CHESTCHEST NewsUrging CMS to follow best practice CPAP for OSA guideline

Urging CMS to follow best practice CPAP for OSA guideline

In a formal letter to the Agency for Healthcare Research and Quality (AHRQ), commissioned by the Centers for Medicare & Medicaid Services (CMS), the American College of Chest Physicians (CHEST) expresses concern over a recently published report to evaluate long-term health outcomes of continuous positive airway pressure (CPAP).

The CHEST organization appreciates the significant undertaking in capturing the long-term effects of CPAP devices for the treatment of OSA but expresses concerns that the report, “Long-Term Health Outcomes in Obstructive Sleep Apnea: A Systematic Review of Comparative Studies Evaluating Positive Airway Pressure and the Validity of Breathing Measures as Surrogate Outcomes,” does not reflect the current evidence-based standard of care and urges CMS to continue its coverage of CPAP therapy in accordance with the 2019 American Academy of Sleep Medicine (AASM) guideline.

Read the full letter below.

Chiquita Brooks-LaSure
Administrator
Centers for Medicare & Medicaid Services
7500 Security Blvd
Baltimore, MD 21244

CHEST Response to “Long-Term Health Outcomes in Obstructive Sleep Apnea: A Systematic Review of Comparative Studies Evaluating Positive Airway Pressure and the Validity of Breathing Measures as Surrogate Outcomes”

Dear Administrator Brooks-LaSure:

The American College of Chest Physicians (CHEST) appreciates the effort from the Centers for Medicare & Medicaid Services (CMS) to commission the Agency for Healthcare Research and Quality (AHRQ) to evaluate comparative, long term health outcomes of Continuous Positive Airway Pressure (CPAP) in the published report entitled, “Long-Term Health Outcomes in Obstructive Sleep Apnea: A Systematic Review of Comparative Studies Evaluating Positive Airway Pressure and the Validity of Breathing Measures as Surrogate Outcomes”. CHEST supports evidence-based medicine and research that aims to improve upon treatment standards and guidelines; however, CHEST is concerned that the contents of this report do not reflect current evidence-based standard of care, which is supported by the American Academy of Sleep Medicine (AASM) guidelines. Therefore, we urge CMS to continue its coverage of CPAP therapy in accordance with the AASM guidelines. 

CHEST is the leading professional association in innovative chest medicine. We advance the best health outcomes for patients with lung disease through education, advocacy, research, and philanthropy. CHEST is the professional home for more than 21,000 pulmonary, critical care, and sleep medicine professionals dedicated to the delivery of quality, evidence-based care for patients. Our mission is to champion the prevention, diagnosis, and treatment of chest diseases with a focus on ensuring and improving access for all patients, particularly underserved patients of highest need.

OSA is a serious and potentially life-threatening public health condition. Published studies have shown that the condition has been associated with an increased risk of high blood pressure, heart attack, stroke, obesity, diabetes, glaucoma, and depression. As you know, in December 2022, AHRQ released a Final Technology Assessment to address this issue with the aim to “inform sleep medicine clinicians, sleep technologists, other care providers, sleep apnea researchers, policymakers, and other decision makers” on contextual and key questions. These questions include, but are not limited to, inquiries regarding the following:

  • Patient-centered health outcome goals and symptom relief goals of CPAP devices.
  • Efficacy, effectiveness, comparative effectiveness, and harms of CPAP devices to improve long-term health outcomes.
  • Evidence that apnea and hypopnea-based measures of sleep-disordered breathing used in current practice and research are valid surrogates or intermediate measures for long-term health outcomes.

The AHRQ efforts to investigate these focused questions are aligned with CHEST’s organizational mission; however, given the scope of the study, CHEST recommends that CMS refrain from action based on the conclusions of the AHRQ report alone and alternatively rely on the updated, comprehensive AASM guidelines.

