and interruptions. The medication aide must concentrate on accuracy.

The area should be kept neat, orderly and clean.

Safety checks help prevent errors.

Medication errors are among the most common medical errors, harming at least 1.5 million people every year, says a new report from the Institute of Medicine of the National Academies.  The extra medical costs of treating drug-related injuries occurring in hospitals alone conservatively amount to $3.5 billion a year, and this estimate does not take into account lost wages and  productivity or additional health care costs, the report says.

What kinds of errors are most common?
In a study by the FDA that evaluated reports of fatal medication errors from 1993 to 1998, the most common error involving medications was related to administration of an improper dose of medicine, accounting for 41% of fatal medication errors. Giving the wrong drug and using the wrong route of administration each accounted for 16% of the errors. Almost half of the fatal medication errors occurred in people over the age of 60. Older people may be at greatest risk for medication errors because they often take multiple prescription medications.

Always follow the “7 Rights of Medication Administration.” (Note addition of 2 rights) Refer to your textbook pg 135-137.

Techniques specific to medications-setting up methods.

Liquid medications

Crushing medications

PDF-To Crush or not to crush This is so important to read.  Click HereCrushing Medicaitons

Here are some examples:

Here is a link to a list of medications that should not be crushed.Click Here

Controlled medications

Common Drug Interactions of your textbook table 21.1 Pg 556-557
Commond Durg-Food Interactions of your textbook table 21.2 pg 557

Also complete the Ch. 6 review on pg 155-159.  You do not need to hand in your answer to your instructor. This is for your study purposes only.

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