Last Update: 7/31/2023 (Transmittal I-5-600-6)
HA 02410.006 Federal Old-Age, Survivors and Disability Insurance and
Supplemental Security Income; Listing of Impairments—Respiratory
System (Final Rules; 58 FR 52346, October 7, 1993)
Renumbered from HALLEX section II-4-1-6
DEPARTMENT OF HEALTH AND HUMAN SERVICES
Social Security Administration
20 CFR Parts 404 and 416
[Regulations No. 4 and 16]
RIN 0960-AB00
Federal Old-Age, Survivors and Disability Insurance and Supplemental
Security Income; Listing of Impairments - Respiratory System
AGENCY: Social Security Administration, HHS.
ACTION: Final rules.
SUMMARY: These amendments revise the criteria in the Listing of
Impairments (the listings) that we use to evaluate respiratory impairments
for adults and children who claim Social Security benefits or supplemental
security income (SSI) payments based on disability under title II and
title XVI of the Social Security Act (the Act). The revisions reflect
advances in medical knowledge, treatment, and methods of evaluating
respiratory impairments.
DATE: These rules are effective October 7, 1993.
FOR FURTHER INFORMATION CONTACT: Cassandra Bond or Alicia Matthews, Legal
Assistants, 3-B-1 Operations Building, 6401 Security Boulevard, Baltimore,
MD 21235, (410) 965-1794 or 965-1713.
SUPPLEMENTARY INFORMATION:
The Act provides, in title II, for the payment of disability benefits to
workers insured under the Act. Title II also provides for the payment of
child's insurance benefits for persons who became disabled before age 22
and widow's and widower's insurance benefits based on disability for
widows, widowers and surviving divorced spouses of insured individuals. In
addition, the Act provides, in title XVI, for SSI payments to persons who
are disabled and have limited income and resources. For workers insured
under title II, for children of workers insured under title II who become
disabled before age 22, for widows, widowers and surviving divorced
spouses claiming widow's or widower's insurance benefits based on
disability under title II, and for adults claiming SSI benefits based on
disability, "disability" means inability to engage in any
substantial gainful activity. For children under the age of 18 who apply
for SSI payments based on disability, "disability" means that
the child's physical or mental impairment(s) is of comparable severity to
an impairment that would make an adult (a person age 18 or older)
disabled. Under both title II and title XVI, "disability" must
be by reason of a medically determinable physical or mental impairment or
combination of impairments which can be expected to result in death or
which has lasted or can be expected to last for a continuous period of at
least 12 months.
Under the sequential evaluation process, if the evidence shows that an
individual is not engaging in substantial gainful activity and has an
impairment(s) that meets the statutory duration requirement, is severe,
and meets or equals in severity a listing criteria, the individual is
disabled. (In the case of a child applying for SSI, this includes
consideration of whether the child's impairment(s) is functionally
equivalent to a listed impairment, as defined in § 416.926a.) If the
impairment(s) does not meet or equal in severity any listing criteria, no
conclusion regarding disability is made. Rather, we evaluate all signs,
symptoms, laboratory findings, and other evidence to determine whether the
person is disabled. For an adult, we assess residual functional capacity
and, based on that assessment, determine whether the claimant retains the
capacity to perform past relevant work, or, if not, whether he or she
retains the capacity to perform any other work considering his or her
residual functional capacity, age, education, and work experience. If not,
the adult is disabled. For a child under the age of 18 applying for SSI,
we individually assess the child's ability to function to determine
whether there is a substantial reduction in the child's ability to
function independently, appropriately, and effectively in an
age-appropriate manner. If there is such a substantial reduction, the
child is disabled.
Medical criteria for evaluating disability and blindness at the third step
of the sequential evaluation processes for adults and children are found
in the listings which are set out as appendix 1 to subpart P of part 404
of our regulations. The listings include examples of the most commonly
occurring medical conditions for persons who file applications for
disability benefits. It describes, for each of 13 major body systems,
impairments that are considered severe enough to prevent an individual
from engaging in any gainful activity, or in the case of a child under the
age of 18 applying for SSI, examples of impairments that are severe enough
to prevent a child from functioning independently, appropriately, and
effectively in an age-appropriate manner. Most of the listed impairments
are permanent or are expected to result in death; in some instances, a
specific durational requirement is a part of the medical criteria for the
impairment (in addition to the 12-month duration requirement that applies
to all impairments that are not expected to result in death).
Appendix 1 consists of two parts, part A and part B. The criteria in part
A apply to the evaluation of impairments of adults but may, in some cases,
be appropriate for evaluating impairments in children under age 18. Part B
contains medical criteria for the evaluation of impairments in children
under age 18 when the criteria in part A do not give appropriate
consideration to the particular effects of the disease processes in
childhood. In evaluating disability for a child under age 18, we use part
B first. If the criteria in part B do not apply, then we use the medical
criteria in part A, when the criteria are appropriate. To the extent
possible, we maintain a structural and content relationship between parts
A and B (see §§ 404.1525 and 416.925). When part A criteria are
repeated in part B, our intent is to eliminate any question about their
application to children.
When we revised the listings on December 6, 1985 (50 FR 50068), we
indicated that medical advancements in disability evaluation and treatment
and program experience would require that the listings periodically be
reviewed and updated. Accordingly, we specified termination dates ranging
from 4 to 8 years for each of the specific body system listings. These
dates currently appear in the introductory paragraphs of the listings. One
extension for the termination date for part A of the respiratory system
appeared in the Federal Register of
November 27, 1991 (56 FR 60059), and extended the original date on which
the part A listings would no longer be effective from December 6, 1991, to
December 7, 1992. A second extension for the termination date for part A
of the respiratory system appeared in the
Federal Register of December 7, 1992
(57 FR 57665), and extended the termination date to June 7, 1993. A third
extension for part A of the respiratory system appeared in the
Federal Register of June 7, 1993 (58
FR 31906), and extended the date on which the listings would no longer be
effective to December 6, 1993. We are now updating the respiratory system
listings in both 3.00 (part A) and 103.00 (part B), and extending the
effective date of these revised listings for 7 years from the date of
their publication. Therefore, 7 years after publication of these final
rules, these regulations will cease to be effective, unless they are
extended by the Secretary or revised and promulgated again.
We published these regulations in the
Federal Register (56 FR 52231) as a
Notice of Proposed Rulemaking (NPRM) on October 18, 1991. Interested
persons, organizations, Government agencies, and other groups were given
60 days to comment. The comment period ended December 17, 1991. We
received letters from 11 commenters. These comments are addressed
below.
Explanation of the Final Rules
We have updated these final rules to provide criteria for evaluating
respiratory impairments at the listing level of severity reflecting
state-of-the-art medical science and technology. The basic approach
underlying the final respiratory system listings is to place less emphasis
on the diagnosis of disease, and to emphasize the impact of the
impairment(s) on a person's ability to perform work-related activities or,
in the case of a child applying for SSI payments based on disability, on
the child's ability to function independently, appropriately, and
effectively in an age-appropriate manner.
We revised the respiratory system listings with information we received
from individuals recommended by various medical professional groups,
including the American Medical Association, the American Thoracic Society,
the American Lung Association, the American College of Chest Physicians,
the American Society of Internal Medicine, the American College of
Physicians, the Cystic Fibrosis Foundation, and the American Nurses
Association. We also received information from individual Federal and
State representatives who have expertise in evaluating disability claims
involving respiratory impairments. We also obtained information from
individual pediatric experts to revise the part B listings.
The final listings revise the criteria to encompass disorders for which
specific criteria have not been previously published (e.g., sleep-related
breathing disorders) and to include state-of-the-art evaluative
techniques. All of the techniques (tests, procedures, etc.) cited in the
regulations are generally available and are included in the cumulative
list of New or Improved Diagnostic Techniques, as published in the
Federal Register on May 9, 1990, at
55 FR 19357.
The following is a summary of the provisions of the final rules and the
changes we have made to the text of the NPRM. Finally, we have made a
number of minor editorial changes throughout the rules to correct errors
in the NPRM, to make the rules internally consistent, and to conform the
style of these listings to our other listings.
A. Revisions to Part A of Appendix 1
In a technical correction, we are deleting the opening statement after the
heading because it was redundant. The sentence repeated, almost verbatim,
the statement in the third paragraph of the introductory text to appendix
1 that the respiratory system listings will no longer be effective 7 years
after publication of the final rules unless extended by the Secretary or
revised and promulgated again. In addition, our inclusion of the statement
in 3.00 was inconsistent with all of the other listings sections except
12.00, the only other section in part A and part B that repeated the
expiration date in its opening text.
We have modified the first paragraph of final 3.00A and made conforming
changes to the first paragraph of 103.00A so that both paragraphs explain
that the listings for respiratory impairments describe impairments based
on symptoms, physical signs, laboratory test abnormalities, and response
to a regimen of treatment which may have been prescribed by a treating
source. The proposed rules referenced a regimen of therapy; however, for
clarity the word "therapy" has been changed to the broader term
"treatment" in this paragraph and throughout these regulations.
No substantive change is intended by this technical correction.