I. Limitations of Systematic Review for Clinical Practice

The evidence presented in the AHRQ review excludes important patient-important factors. The systematic review restricted eligibility to include studies that tested a set of specified long-term clinical outcomes. These included measures of Quality of Life, cognitive function, or mental health. Notably absent are patient-important outcomes that were determined to be critical outcomes in the AASM guideline, such as daytime sleepiness and fatigue. The omission of these outcomes has significant consequence, as the AASM guideline found significant improvement in sleepiness using CPAP therapy with high quality evidence. Though we acknowledge this may not have been included in the charge of the grant, these additional patient-important outcomes provide a more comprehensive, patient-centered approach to the treatment of OSA.

The AHRQ review also defines long-term studies by cut-offs that further limit the inclusion of additional key studies. The minimum durations of follow up were defined as a minimum of 1 year for most outcomes, while for mental health conditions, cognitive function, quality of life, and sexual function, length of duration was defined as 6 months. AHRQ states that the choices of minimum duration of follow up were based on discussions centered on “the concept of “long-term” and the expected minimum time required on CPAP treatment to impact outcomes”.

As you know, Study development requires patient enrollment and representative patient samples. Though sleep apnea affects an estimated 2-9 percent of Americans, many go undiagnosed and untreated. The Centers for Disease Control and Prevention (CDC) estimates that as much as 50-75 percent of adults with symptoms of sleep apnea have not been diagnosed.2 Not only does this present a challenge in the overall treatment of the condition, but it also is a clear barrier to research enrollment and study development. Furthermore, once enrolled, there are ethical challenges in randomizing patients with OSA to placebo for long periods of time. 

Studies, particularly traditional randomized control trials (RCT) and comparative studies, face additional barriers that are due to the nature of the condition. These include the variable levels of patient compliance, follow-up, length of time on treatment, and sleep apnea severity and prognosis. Variable levels of patient adherence create notable challenges for the researchers in the studies reviewed. Well-designed studies require extensive resources, time, and funding. The AHRQ review acknowledges insufficient evidence; however, it is important to note that the aforementioned factors remain persisting barriers to further evidence development.

II. AASM Guidelines

In 2019, AASM put forth updated recommendations regarding clinical practice for CPAP treatment in adults with OSA, and these recommendations are intended for use in the evaluation and treatment of sleep-disordered breathing in adults, based on the current evidence available.14 AASM commissioned a task force of board-certified sleep medicine specialists and other experts to conduct a systematic review to identify relevant research and studies, assess the quality and strength of evidence, and develop treatment recommendations. The meta analysis conducted by the task force included 184 relevant studies, as outlined by the task force’s study inclusion criteria. Specifically, the AASM guidelines recommend adult patients use CPAP for ongoing treatment of OSA, rating this recommendation as a strong recommendation. The establishment of the AASM guideline recommendations followed a rigorous process that includes not only a systematic review, but the incorporation of important other factors such as patient values, stakeholder acceptability, equity, and cost effectiveness. It is critical that coverage decisions incorporate not only scientific evidence, but also these critical factors for the application of the evidence in clinical decision-making. Consideration of these additional factors are most critical when there are inconsistencies in the available evidence or the strength of evidence is low, as was the conclusion in the AHRQ review. For these reasons, these guidelines should remain the basis of the field’s standard of care for appropriate and effective treatment of OSA.

Conclusion

CHEST appreciates the significant undertaking in capturing the long-term effects of CPAP devices for the treatment of OSA and recognizes the multitude of considerations in the development of a comprehensive, systematic review. It is our view, however, that the current systematic review does not include all of current evidence and does not highlight the significance of patient-important outcomes. CHEST recommends that CMS continue its coverage of CPAP therapy in accordance with the AASM guidelines, which remain the standard of care across pulmonary and sleep medicine.

CHEST is committed to continue engaging with key external stakeholders to answer any questions, elaborate on CHEST policy positions, and serve as a resource on chest medicine. CHEST is dedicated to continuing to improve the delivery of evidence-based, patient-centered care as well as the prevention, diagnosis, and treatment of chest diseases by supporting the publication of treatment guidelines. We appreciate your consideration, and for additional follow up correspondence, please contact Suzanne Sletto, at ssletto@chestnet.org.

Sincerely,

Doreen Addrizzo-Harris, MD, FCCP
CHEST President

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