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tcoyle

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Posts posted by tcoyle

  1. Per the United States Industry Consensus Standard for the Uniform Labeling of Blood and Blood Components Using ISBT 128 Version 3.0.0 March 2013 published by ICCBBA, for thawed plasma products or Cryo AHF, thawed plasma products that are used with the 6-24 hour expiration can keep their original product code.  The expiration date and time must be changed and that information does not need to be bar coded.  The original expiration date bar code should be lined thru, date and initialed.  You can then write the new expiration date and time below that.

  2. Hi Mabel,

    Best to check the package insert that came with the aliquot bag.  There is a new AABB standard:  

    5.7.2.1.3

     

    Regardless of the integrity of the weld, if no storage time limit is specified in the package insert or the package insert is not available, the component shall have an expiration time of 4 hours after transfer from original container.

  3. CAP All Common 30400 was recently revised;  Transfusion service laboratories may use rare reagents (ie, rare antisera and selected panel red cells to determine the specificity of red cell antigens and antibodies) beyond their expiration date if appropriate positive and negative controls are run each day of use and react as expected. The laboratory must have in-date reagents for routine antigen typing and antibody panel testing.

    I suppose the validation could document how long those cells could be used past expiration...a week; two weeks, etc.

  4. Dear Misty, so much happening!   Does this person have training records?  Competency?  Does your facility have an institutional patient safety reporting?  However, I think this goes well beyond that.  It is a patient safety issue and would recommend you take your documentation to his manager.  This seems like reckless behavior, which in the event management world should become an HR issue.

  5. We have a process for a new piece of hardware such as this.  The lab will print a label from the printer.  Attach this to the form that we use or another piece of paper.  They also take a screen print from the application that label was printed.  They then compare the printed label to the information in the application.  It's all documented on a worksheet and kept in the work unit for the required record retention. 

     

  6. We have a label adherence validation that we do with the label and bag set; so we validate that the label will adhere in all conditions that it may incur.  That could be anything from the blast freezer to a microwave for thawing and of course refrigerator/RT/Freezer conditions.  We do this with any new label stock that we would receive prior to putting it into use.  We basically test the label as it goes thru the manufacturing, storage and processing life cycle.

  7. While not endorsing anyone, we use digitrax labels.  We also have a robust pre-qualification/label adherence protocol to ensure that they will stay put in all situations.  We also ensure that these labels meet the FDA regs for adhesive.

  8. On ‎11‎/‎25‎/‎2017 at 11:10 AM, Cliff said:

    We were cited last year for not labeling emergency release products.  It was deemed an unsafe practice.  Now we ask for the patients names and medical record number.  If they don't have one, a temporary one is to be assigned and that info is provided to us.  We then need to use a different system to print these stickers to place on the emergency release tags that we attach to the units.  This can take a fair amount of time, but somehow is felt to be safer.  Very frustrating.

    Hey Cliff,

    What standard/checklist item were you cited against?

  9. 31st edition of the AABB Standards 5.1.1 Change Control:

    The BB/TS shall have a process to develop new processes or procedures or to change existing ones.  This process shall include identification of specifications and verification that the specification have been met.  Before implementation,  the new or changed processes or procedures shall be validated. Stand 2.12 applies.

    To show that your laboratory isn't changing things on the fly, it is important to have a controlled process in making changes.  AABB has a section on their website under the Accreditation Member Tools a Commendable Practices link.  You may be able to glean some information on how to set up a change control process for your laboratory.

  10. According to the CMS guidelines you do not need to develop one, as long as you are performing the required QC.  This is a snippet from that additional information link:

    I HAVE ALWAYS FOLLOWED MANUFACTURER’S INSTRUCTIONS FOR QC IN MY LABORATORY WHICH IS LESS THAN THE CLIA REQUIREMENT OF 2 LEVELS OF QC EACH DAY OF TESTING. WHY DO I NEED TO CONSIDER DOING AN IQCP?

    Effective as of January 1, 2016, if you wish to continue your current QC practice you will need to perform an IQCP. During test system development, manufacturers challenge their tests in many ways to identify possible failures and build in features to reduce the risk of those failures. However, manufacturers’ instructions for QC may not address all the risks, potential errors and variables that are specific to your laboratory’s situation. Developing an IQCP will address the risks that are specific to your laboratory and help you determine the appropriate QC for your patient testing.

  11. From AABB Weekly, May 5, 2017

    AABB Accreditation to Accept IQCP
    Beginning Oct. 1, facilities that use AABB as their provider under the Clinical Laboratory Improvement Amendments of 1988 (CLIA) will be able to use an individualized quality control plan (IQCP) for limited testing of bacteriology. This is a change in AABB’s accreditation practice regarding the requirements under CLIA, for which AABB has been granted deemed status. Beginning in October, facilities that are accredited by AABB under CLIA that use either the BacT/Alert or Verax system for bacterial contamination testing may use an IQCP or continue to follow the quality control requirements set forth in the Code of Federal Regulations. An IQCP will only be accepted for this limited testing in the specialty of bacteriology. An IQCP will not be accepted for any other specialty for which AABB has been granted deemed status. Additional information about IQCP is available from the Centers for Medicare and Medicaid Services.
     
    And there was this additional information in the AABB News June 2017

    Anne Chenoweth, MBA, MT(ASCP)CM, CQA(ASQ), senior director of accreditation and quality at AABB, told “AABB News” that this change will be beneficial for those facilities that are affected. “Once the Centers for Medicare and Medicaid Services [CMS] removed the CLSI guidance from their interpretative guidelines, AABB realized that the burden for quality control of culture bottles would fall to the facility,” Chenoweth said. “We worked with CMS to ensure that we could recognize IQCP for limited use in bacteriology. IQCP is not required, but this will give facilities that use AABB as their CLIA provider a choice for bacteriology quality control.”

     

     

  12. Hello, are you looking to actually create physical products or just in a computer?  In the past we have made physical units with card stock...yellow for yellow products, red for red cells, and then labeled with labels we have created in our validation environment.

  13. Hello,

    The people have spoken and thanks for the comments!  I agree that the verification of a blood sample per CAP does not state how to do this.  However, AABB is quite clear that determinations of ABO group be performed with the Anti-A and Anti-B reagents and with A1 and B reagent red cells.  

    A question to consider:  isn't it safer for the patient to do the full ABO group test when actual testing is required rather than performing only the front type?  With the front and back type of testing you have a built in monitor to help discover discrepancies. 

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