In addition, as a result of public comments, we deleted the last sentence
of the first paragraph of proposed 3.00A which indicated that the
functional evaluation of the severity and duration of a respiratory
disorder should be performed only after prescribed therapy has been
instituted and sufficient time has elapsed for the results to be
evaluated. We have, however, added a new second paragraph to 3.00A and
103.00A to indicate that, when there is evidence of medically prescribed
treatment, the clinical record must include a description of the treatment
prescribed by the treating source and response, in addition to information
about the nature and severity of the impairment. This paragraph notes that
it is important to document the prescribed treatment and response because
this medical management may have improved the individual's functional
status.
We added the third paragraph in response to comments which pointed out
that some people do not receive treatment, and that some do not have an
ongoing relationship with the medical community. The new paragraph
explains that an individual who does not receive treatment may or may not
be able to show the existence of an impairment that meets the listings.
Even if an individual does not show that he or she has an impairment that
"meets" the criteria of the listings, the individual may still
have impairments that are "equal" in severity to a listed
impairment or he or she may be found disabled at the last step of the
sequential evaluation process. To be consistent with the adult rules, we
also added a third paragraph to final 103.00A of the preface to the
childhood listings; the paragraph contains provisions similar to the adult
rules.
In the third sentence of the fourth paragraph when we discuss the evidence
needed to establish the presence of chronic pulmonary disease, we have
added other appropriate imaging techniques after x-ray to recognize there
are now other technologies used for imaging. We have made a similar change
in the first paragraph of 3.00F1, and in 3.00F3.
We also have included in the sixth paragraph a discussion of the
documentation which may be needed with a diagnosis of diffuse interstitial
fibrosis or clinical findings suggesting cor pulmonale, such as cyanosis
or secondary polycythemia. This documentation may require measurement of
carbon monoxide diffusing capacity or arterial blood gases at rest and
infrequently during exercise in addition to evidence of the clinical
evaluation and chest x-ray or other appropriate imaging techniques and
spirometry. We also clarified the discussion of pulmonary vascular disease
with its specific documentation requirements to state that right heart
catheterization with angiography and/or direct measurement of pulmonary
artery pressure may have been done. We further state that when performed,
the results should be obtained because the results may be useful in
evaluating impairment severity.
The final paragraph of 3.00A is a new paragraph that we added to clarify
that the listings can never be used to deny claims. It is a reminder that
claimants whose impairments do not "meet" any listing may still
be found to have impairments that are "equal" in severity to a
listing, and that the listings can only be used to find a person disabled,
but not to find a person "not disabled." The new paragraph
stresses the importance of an individualized residual functional capacity
assessment, which may or may not result in a finding of disability,
whenever a person's severe impairment(s) does not meet or equal the
requirements of a listing. To be consistent with the adult rules, we also
added a final paragraph to 103.00A of the preface to the childhood
listings emphasizing the importance of equivalence determinations and
individualized functional assessments when childhood impairments do not
meet a listing.
3. Mycobacterial, Mycotic, and Other Chronic Persistent Infections of
the Lung
The final rules in 3.00B include other chronic persistent infections of
the lung, in addition to mycobacterial and mycotic infections. We removed,
without replacement, the proposed last sentence of this section, which
indicated that chronic pulmonary infection occurring in the setting of
immunodeficiency should be evaluated under the criteria for the
appropriate underlying disorder because we believe it to be unnecessary.
Our adjudicators know that we have separate criteria for the evaluation of
impairments of the immune system, including human immunodeficiency
virus.
4. Episodic Respiratory Disease
In 3.00C, we specify the documentation requirements for episodic
respiratory disease. Documentation must include information relating to
the adherence to a prescribed therapeutic regimen, thus, again, serving to
emphasize the importance of treatment that the claimant is expected to
have received. The documentation requirements define the severity of an
attack fulfilling the intensity component of the listing criteria, and
define hospital admissions as inpatient hospitalizations for longer than
24 hours. Based upon a public comment which questioned the need for
spirometric results between attacks of episodic respiratory diseases
(asthma, cystic fibrosis, and bronchiectasis), we clarified that this rule
pertains only to cases of asthma, as explained in more detail in the
public comments section.
Paragraph D is being added to the introductory material in 3.00 to
recognize the increasing number of children with cystic fibrosis surviving
to adulthood. The adult listings, therefore, explicitly recognize this
condition, and in the first sentence, we indicate that this disorder may
affect either the respiratory or digestive body systems or both. We
provide a description of cystic fibrosis, including information concerning
the proper diagnostic approach. In response to public comments, we added a
reference to the medical literature which describes the diagnostic test
(i.e., the quantitative pilocarpine iontophoresis sweat test). We also add
that there are two methods of sweat collection, the Gibson-Cooke and
Wescor Macroduct systems; however, to establish the diagnosis of cystic
fibrosis, the sweat sodium or chloride content must be analyzed
quantitatively using an acceptable laboratory technique. The pilocarpine
method, the specifications for which are published by the Cystic Fibrosis
Foundation, is an acceptable testing procedure. The pilocarpine method has
the lowest false positive and false negative results of any sweat
collection technique that is currently available to confirm the diagnosis
of cystic fibrosis. The test is available in all Cystic Fibrosis Centers
affiliated with the Cystic Fibrosis Foundation, as well as in major
university medical centers. In addition, we have identified and included
another test for diagnosing cystic fibrosis. It is the genetic test for
homozygosity of the cystic fibrosis gene and is known as "CF gene
mutation analysis."
In the penultimate sentence, in response to a public comment, we reference
the digestive body system as the other nonpulmonary body system which
could be affected by cystic fibrosis. We clarified the last sentence to
indicate that the combined effects of the involvement of the respiratory
and digestive body systems must be considered in case adjudication.
6. Documentation of Pulmonary Function Testing
For consistency with the terminology used throughout these regulations, in
the title and in the second sentence, we have changed
"ventilatory" function testing to "pulmonary" function
testing. We have made a similar change in 103.00B. We expanded 3.00E,
designated as 3.00D in our prior rules, to include more specific
requirements for documentation of pulmonary function tests. The revision
is consistent with published standards for test performance approved by
the American Thoracic Society in the "American Review of Respiratory
Disease," Vol. 136, No. 5: pp. 1285-1298, 1987, and the National
Institutes of Health Epidemiology Standardization Project. Criteria are
outlined specifying what constitutes an acceptable study. These criteria
include the use of the back-extrapolation technique for zero time, the
requirement for early onset of peak flow rates, and specific criteria for
reproducibility. Performance standards require that at least three
acceptable spirograms be obtained, two of which are reproducible.
Comprehensive standards are provided for calibration of instruments other
than those that generate the spirogram by direct pen linkage to a
mechanical displacement-type spirometer. Three levels of calibrations are
required for primary flow sensing devices because some of these devices
are not linear over the wide range of flow rates which occur in the
spirogram. These requirements for accuracy and calibration are consistent
with the standards for spirometers endorsed by the American Thoracic
Society.
The maximum voluntary ventilation requirement in our prior rules was
deleted as a criterion because it was considered to be effort-dependent,
infrequently used in clinical practice, and poorly standardized among
laboratories. In the prior rules, the major usefulness of the maximum
voluntary ventilation requirement was that it provided confirmation of the
degree of impairment indicated by the one second forced expiratory volume
(FEV1) when the test was of less than optimal quality. These final
listings incorporate specific requirements to ensure the quality of forced
expiratory spirometry studies.
We added two new sentences to the second paragraph of 3.00E and 103.00B to
indicate first that pulmonary function studies should not be performed
unless the claimant's clinical status is stable. The second sentence
indicates that wheezing per se does
not necessarily preclude performance of a pulmonary function test because
wheezing is common in asthma, chronic bronchitis, or chronic obstructive
pulmonary disease. Also, in the last sentence of this paragraph, we
defined "most stable state of health" as "any period in
time except during or shortly after an exacerbation."
In response to a public comment, we added language to the last sentence in
the fifth paragraph of 3.00E and 103.00B to explain that the calibration
tracings, as well as the spirograms, must be presented in a volume-time
format at a speed of at least 20 mm/sec and a volume excursion of at least
10 mm/liter to permit independent evaluation.
7. Documentation of Chronic Impairment of Gas Exchange
In 3.00F1, we include a detailed description of the specifications for
performance of the diffusing capacity of the lungs for carbon monoxide
study to evaluate impairment of gas exchange. These listings place greater
emphasis on the use of diffusing capacity of the lungs for carbon monoxide
study as a measure of gas exchange prior to consideration of purchasing
arterial gas analysis and exercise testing. The use of a diffusing
capacity of the lungs for carbon monoxide study to estimate gas exchange
impairment is based on state-of-the-art information that diffusing
capacity is an important indicator of gas exchange and work capacity, and
is an important predictor of mortality in lung disorders. The performance
criteria for the test have been standardized by the American Thoracic
Society in the "American Review of Respiratory Disease," Vol.
136, No. 5: pp. 1299-1307, 1987, and the standardization of criteria has
been incorporated into the listings.
In the last sentence of the first paragraph of 3.00F1, we clarified the
language on purchase of a diffusing capacity of the lungs for carbon
monoxide study to indicate that purchase of a diffusing capacity of the
lungs for carbon monoxide study may be appropriate when there is a
question of whether an impairment meets or is equivalent in severity to
the listing, and the claim cannot otherwise be favorably decided.
