September
18, 2001
Honorable John
Henshaw
Assistant Secretary of Labor
Occupational Safety and Health Administration
Washington, DC 20210
Dear John:
The
purpose of this letter is to draw your attention to a promising
lifesaving technology, automatic external defibrillators (AEDs),
and request that you consider whether promotion of AEDs should be
elevated to a priority at the Occupational Safety and Health Administration.
When
used promptly and properly, AEDs can be used to increase the rate
of survival after cardiac arrest. A recent survey article in the
JOURNAL OF THE AMERICAN MEDICAL ASSOCIATION concluded that: AThe
AED represents an efficient method of delivering defibrillation
to persons experiencing out-of-hospital cardiac arrest and its use
by both traditional and nontraditional first responders appears
to be safe and effective.@
Recent
articles in the NEW ENGLAND JOURNAL OF MEDICINE examined the effectiveness
of AED programs in different settings. One study documented a 38%
effectiveness rate in lifesaving among 148 people who suffered cardiac
arrest in casinos. The other study documented a 17% AED effectiveness
rate in lifesaving when available on 627,956 American Airline flights
with trained flight attendants.
AEDs
cost about $3,000 plus maintenance costs, primarily for batteries,
of about $150 per year. A recent study in CIRCULATION found that
untrained sixth graders following automated voice prompts performed
almost as well in use of AEDs as well trained emergency medical
technicians or paramedics. Nevertheless, for organizations that
commit to AED use, there is also an incremental cost of training
personnel for proper use of this technology.
In
a recent editorial in the NEW ENGLAND JOURNAL OF MEDICINE, Dr. Marie
Robertson noted that only 2 to 5% of the 225,000 persons who have
sudden and unexpected cardiac arrest each year outside a hospital
are successfully resuscitated compared to the 17 to 38% success
rates found with AEDs. I do not know how many of these cases of
sudden cardiac arrest occur in the workplace but it seems that this
is a worthwhile question to investigate. One of my senior staff
members, John Morrall, has performed some preliminary cost-effectiveness
calculations and determined that AEDs in the workplace might prove
to be a very cost-effective intervention.
If
you should determine that this matter is a priority for OSHA, a
number of questions will need to be investigated. The National Institute
for Occupational Safety and Health, through its surveillance resources,
may be able to determine the incidence of sudden cardiac arrest
in the workplace. A survey of small and large private employers
might need to be conducted to determine the extent of AED use in
US workplaces and barriers to increased AED use.
I
am aware that steps have been taken by other federal agencies to
promote use of AEDs. On April 12, 2001, after OMB review, the US
Department of Transportation issued a final rule (proposed in the
previous Administration) that requires AEDs on all those air carriers
for which at least one flight attendant is required. The accompanying
regulatory impact analysis indicated that about nine lives per year
would be saved, producing $25.2 million in annual benefits compared
to $2.4 million in annual costs. It has also been brought to my
attention that the Department of Health and Human Services and the
General Services Administration have jointly developed guidelines
for public access to AEDs in public buildings. The guidelines, which
were published in the FEDERAL REGISTER on May 23, 2001, were developed
pursuant to a May 19th 2000 Presidential memorandum.
Although these steps are promising, I am not aware of any steps
by the Federal government to promote the use of AEDs in private
workplaces.
If
you should decide that the AED issue is worthy of investigation,
a series of complex questions will need to be addressed. For example,
the cost-effectiveness of AED availability will depend on how many
AEDs are provided in a workplace setting and what the incremental
effectiveness rate for multiple AEDs proves to be. Moreover, an
important question is whether AED use should be promoted by information,
economic incentives, voluntary agreement, or compulsory regulation.
In
requesting that OSHA consider making AEDs a priority for promotion,
I understand that OSHA faces limited resources, legislative constraints,
and numerous areas where steps can be taken to enhance the health
and safety of workers. At this stage, I am simply asking OSHA to
consider whether this matter should be a priority in the foreseeable
future. I would appreciate an initial response to this inquiry within
60 days. Please do not hesitate to contact me or John Morrall if
you would like to discuss this matter further.
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Sincerely,
/s/
John D. Graham
Administrator
Office of Information and Regulatory Affairs
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