We provide criteria in 3.00F2 for resting arterial blood gas studies. In
3.00F2 and 3.00F3, we also specify that before purchase of arterial blood
gas studies at rest or during exercise, a program physician, preferably
one with experience in the care of patients with pulmonary disease, must
review all clinical and laboratory data in the record to determine whether
obtaining the test would present a significant risk to the individual. In
3.00F2, we also state that arterial blood gas studies at rest or on
exercise should be purchased only from a laboratory certified by a State
or Federal agency.
In the second paragraph of 3.00F2 and 103.00C1, we clarified our language
on purchase to indicate that purchase of resting arterial blood gas
studies may be appropriate when there is a question whether an impairment
meets or is equivalent in severity to a listing and the claim cannot
otherwise be favorably decided. To further clarify our intent on the
purchase of resting arterial blood gas studies, we added a sentence to the
second paragraph of 3.00F2 that indicates if the results of a diffusing
capacity of the lungs for carbon monoxide study are greater than 40
percent of predicted normal but less than 60 percent of predicted normal,
purchase of resting arterial blood gas studies should be considered.
In 3.00F3, we reorganized the first paragraph as it appeared in the NPRM
to indicate that arterial blood gas studies with exercise may be
appropriate in cases in which there is documentation of chronic pulmonary
disease, but full development, short of exercise testing, is not adequate
to establish if the impairment meets or is equivalent in severity to a
listing, and the claim cannot otherwise be favorably decided. As a result
of this reorganization, we deleted the fourth sentence of the proposed
rule because it was redundant in light of the revision to the first
sentence. Exercise testing with blood gas analysis should only be done
after the diffusing capacity of the lungs for carbon monoxide study has
been estimated and the documentation has been found to be inadequate for
the evaluation of the severity of functional impairment. In 3.00F3, we
deleted the language regarding a FEV1 greater than 2.5 liters from the
second paragraph of the proposed rule because it was medically inaccurate
in that this finding is not a sensitive marker for absence of a gas
exchange impairment. We have, however, retained language that when an
individual has a diffusing capacity of the lungs for carbon monoxide
greater than 60 percent of predicted normal, an exercise blood gas study
generally would not be needed.
In 3.00F4, we revised the methodology for performance of an exercise test
to include use of measurements at two exercise levels if the individual
can satisfactorily complete the lower level of exercise at approximately 5
METs. In the third sentence, we reflect the weight in both pounds and
kilograms for clarity. We expanded the last sentence of the fifth
paragraph to indicate that the statement the laboratory provides
concerning why the claimant failed to complete 4 to 6 minutes of steady
state exercise, provides information which may be useful for determining
whether effort was limited by lack of effort or another impairment which
affected the claimant's ability to exercise.
8. Chronic Cor Pulmonale and Pulmonary Vascular Disease
In 3.00G, we provide a more detailed description of chronic cor pulmonale
and pulmonary vascular disease for which specific new criteria are
provided in 3.09. We clarified that the establishment of an impairment
attributable to irreversible cor pulmonale secondary to chronic pulmonary
hypertension requires documentation by signs and laboratory findings of
right ventricular overload or failure. This was the intent of the language
which appeared in the NPRM. We also clarified that hypoxemia may accompany
heart failure and is also a cause of pulmonary hypertension and also that
polycythemia with an elevated red blood cell count and hematocrit may be
found in the presence of chronic hypoxemia.
9. Sleep-Related Breathing Disorders
We are also adding 3.00H to provide a description of sleep-related
breathing disorders, which are not addressed in the prior listings.
Reference criteria are provided for the evaluation of these disorders in
3.10. In response to a public comment to provide more detailed information
on the effect of sleep apnea on an individual, we have added a sentence
recognizing that because daytime sleepiness can affect memory,
orientation, and personality, a longitudinal treatment record may be
needed to evaluate mental functioning. We also added a sentence to clarify
that chronic hypoxemia due to episodic apnea may cause pulmonary
hypertension. Daytime somnolence may be associated with disturbance in
cognitive vigilance. Impairment of cognitive function may be evaluated
under organic mental disorders (12.02). If the sleep disorder is
associated with gross obesity, evaluation will be under the applicable
obesity listing.
1. Category of Impairments, Respiratory System
a. Chronic Pulmonary Insufficiency
Paragraph A of 3.02 and table I now only require one-second forced
expiratory volume values rather than both FEV1 and maximum voluntary
ventilation results. The FEV1 values are substantively unchanged from our
prior rules. Table I, however, is constructed so that rounding of reported
volume values will not be necessary. For clarity, the heights are shown in
centimeters and inches rather than just inches. In addition, in paragraph
A, for clarity, we have made a nonsubstantive change from the NPRM and
added "due to any cause" after the opening phrase, "Chronic
obstructive pulmonary disease." This phrase is also in our prior
rules. For consistency, we included it in 103.02A. For clarity, we also
added, in parentheses, the cross reference to 3.00E for guidance on
determining the height of an individual with marked spinal
deformity.
In the first sentence of 3.02B, we added "due to any cause"
after "chronic restrictive ventilatory disease" and in 103.03B.
In final 3.02, paragraph B has been clarified by adding a cross reference
to 3.00E for cases of marked spinal deformity rather than repeating, as we
did in the NPRM, the same information that is already contained in the
introductory material in 3.00E. Table II is modified so that rounding of
reported forced vital capacity values will not be necessary and the
heights are shown in both inches and centimeters.
Final 3.02C, provides criteria for evaluating a gas exchange abnormality
based on a diffusing capacity of the lungs for carbon monoxide study,
arterial blood gas studies at rest or exercise testing with measurement of
arterial blood gas studies. The diffusing capacity of the lungs for carbon
monoxide criteria have been modified from the values in our prior rules
(less than 9 ml/min/mm Hg, or less than 30 percent of the predicted normal
value) to less than 10.5 ml/min/mm Hg, or less than 40 percent of the
predicted normal value. This revision represents updated information from
the American Thoracic Society correlating these values for diffusing
capacity of the lungs for carbon monoxide with work capacity and
mortality. ("American Thoracic Society Statement on Evaluation of
Impairment/Disability Secondary to Respiratory Disease",
"American Review of Respiratory Disease," Vol. 133, No. 6, pp.
1205-09, 1986.) Because of the variation in published predicted values,
the listing criteria specify that the source of the predicted values
should be reported or, if not published, should be submitted in the form
of a table or nomogram.
Paragraph C2 of 3.02 provides criteria for resting arterial blood gas
studies. Resting arterial hypoxemia is associated with increased mortality
and development of pulmonary hypertension and cor pulmonale. Based upon a
public comment that there could be misapplication of this listing, we have
included again tables III-A, III-B, and III-C from the prior listing 3.02
to provide for the evaluation of hypoxemia at three altitudes. We have
deleted the proposed criteria for evaluating hypoxemia at two altitudes
(i.e., less than 4000 feet and 4000 feet and greater). The correction for
hypoxemia for carbon dioxide tension is contained in tables III-A, III-B,
and III-C. The requirement in paragraph C2 that the two measurements of
resting arterial oxygen tension (PO2) be separated by an interval of three
or more weeks within a six-month period in order to meet the requisite
level of hypoxemia is based upon the degree of technical and biologic
variability of arterial oxygen levels and is consistent with standards
used in studies on mortality and performance in persons with chronic lung
disease.
Paragraph C3 has been revised based upon public comments to reflect
arterial blood gas values of PO2 and simultaneously determined PCO2 during
steady state exercise with a parenthetical statement defining the exercise
level and referencing to tables III-A, III-B, and III-C.
In 3.03, paragraph B provides that hospitalization for longer than 24
hours for control of asthma counts as two asthma attacks for purposes of
meeting the frequency requirement of at least one attack every 2 months,
or at least six times a year. Paragraph B also states that medical
evidence of record over a period of at least 12 consecutive months must be
used to determine the frequency of attacks.
Listing 3.04 has been added to establish criteria for evaluating cystic
fibrosis in adults because an increasing number of individuals with this
disease are now living into adulthood. The listing provides new criteria
for the evaluation of the pulmonary manifestations of this disorder. Based
upon public comments, we revised 3.04A to include a separate table (table
IV) to be used only for the evaluation of cystic fibrosis in adults, as is
done in the childhood rules in 103.04A. We also added 3.04C to include
those criteria shown in 103.04C because some adults could manifest the
findings shown.
Listing 3.06 is a cross-reference listing by which pneumoconiosis
demonstrated by appropriate imaging techniques can be evaluated under the
appropriate criteria in listing 3.02.
Bronchiectasis, 3.07, is somewhat similar to the clinical aspects of
asthma and cystic fibrosis in that the course may be characterized by
exacerbations and remissions. Therefore, a new paragraph B is provided to
make the criteria for episodes of bronchitis or pneumonia or hemoptysis or
respiratory failure consistent with 3.03 (asthma) and 3.04 (cystic
fibrosis). Paragraph B indicates that episodes of bronchitis or pneumonia
or hemoptysis or respiratory failure requiring physician intervention at
least six times a year will meet the requirements of the listing.
f. Mycobacterial, Mycotic, and Other Chronic Persistent Infections of
the Lung
In response to a public comment, we have combined proposed 3.08 and 3.09
into one reference listing and retitled it as shown above.
g. Cor Pulmonale Secondary to Chronic Pulmonary Vascular
Hypertension
Because we combined proposed 3.08 and 3.09 into final 3.08, we have
renumbered this listing as 3.09. More specific criteria are provided
requiring the establishment of an impairment due to chronic cor pulmonale.
Additional criteria to those in 4.02 are provided to facilitate
adjudication when resting arterial blood gases have been measured and
hypoxemia fulfills 3.02C2. Also, we have clarified paragraph B for
arterial hypoxemia to cross-refer to 3.02C2 for the evaluation of arterial
hypoxemia. We have revised 3.09C to merely reference 4.02 so that this
listing will remain current even if future revisions are made to the 4.02
criteria.
h. Sleep-related Breathing Disorders
Based upon the reorganization discussed previously, this listing is now
designated 3.10 (3.11 in the NPRM). This is a new listing for
sleep-related breathing disorders and refers to the persistent functional
consequences of this condition. When a sleep-related breathing disorder
limits or precludes work activity, the physiologic basis for the
impairment may be chronic cor pulmonale, or a disturbance in cognitive
performance. Some individuals with this disorder are morbidly obese.
Reference listings are provided for the evaluation of these
manifestations.
C. Revisions to Part B of Appendix 1
Consistent with our discussion of revisions to part A of appendix 1, we
have deleted the language we proposed in the NPRM which repeated in 103.00
the sunset provision for the respiratory listings in part B. This
statement in the childhood rules would not only have been redundant of the
opening text, but would also have made 103.00 inconsistent with all other
listings sections except 12.00, the only other section that repeats the
sunset provision in its opening text.
In addition to the changes explained in 3.00A, we added a final sentence
to the first paragraph to indicate that reasonable efforts should be made
to ensure evaluation of the child's claim by a program physician
specializing in childhood respiratory impairments or a qualified
pediatrician. We also added introductory material in the third paragraph
of 103.00A to provide a discussion that evaluation should include
consideration of the adverse effects of respiratory disease in all
relevant body systems, and especially on the child's growth and
development or mental functioning.
3. Documentation of Pulmonary Function Testing
We have retitled 103.00B to be consistent with 3.00E. We removed the
reference to 103.10 contained in the NPRM because there was no such
listing in the NPRM or in these final regulations. The updated standards
for pulmonary function testing and the rationale for including them are
essentially the same as those under 3.00E. A statement describing the
child's ability to understand directions and the child's effort and
cooperation in the testing should still be included as part of the report.
Criteria are outlined specifying what constitutes an acceptable study.
These criteria include the use of the back-extrapolation technique for
zero time, the requirement for early onset of peak flow rates, and
specific criteria for reproducibility. Performance standards require that
at least three acceptable spirograms be obtained, two of which are
reproducible. Criteria are included for when spirometry should be repeated
after administration of an aerosolized bronchodilator. Comprehensive
standards are provided for calibration of instruments other than those
that generate the spirogram by direct pen linkage to a mechanical
displacement-type device. Three levels of calibrations are required for
primary flow sensing devices because some of these devices are not linear
over the wide range of flow rates which occur in the spirogram.
As a result of a public comment, we eliminated the discussion on rounding
and constructed the tables similar to the adult tables.
In response to a public comment, we have added a new seventh paragraph to
explain that performance of a pulmonary function test is appropriate only
when the child is capable of performing reproducible forced expiratory
maneuvers. This capability usually occurs around age 6.
4. Documentation of Chronic Impairment of Gas Exchange
This section has been redesignated 103.00C (it was proposed 103.00B2)
because we decided to reorganize these rules to be consistent with the
rules in part A. In 103.00C1, "Arterial blood gas studies
(ABGS)," we provide the documentation requirements for chronic
impairment of gas exchange and guidance regarding the performance of blood
gas studies. In 103.00C2, we provide guidance on the use of pulse oximetry
as a substitute for arterial blood gas testing in children under age 12.
The proposed rules had age 3 as the cut-off point, but based upon a public
comment and advances in medical science, we increased the age to 12. Based
on a public comment, we also added a statement at the end of the first
paragraph to indicate that the report of the pulse oximetry test should
include a statement on the child's cooperation during the test. The pulse
oximetry provision for documenting gas exchange abnormalities is necessary
because arterial blood samples are difficult to obtain in children under
12 years of age, and many children being evaluated will require oxygen
periodically, during which times blood gas determinations cannot be made.
Further, invalid values can result because the procedure is painful and
frequently causes crying. Pulse oximetry has been established as a safe
and relatively painless procedure. It is more repeatable than ABGS and
more accurate than transcutaneous techniques. It is becoming the
state-of-the-art procedure for determining gas exchange abnormalities in
young children and is as available in hospitals and clinics as are blood
gas determinations.
For clarity, in the last sentence of 103.00C1, we indicated that the
program physician who determines whether to purchase a resting arterial
blood gas study should preferably be one experienced in the care of
children (the NPRM indicated patients) with pulmonary disease.
For consistency with the adult rules and based upon a public comment, we
added a new paragraph to 103.00C1 and C2 which discusses when purchase of
a resting ABGS or oximetry may be appropriate (i.e., when there is a
question of whether an impairment meets or is equivalent in severity to a
listing, and the claim cannot otherwise be favorably decided).
This section has been redesignated 103.00D (it was 103.00C in the NPRM)
because of the reorganization discussed above. Based upon a public
comment, we revised the first sentence to indicate that this disorder can
affect either the respiratory or digestive body systems or both, as well
as impact the child's growth and development. In response to public
comments, we have provided additional guidance on tests which can be used
for the diagnosis of cystic fibrosis. The quantitative pilocarpine
iontophoresis procedure for collection of sweat content must be utilized.
We note that the Gibson-Cooke and Wescor Macroduct methods are acceptable.
The sweat sodium or chloride content must be analyzed quantitatively using
an acceptable laboratory technique. This pilocarpine method, published by
the Cystic Fibrosis Foundation, is an acceptable testing procedure as it
has the lowest false positive and false negative results of any sweat
collection technique that is currently available to confirm the diagnosis
of cystic fibrosis. The test is available in all Cystic Fibrosis Centers
affiliated with the Cystic Fibrosis Foundation, as well as in major
university medical centers. In addition, we are including another
diagnostic technique which is a genetic test for homozygosity of the
cystic fibrosis gene and is called "CF gene mutation analysis."
Most children with suspected cystic fibrosis are referred to these centers
for the diagnosis, evaluation, and ongoing management of this disorder. We
clarified the last sentence contained in 103.00C of the NPRM to indicate
that the combined effects of the involvement of the respiratory and
digestive body systems, as well as the impact of the disorder on a child's
growth and development should be considered in case adjudication.
6. Bronchopulmonary Dysplasia (BPD)
This section has been redesignated 103.00E (it was 103.00D in the NPRM)
because of the reorganization above. We added new material to the
introduction in 103.00E to provide an explanation of bronchopulmonary
dysplasia (BPD) and the requirements for establishing the diagnosis. BPD
was first reported in 1967 and had a very high mortality rate.
Improvements in technology and patient management have resulted in
increased survival and recovery of premature infants. Although the
majority of infants with BPD do recover, some progress to chronic
pulmonary disease, resulting in severe respiratory and related functional
impairments.
7. Category of Impairments, Respiratory System
The revisions to the part B respiratory listings maintain structural and
content comparability with part A to the extent applicable. As in the
sections of 103.00, there were a few instances in which we were able to
incorporate language from the adult rules into the childhood listings
language we proposed in the NPRM, or to make the same or similar revisions
in both parts for even greater consistency between parts A and B.
a. Chronic Pulmonary Insufficiency
In a technical, nonsubstantive change, we have redesignated the listing we
proposed as 103.14 in the NPRM as final 103.02 and revised the final
listing in order to preserve structural and content comparability with
part A. Thus, final 3.02 and 103.02 now both list impairments that fall
under the heading of chronic pulmonary insufficiency, including chronic
obstructive and chronic restrictive pulmonary impairments.
We revised final 103.02A from the language in proposed 103.14A to confine
its criteria to chronic obstructive pulmonary disease due to any cause, in
order to maintain structural and content comparability with 3.02A. For the
same reason, we moved table I from 103.03 of the NPRM to final 103.02A.
Table I is constructed so that rounding of reported volume values will not
be necessary. For clarity, the heights are shown in centimeters and
inches. We also added a statement, like the statement in the corresponding
adult rule, that the height in the table refers to height without shoes
and added a cross reference to 103.00B for the discussion of measurement
of children who have marked spinal deformity. Similarly, we revised the
first column heading in table I to indicate that the height is without
shoes. None of these revisions is substantive. We have merely incorporated
the guidance that was already in proposed 103.00B directly into the
listing and the table in order to make them clearer and consistent with
the analogous adult rule. Finally, we made minor editorial changes to the
language of the provision for clarity and consistency with other
provisions.
Final listing 103.02B is now applicable to chronic restrictive ventilatory
disease due to any cause, and corresponds to adult 3.02B. As in final
103.02A, we incorporated the guidance on height and a cross reference to
103.00B. Because of the restructuring of the rules, we redesignated table
III of proposed 103.14 as table II in final 103.02B and modified it so
that rounding of reported forced vital capacity values will not be
necessary. The heights are shown in centimeters and inches.
Final 103.02A and B, as in the NPRM, still provide a means for evaluating
chronic pulmonary impairments not covered under 103.03 and 103.04.
Because we divided proposed 103.14A into two listings (final 103.02A and
B), we redesignated the subsequent paragraphs of the rule. Paragraphs B
through G of the proposed rules are, therefore, paragraphs C through H in
the final listing. Paragraphs C, D, and E of final 103.02 (paragraphs B,
C, and D of proposed 103.14) were developed specifically for the
evaluation of children who have experienced respiratory distress in the
neonatal period and subsequently develop chronic lung disorders such as
BPD. However, other conditions such as congenital or acquired defects of
the larynx and trachea, neuromuscular disorders and spinal cord injuries
affecting respiration, and central nervous system mediated hypoventilation
can also be evaluated under these listings.
We made a technical correction to listings 103.02C and 103.02E5 to make
these regulations internally consistent. In these regulations, we changed
the word "continuous" to "frequent."
In paragraphs 103.02E6 and F2, we clarified the language as a result of a
public comment that we should define "poor weight gain." We
revised final listings 103.02E6 and F2 to provide criteria for the
evaluation of involuntary weight loss or failure to gain weight at an
appropriate rate for age. In this way, we not only include children who
have stopped gaining weight but also children who do not gain enough
weight. We also explicitly provide for the possibility that a child will
actually lose weight. Paragraphs F and G of final 103.02 (paragraphs E and
F of proposed 103.14) specify other criteria for assessing manifestations
of a pulmonary impairment in children, such as recurrent lower respiratory
infection, acute respiratory distress, chronic hypoventilation or chronic
cor pulmonale. In paragraph F, we clarified that the two hospital
admissions within a 6-month period must be required and each must be for
more than 24 hours.
Paragraph H of final 103.02 (paragraph G of proposed 103.14) provides
criteria for evaluating interference with linear growth as a manifestation
of lung disease. In a minor change from the NPRM, we revised the reference
from a reference to 100.02 to a more general reference to the growth
impairment listings in 100.00. In this way, 103.02H will remain current
regardless of any revisions we may make to the listings in 100.00.
Paragraphs A and B, of 103.03 ensure greater structural and content
relationship with paragraphs A and B of 3.03 in part A. Paragraph A of
103.03 and the values specified in table I (following final 103.02A)
provide for the use of pulmonary function testing, and paragraph B of
103.03 provides the clinical criteria for assessing pulmonary
insufficiency. These listings are intended to represent the childhood
counterparts of the proposed paragraphs A and B of 3.03 in part A. Because
we moved table I from proposed 103.03 into final 103.02A, we have revised
the text of final 103.03A to indicate the location of table I.
Paragraph C of 103.03 recognizes that some children have persistent
symptomatology related to bronchial asthma that may not meet or equal in
severity the listing criteria in 103.03A and B, in part because of their
drug regimen. In response to a public comment, we revised 103.03C. We
deleted proposed 103.03C2 (barrel or pigeon chest deformity related to
underlying pulmonary dysfunction) because these were merely descriptive
anatomical deformities subject to various interpretations, and we
renumbered proposed 103.03C3 to 103.03C2. We also revised 103.03C to now
require one of the two criteria.
Paragraph D to 103.03 provides that a growth impairment related to asthma
should be evaluated under the criteria in 100.00.
Paragraph A of 103.04 incorporates and revises the criteria in paragraphs
A and B of 103.13 of our prior rules, and revises the FEV1 values. The
values in our rules now being updated were set at 50 percent of predicted
normal, and the final values have been set at 60 percent of predicted
normal. The higher values in the final rules are more consistent with
studies that show good correspondence between clinical scoring systems
based on the manifestations of lung disease and FEV1 values set at the
higher standard. Such scoring systems primarily reflect pulmonary status
as measured by physical pulmonary findings, including radiographic
evidence, nutritional status and level of activity. As a result of this
change, forced expiratory pulmonary testing will permit more reliable
evaluation of a functional impairment. Consistent with the revision of the
FEV1 threshold necessary to establish a disabling impairment, the extent
of clinical evidence needed under paragraph B of 103.04 for children in
whom pulmonary function testing cannot be performed will now require that
two of three listed manifestations be present, rather than all three as
the rules being updated required. Table III is contructed so that rounding
of reported volume values will not be necessary and the height is shown in
centimeters and inches.
Paragraph C of 103.04 provides for the evaluation of persistent pulmonary
infections accompanied by superimposed, recurrent, symptomatic episodes of
increased bacterial infection requiring intravenous or nebulization
antimicrobial treatment. We added nebulization treatment because that is
becoming more widely used.
Paragraph D was added and provides for the evaluation of episodes of
bronchitis, pneumonia, hemoptysis, or respiratory failure.
This is a technical change which adds to the childhood listings these
manifestations of cystic fibrosis which had been included only in the
proposed adult listings.
Paragraph E of 103.04 provides that a growth impairment related to cystic
fibrosis should be evaluated under the criteria in 100.00.
Following the publication of the NPRM in the
Federal Register, we received 11
letters containing comments pertaining to the changes we proposed. The
letters came primarily from advocates of the rights of individuals with
respiratory disease (including both legal advocates and medical
associations).
We have carefully considered all of the comments and have adopted many of
the recommendations. These changes are identified in the following
discussion of issues that were raised in the comments.
A number of the comments were quite long and detailed. Of necessity,
therefore, we have condensed, summarized, or paraphrased them. However, we
have tried to express everyone's views adequately and to respond to all of
the relevant issues raised. There were also a few comments that we do not
address below; this is because they were minor editorial comments pointing
out typographical errors, or administrative matters that are not
appropriate to the final rules.
For ease of reference, we have organized the comments and responses as
follows. We first address general comments, i.e., comments that are either
about the rules as a whole or that apply to more than one section of the
rules. We then address the remaining comments, which pertain to specific
sections of the rules. The section references in the headings below refer
to the final rules. In those instances in which we changed the section
numbers or headings in the final rules, we provide both the NPRM and final
references in the text of the comment and response.
1. Public-General Issues:
Comment: A commenter thought that
the proposed 7-year expiration date for these rules was too long and
recommended a 5-year period because rapidly developing medical
technologies could make these listings obsolete.
Response: We did not adopt the
comment because we are not bound to wait 7 years before promulgating new
rules. If there are medical advances that should be reflected in our
regulations, we can at any time before the expiration of the 7-year period
revise all or part of the rules.
Comment: A commenter indicated that
the requirement for an evaluation period of at least 12 consecutive months
in order to determine the frequency of episodes for asthma, cystic
fibrosis, and bronchiectasis was much too stringent.
Response: We did not modify our
requirement in listings 3.03 and 103.03 (asthma), 3.04 and 103.04 (cystic
fibrosis) and 3.07 (bronchiectasis) for an evaluation period of at least
12 consecutive months. These listings are intended to be used in the most
medically severe cases of asthma, cystic fibrosis, and bronchiectasis.
Severity for these listings is predicated on the frequency and intensity
of episodes. We need an evaluation period of at least 12 months to
establish a longitudinal clinical picture because there are a number of
factors which may require this much time in order to evaluate the
functional impact of the impairment on the individual. For example, the
therapeutic adjustments or modifications made in the prescribed treatment
and the response are variable because some individuals may not respond
initially to a particular regimen and will later need frequent adjustments
to their treatment regimen. We also need information on the optimal
benefit which has been achieved from the treatment modalities. This cannot
be assessed until an effective regimen has been achieved and enough time
has elapsed for the regimen to be effective. In addition, there may be a
seasonal component contributing to the frequency of attacks, and we want
to determine from the longitudinal record whether this is a temporary
factor contributing to the exacerbation of an episodic respiratory
disease. Nonetheless, if disability can be established at any point in the
claims development process, we will do so.
Comment: A few commenters were
concerned about the requirement that the functional evaluation of the
severity and duration of a respiratory disorder should be performed only
after prescribed treatment has been instituted and sufficient time has
elapsed for the results to be evaluated. They said that many claimants do
not have access to this type of treatment or cannot afford medications.
These commenters wanted a definition of "sufficient time"
because some respiratory impairments respond more quickly to treatment
than others and without such a definition, various interpretations could
result. Another commenter noted an inconsistency in the preamble language
which explained this change and the actual language in 3.00A. The
explanation in the preamble indicated that the evaluation of the severity
and duration of a respiratory disorder should be performed only after
prescribed treatment has been instituted and expected therapeutic benefits
have been achieved. The commenter noted that this language difference
would require different documentation and evaluation judgments. One
commenter wanted to know how to handle situations in which the treating
physician advises the patient to stop smoking, yet the claimant continues
to smoke.
Response: We deleted the last
sentence of the first paragraph of proposed 3.00A and revised the final
rules by adding a new second paragraph in final 3.00A, and for
consistency, we made the same addition in 103.00A of part B. In the new
second paragraph of final 3.00A and 103.00A, we now indicate that many
individuals who have "listing-level" impairments will have
received the benefit of medically prescribed treatment and that, whenever
there is such evidence, the longitudinal clinical record must include a
description of the treatment prescribed by the treating source and the
response (which would include evidence of the effects of not smoking), in
addition to information about the nature and severity of the impairment.
Although we agree that people with impairments of lesser severity than
those in the listings may not necessarily receive this kind of treatment,
we believe that the listing-level impairments are so severe that many, if
not most, individuals with such serious impairments will be placed on some
sort of medical treatment. We have added a new third paragraph to
recognize that there will be some individuals who, despite the existence
of a severe impairment, will not have received ongoing treatment. Such an
individual may or may not be able to show the existence of an impairment
that meets the criteria of a listing. Even if an individual does not show
that his or her impairment meets the criteria of a listing, he or she may
have an impairment(s) equivalent in severity to one of the listed
impairments or be disabled because of a limited residual functional
capacity.
We need a longitudinal record to establish the severity and duration of
the impairment, especially for those impairments that may be amenable to
treatment. Because, as the commenter noted, some respiratory impairments
respond more quickly to treatment than others, it is not possible to
provide specific criteria as to what is a sufficient period of time. Our
rules allow the adjudicator to decide, on a case-by-case basis, if
sufficient evidence is available for a determination or decision.
To underscore our policy that we never deny claims because of failure to
meet or equal the listings, we added new paragraphs in final 3.00A and
103.00A which stress the necessity for making an equivalence determination
when a claimant's impairment(s) does not meet a listing, and for assessing
residual functional capacity (or performing an individualized functional
assessment) when a claimant's severe impairment(s) neither meets nor
equals in severity any listing.
Finally, the rules on failure to follow prescribed treatment are quite
complex, but have one simple underpinning: They do not come into play
unless an individual's treating source has prescribed treatment for the
individual which the individual is not following. If the individual's
treating source has not prescribed treatment, or the individual does not
have a treating source, the principle does not apply.
If the issue arises in which a physcian advises a claimant to stop
smoking, and he or she does not, a judgment will need to be made on a
case-by-case basis to determine if the physician's advice was directly
related to or part of the treatment regimen for the respiratory
impairment.
Comment: A commenter suggested that
pulse oximetry or ear oximetry be included in proposed listings 3.02C2 and
3.10B (now renumbered 3.09) for adults and children over the age of 3 as
alternative documentation to arterial blood gas studies.
Response: We did not accept the
comment to include oximetry results for adults, but we revised the age
limit for children to age 12 because, as stated previously, pulse oximetry
in children is becoming the state-of-the-art procedure for determining gas
exchange abnormalities in young children. We accept pulse oximetry in a
child under age 12 because of technical problems with arterial puncture.
However, oximetry provides only a single value for measuring the degree to
which oxygen is bound to hemoglobin (oxygen saturation). It is not as
complete a measure of gas exchange as arterial blood gas studies. Arterial
blood gas studies provide information about other factors such as the
amount of carbon dioxide in the blood and metabolic status. The evaluation
of all these factors provides a more sensitive and specific indicator of a
disabling gas exchange impairment.
b. Mycobacterial, Mycotic, and Other Chronic Persistent Infections of
the Lung
Comment: A commenter welcomed the
broadening of the applicability of the listings to consider chronic
persistent lung infections other than mycotic or mycobacterial infections,
and recommended that the title of listings 3.08 and 3.09 also include this
information.
Response: We agree with the
commenter that the title of listings 3.08 and 3.09 should be broadened to
include chronic persistent lung infections. In addition, because both
these listings contain cross references to listing 3.02 and section 3.00B,
we combined them into one listing now numbered 3.08 and retitled it,
"Mycobacterial, mycotic, and other chronic persistent infections of
the lung."
c. Episodic Respiratory Disease
Comment: Two commenters suggested
that we clarify the requirement for information documenting adherence to a
prescribed therapeutic regimen. They questioned whether therapeutic blood
levels of theophylline or other drugs will be required as documentation of
adherence to prescribed treatment. They also felt that the requirement for
spirometric results obtained between attacks appears to be unnecessary if
the listing is satisfied by attacks meeting the severity and frequency
criteria described in proposed listing 3.03B.
Response: Therapeutic blood levels
of theophylline or other drugs are not required because theophylline is
not prescribed in all cases. Many factors other than compliance with
medication affect blood levels through alterations in absorption and
metabolism. We believe that the treating source should be able to supply
this information because if an individual truly has a listing-level
impairment, it would be unusual for him or her not to be receiving ongoing
treatment from a treating source who has longitudinal evidence on the
prescribed treatment and response.
We revised the last sentence of 3.00C because the requirement for
spirometric results between attacks pertains only to asthma. We now
require spirometry between asthma attacks because spirometry showing
reversible bronchospasm between attacks with improvement in the one-second
forced expiratory volume post bronchodilator is needed to document the
severity of asthma.
Comment: One commenter suggested
that the pilocarpine techniques should be specified in this section as
they are in 103.00C.
Response: We agree and have added
appropriate language to 3.00D.
Comment: A commenter requested that
we specify that the other body systems which can be affected by cystic
fibrosis are the gastrointestinal and cardiovascular systems. This
commenter also noted that the references to sweat tests in proposed
sections 3.00D and 103.00C were insufficient and suggested we include the
Gibson-Cooke method and the Wescor Macroduct system.
Response: We partially agree with
the first comment and have modified 3.00D and 103.00D to specifically
reference the digestive system. In the childhood rules (103.00D), we also
indicate that cystic fibrosis can adversely impact a child's growth and
development. We did not reference the cardiovascular body system because
the manifestation involved would be cor pulmonale, and that is covered by
these listings. We included references to the Gibson-Cooke procedure and
the Wescor Macroduct system in 3.00D and 103.00D. We indicate that both
methods can be used for sweat collection, but the sweat or chloride
content must be analyzed quantitatively using an acceptable laboratory
technique.
e. Documentation of Pulmonary Function Testing
Comment: One commenter suggested
that we address the acceptability of pulmonary function tests in the
presence of bronchospasm.
Response: We agree with the
commenter and have added language to the second paragraph of 3.00E to
indicate that pulmonary function studies should not be performed unless
the individual's clinical status is stable, and the individual is not, for
example, suffering an episodic respiratory attack, acute respiratory
infection or other chronic illnesses. We also provide that wheezing,
per se, does not preclude testing
and is commonly found in asthma between attacks, in chronic bronchitis,
and in chronic obstructive pulmonary disease.
Comment: One commenter felt that
requiring documentation on the manufacturer and model number of the device
used to measure and record the spirogram was excessive. The commenter
indicated that if the Agency knows about the acceptability of various
devices, it should publish such a notice in the
Federal Register for notice and
comment.
Response: We did not accept the
comment because the manufacturer and model number of spirometric devices
may be helpful particularly when the adjudicator must review an
incompletely labeled or calibrated spirogram, and either through program
experience or reference materials available to the adjudicator, he or she
can determine if the test results are acceptable. It may then be
unnecessary to contact the source which performed the test for additional
information if the specific information regarding the spirometer is
available. We feel the time required to report the manufacturer and model
number is less costly and time consuming than the possible recontact. In
addition, as clearly indicated in 3.00E, this evidence "should"
be stated. There is not an absolute requirement that the manufacturer and
model number be a part of the record in order for the claim to be decided.
If all the evidence supports a favorable decision, the claim would not be
delayed merely to document this piece of evidence. In addition, this is
not a new requirement. It is in section 3.00D of the prior rules, and
there have been no problems with this aspect of documentation. We did not
accept the comment that if the Agency knows about the acceptability of
various devices, we should publish such a list in the
Federal Register for notice and
comment. We do not certify acceptability of spirometers nor do we maintain
a list of acceptable devices. Rather, we provide rules defining what data
are acceptable for program purposes, and, in turn, we accept the results
of spirometry from any equipment that can provide these data.
Comment: The same commenter felt
that the calibration tracings, as well as the spirograms, must have a time
scale of at least 20 mm/sec and a volume scale of at least 10 mm/liter to
permit independent measurement of the spirogram"
Response: We agree with the comment
and have added the language to the last sentence of the fifth paragraphs
of 3.00E and 103.00E that the spirogram and the calibrations must be
presented in a volume-time format at a speed of at least 20 mm/sec and a
volume excursion of at least 10 mm/L to permit independent
evaluation.
f. Documentation of Chronic Impairment of Gas Exchange
Comment: One commenter requested
clarification as to when to consider purchase of a diffusing capacity of
the lungs for carbon monoxide or resting arterial blood gas studies. The
commenter noted that this section says these tests should be purchased in
cases in which "there is documentation of chronic pulmonary disease,
but the existing evidence, including properly performed spirometry, is not
adequate to establish the level of functional impairment." The
commenter questioned whether chronic pulmonary disease specifically refers
to those diseases that may result in significant impairment of gas
exchange and whether this will result in an increase in the need to
purchase diffusing capacity of the lungs for carbon monoxide and arterial
blood gas studies. The commenter questioned whether there is a specific
sequence of development that is required. He said proposed section 3.00F3
indicates that an exercise arterial blood gas study should be purchased
only if full development is not adequate to establish the level of
functional impairment and goes on to note that full development means the
results of spirometry and measurement of diffusing capacity of the lungs
for carbon monoxide and resting arterial blood gas studies have been
obtained. This implies that both these studies may be purchased before
exercise arterial blood gas studies.
Response: It is not possible to
provide an exact sequence which should always be followed in purchasing
tests. Chronic pulmonary insufficiency, as designated in listing 3.02, may
be the result of many disorders which may alter pulmonary function,
including, but not limited to, chronic obstructive pulmonary disease,
emphysema, chronic bronchitis, bronchiectasis, pneumoconiosis, infection,
cystic fibrosis, asthma, pulmonary infiltrative disorders, and pulmonary
resection. The important issue in documentation of severity in these
disorders is to have sufficient information to identify those individuals
with disabling functional loss. Because each disease process may manifest
itself differently, each case needs to be independently evaluated in light
of the pertinent evidence already in file and the likelihood that a
particular study will provide additional information for accurate
adjudication. We have, however, modified the language in 3.00F1 and 3.00F2
to clarify that purchase of a diffusing capacity of the lungs for carbon
monoxide and arterial blood gas studies may be appropriate when there is a
question of whether an impairment meets or is equivalent in severity to a
listing and the claim cannot otherwise be favorably decided. We may
purchase exercise arterial blood gas studies if full development is not
sufficient to establish if the claim meets or is equivalent in severity to
a listing and the claim cannot otherwise be favorably decided. "Full
development" can include spirometry, diffusing capacity of the lungs
for carbon monoxide or resting arterial blood gas studies, available
either through evidence of record or purchase, and all other available
evidence, including but not limited to medical history, physical
examination, chest x-ray or other appropriate imaging techniques,
electrocardiogram, hematocrit or hemoglobin.
a. Chronic Pulmonary Insufficiency
Comment: One commenter indicated
that arterial blood gases are simplified in the proposed rules and was
concerned about eliminating carbon dioxide (CO2) tension. The commenter
believed that even if two tests are done three weeks apart, the test
results can be influenced significantly and easily by such things as a
little anxiety, or breath holding. In addition, the commenter explained
that a person with a resting PaO2 of 60-65 could be really hypoxic if the
individual were hyperventilating. Although the commenter believed that the
use of the diffusing capacity of the lungs for carbon monoxide or arterial
blood gas studies are appropriate, the commenter suggested that revisions
should be made in 3.02 to include CO2-O2 correlations.
Response: We agree with the
commenter that the results of an arterial blood gas study could be
influenced by such things as a little anxiety or breath holding. To avoid
any misapplication, we amended listing 3.02C2 and C3 to delete the values
at two altitudes (designated 3.02C2a and b in the NPRM). We revised these
listings to include again tables III-A, III-B and III-C from our prior
3.02 listings because these criteria are more sensitive indicators of
disabling impairment of gas exchange and include correction for hypoxemia
for carbon dioxide tension.
Comment: A commenter recommended
that listings 3.02C2 and C3 specify that the values are based on breathing
room air.
Response: We agree and have added
"breathing room air" to 3.00F2, 3.00F4, 103.00C1 and listings
3.02C2 and C3.
Comment: One commenter was concerned
with the requirement in listing 3.02C2 for resting arterial blood gases in
a stable state 3 or more weeks apart. The commenter indicated that getting
resting arterial blood gas studies performed in stable state on one
occasion is difficult, but it will be even harder to get these results on
two occasions. The commenter felt that this requirement precludes the use
of medical evidence of record.
Response: We did not adopt the
comment. This requirement for results on two different occasions is
included in these final rules because repeat testing increases the
probability that hypoxemia is chronic. This requirement also ensures that
inappropriate decisions will not be made utilizing blood gas values during
an acute illness which is not expected to result in a chronic gas exchange
impairment. We believe that in some cases evidence of record may contain
applicable pre-discharge reports from a hospitalization for an
intercurrent acute illness, or out-patient records may have the test
results that are applicable, particularly when chronic home oxygen therapy
is contemplated.
Comment: Two commenters indicated
that the heights listed in tables I and II should be listed in either
inches or centimeters, and the English and metric system should not be
mixed by using tenths of an inch. They also indicated that because the
one-second forced expiratory volume cannot be estimated more closely than
to tenths of a liter, the listing requirements should not be shown in
hundredths of a liter.
Response: We decided that rather
than showing the heights in tables I and II in either inches or
centimeters, it would be clearer if we indicated both. We have revised the
tables accordingly. We do not agree with the commenter that one-second
forced expiratory volume results cannot be estimated more closely than to
tenths of a liter because it has been our program experience that many
times results are reported beyond a tenth of a liter, and that impairment
severity assessment can be made more accurately with these results.
Comment: One commenter suggested
that we not permit the purchase of arterial blood gases with exercise and
clarify that such tests be evaluated only when obtained as medical
evidence of record. The commenter did not feel that this test provided
information of greater adjudicative value than other testing methods that
are more readily available and less risky to the claimant.
Response: We did not accept the
comment because these rules provide that exercise testing should only be
purchased in infrequent instances in which the other studies may
underestimate the degree of functional loss. Further, our rules in 3.00F3
specify that exercise arterial blood gas measurements should only be
purchased after careful review of the medical history, physical
examination, chest x-ray or other appropriate imaging techniques,
spirometry, diffusing capacity of the lungs for carbon monoxide study,
electrocardiogram, hematocrit or hemoglobin, and resting blood gas results
by a program physician, preferably one with experience in the care of
patients with pulmonary disease, to determine whether obtaining the test
would present a significant risk to the individual. The purchase of such
tests on infrequent occasions is designed to benefit claimants by
providing another means by which a disabling impairment can be
established.
Comment: Three individuals noted
that proposed listing 3.02C2b should read, "At an altitude of 4000
feet or greater...."
Response: We did not accept the
comment because we have removed the altitude criteria of proposed listing
3.02C2a and C2b and revised the listing to include tables III-A, III-B,
and III-C from 3.02 of the prior rules.
Comment: A physician commented that
the separation of ventilatory impairments (chronic obstructive and chronic
restrictive diseases) into two separate listings tends to be confusing and
implies an importance in establishing a diagnosis. To simplify the
process, the commenter suggested we have one listing that provides for
either a one-second forced expiratory volume equal to table I or a forced
vital capacity equal to table II. This person believed that one listing
would suffice because someone with chronic obstructive pulmonary disease
could be considered as meeting the listings in either table I or table II.
The same would be true if the person has a predominantly restrictive
disease.
Response: We did not accept this
comment because an individual with a predominantly air obstructive
impairment that meets table II would nearly always meet table I. (These
tables are contained in listing 3.02.) However, an individual with a
restrictive impairment that meets table II may not meet table I. We do not
want to construct a listing that will disadvantage anyone. In addition,
the designations, "one-second forced expiratory volume" and
"forced vital capacity," are used in clinical practice and
connote different physiologic deficits. For these reasons, we prefer to
incorporate the one-second forced expiratory volume and the forced vital
capacity in listing 3.02 as we have constructed it.
Comment: Several commenters were
concerned that the criteria for adults to qualify for benefits with cystic
fibrosis are more stringent than the criteria for children with cystic
fibrosis. Under the proposed criteria, a child who is 67 inches tall has
to have a one-second forced expiratory volume of 1.6 to meet the childhood
listings. An adult 67 inches in height would require a one-second forced
expiratory volume of 1.45 to meet the adult listing. The commenters noted
that the one-second forced expiratory volume values for adults are those
established for the evaluation of adults with chronic pulmonary
insufficiency while a separate table just for cystic fibrosis has been
established for children. A commenter noted that we did not list any
manifestation of cystic fibrosis to aid in the evaluation of adults
similar to the childhood manifestations. The commenters urged that more
realistic criteria, similar to the criteria proposed for children, be
provided for adults.
Response: We agree with the
commenters that the criteria for adults with cystic fibrosis could be
revised. We revised 3.04A to now include a table (table IV) which will be
used solely for the evaluation of adults with cystic fibrosis, similar to
the approach used in 103.04A of the childhood listings. We have included
the criteria from 103.04C of the childhood listing in the adult listings
at 3.04C. In turn, we revised the childhood criteria to include the
criteria in 3.04B in the childhood listing (now in 103.04D). We believe
that these changes will provide a fair and equitable means for evaluating
both adults and children.
c. Pulmonale Secondary to Chronic Pulmonary Vascular
Hypertension
Comment: A commenter noted that this
listing (proposed listing 3.10) requires arterial blood gas studies on at
least two occasions, 3 or more weeks apart, but the listing did not set an
outside limit for this requirement. The commenter felt a limit should be
set or situations may arise when, for example, one study was performed in
1989 and another in 1991, and the listing requirement would be
satisfied.
Response: We agree with the comment
and have revised the final listing by including a cross reference to
listing 3.02C2 which indicates that these studies be within a 6-month
period.
d. Sleep-Related Breathing Disorders
Comment: A commenter objected to
this listing because it merely provides cross references to other listings
for cor pulmonale, obesity, and organic brain syndrome to evaluate the
manifestations of sleep apnea. The commenter felt that specific criteria
should be developed for the evaluation of this disorder that weigh more
heavily on the disabling effects of daytime drowsiness. The commenter
suggested that it ought to be possible to develop a listing for sleep
apnea that relies upon sleep laboratory studies and suggested the listing
could perhaps be based upon either the number of instances of arousal due
to sleep apnea or the degree of hypoxemia demonstrated during sleep
testing.
Response: We did not accept this
comment because we are not aware of any data to support a relationship
between the findings of sleep studies (number of apneas, arousals,
severity of desaturation during sleep) and the individual's remaining
daytime functional capacity. There are considerable data available
relating functional limitations due to extreme obesity, impaired
cardiopulmonary function and hypoxemia while awake. We acknowledge that
excessive daytime drowsiness can lead to cognitive and personality
changes, as well as affective disturbances which result in impaired
daytime functioning. Individuals with excessive daytime drowsiness may
have disturbances in orientation, memory and personality and these
manifestations can be considered under listing 12.02. However, to make our
intent clearer, we modified 3.00H to elaborate that daytime drowsiness may
affect memory, orientation, and personality and that longitudinal
treatment records may be needed to evaluate mental functioning.
4. 103.00 Preface to Part B
Comment: One commenter noted that
this section emphasizes medical evaluation and does not mention the
importance of nonmedical evidence in evaluating impairment severity. The
commenter indicated that valuable information about a child's condition
can often be given by a parent or other caregiver. This individual also
indicated that the requirement that respiratory disorders be evaluated by
a specialist at the State agency may send a message that medical evidence
provided by non-specialist treating sources will not be considered
important.
Response: The listings contain
examples of some of the most common impairments in the disability program.
The criteria include specific symptoms, signs, and laboratory findings
that are considered to characterize impairments severe enough to prevent a
child applying for benefits under the SSI program from functioning
independently, appropriately, and effectively in an age-appropriate
manner. Claimants may be found disabled based on medical factors alone if
their impairment(s) meets or equals the medical criteria in a listing. If
the severity of a claimant's impairment(s) does not meet or equal
medically the severity of an impairment in the listings, we then, in the
case of a child under the SSI program, determine whether the impairment(s)
functionally equals the listings and, if not, then perform an
individualized functional assessment to determine whether the child has an
impairment(s) of comparable severity to one that would disable an adult.
Thus, following this sequential evaluation process, nonmedical evidence is
considered at all appropriate steps in the process—and especially
for children at the equals step and in performing an individualized
functional assessment. Nonetheless, to clarify this point, we have
expanded the fourth paragraph to emphasize the importance of equivalence
determinations and individualized functional assessments. In addition, we
clarified the language that concerned the commenter, which was that a
child's respiratory disorder will be evaluated, if possible, by a
pediatrician or by a specialist in respiratory diseases of children. Our
intent for this requirement was to recognize the importance of
specialization in childhood respiratory disease, not to send a message
that evidence provided by a non-specialist treating source will not be
considered important. To clarify our intent, we have added a statement at
the end of the first paragraph in 103.00A to indicate that reasonable
efforts should be made to ensure review by a program physician
specializing in the evaluation of childhood respiratory disease or by a
qualified pediatrician. This language is adapted from section
1614(a)(3)(H) of the Act
and merely reflects our current policy.
b. Documentation of Pulmonary Function Testing and Documentation of
Chronic Impairment of Gas Exchange
Comment: A commenter indicated that
the proposed rules did not provide enough detailed information on when to
purchase the various pulmonary tests. The commenter indicated that the
rules should discuss the value of studies performed during or soon after
an acute respiratory illness. Two commenters suggested that providing a
minimum age for spirometry would be helpful.
Response: We agree with the
commenter that our rules should provide more detailed information on when
to purchase the various pulmonary tests. Accordingly, we added a new
seventh paragraph to 103.00B and a new second paragraph to 103.00C1 and C2
which indicates that purchase may be appropriate when there is a question
of whether an impairment meets or is equivalent in severity to a listing
and the claim cannot otherwise be favorably decided. In addition, in the
seventh paragraph of 103.00B, we indicate that purchase of a pulmonary
function test is appropriate only when the child is capable of performing
reproducible forced expiratory maneuvers, and that this capability usually
occurs around age 6.
Comment: A commenter indicated that
in cases of cystic fibrosis, pulmonary functioning may be extremely and
progressively impaired most of the time. Therefore, children with cystic
fibrosis should be excluded from the requirement stated in 103.00B that
the criteria in 103.04 (incorrectly referred to as 103.10 in the NPRM) can
only be applied during the child's most stable state of health because
these children's most stable state of health may occur only upon discharge
from a hospital and thereafter begin to deteriorate.
Response: We have modified the
language in this section and 3.00E to define "most stable state of
health" to mean any period in time except during or shortly after an
exacerbation. In addition, in evaluating a child's claim for disability,
we consider all available evidence related to the child's impairment so
that we have a longitudinal view of the impact of the impairment on the
child.
Comment: A commenter suggested that
we consider the use of pulse oximetry for older children, and stated that
the protocol for the test should require a statement regarding the child's
cooperation or behavior.
Response: We agree with the
commenter that the use of pulse oximetry should be extended to older
children, and we have amended 103.00C2 to indicate that pulse oximetry may
be substituted for arterial blood gases in children under 12 years of age.
The use of pulse oximetry to assess oxygenation status (rather than
obtaining arterial blood gas samples through arterial puncture) has become
the standard of care in the pediatric community. Experience has shown that
pediatric patients infrequently have arterial gases drawn unless they
already have an indwelling arterial line or are in an emergency intensive
care setting. We have also added a statement to 103.00C2 that the report
of the test should include information on the child's cooperation in
performing the test.
Comment: A few commenters suggested
that, rather than having an explanation of rounding in 103.00B, we use the
same format for recording height, one-second forced expiratory volume and
vital capacity as is used in the adult listings in 3.02A and 3.02B. These
same commenters suggested that in proposed 103.02 table I, 103.02 table
II, and 103.14 table III we show the heights in inches and centimeters
because some facilities report both ways.
Response: We agree and have modified
the tables accordingly.
Comment: A commenter recommended
that we consider adding the stool trypsin test for use in the evaluation
of cystic fibrosis in young babies and to confirm gastrointestinal
involvement. The commenter indicated that the diagnosis of cystic fibrosis
may be based on this test in the "neonate period."
Response: We did not accept the
comment because the stool trypsin test is not considered an acceptable
diagnostic test for cystic fibrosis. The test can be considered only as a
gross screening test for pancreatic insufficiency due to any cause and is,
therefore, nonspecific for cystic fibrosis. We have, however, added to
103.00D another diagnostic test, the "CF gene mutation
analysis."
a. Chronic Pulmonary Insufficiency (Numbered 103.14 in the NPRM and
Titled Chronic Obstructive or Restrictive Pulmonary Disease Due to Any
Cause)
Comment: One commenter suggested
that we should explain what we mean by "poor weight gain" in
103.02E6 and F2 (designated 103.14D6 and E2 in the NPRM) and also specify
if loss of weight could meet these listings requirements.
Response: We agree with the
commenter and have clarified 103.02E6 and F2. We deleted "poor weight
gain," and, to avoid any ambiguity, we now provide criteria for the
evaluation of involuntary weight loss or failure to gain weight at an
appropriate rate. In this way, we not only include children who have
stopped gaining weight but also children who do not gain enough weight. We
also provide for the possibility that a child will actually lose
weight.
Comment: A commenter indicated that
the requirement in 103.02F (designated 103.14E in the NPRM) for two
hospital admissions within a 6-month period seemed to be set at a higher
level of severity than the requirement in 103.04C of one episode of
infection every 6 months. This commenter believed that requiring
hospitalization as a criterion of severity discriminates against children
who are uninsured or underinsured.
Response: We do not agree with the
comment. The requirement of only one increased bacterial infection under
103.04C (103.04B in the NPRM) within a 6-month period is in relation to
cystic fibrosis, which is a condition affecting multiple systems
associated with progressive irreversible pulmonary morbidity and death
during early to mid-adult life. The occurrence of more than one
exacerbation for a child with cystic fibrosis during a 6-month period for
recurrent respiratory infection is normally associated with progression
and a superimposed underlying persistent pulmonary infection and
functional impairment. On the other hand, repeated hospital admissions for
lower tract respiratory infection in children with other types of chronic
pulmonary disease more commonly reflect acute intermittent episodes that
are not related to chronic persistent underlying pulmonary infection.
These criteria do not discriminate against any class of children, but only
provide criteria to quickly allow the most seriously impaired individuals.
This is not to imply that children who do not meet or equal in severity a
listing cannot be found disabled at the final step of the sequential
evaluation process.
Comment: A legal group commented
that the requirement in 103.03C that a child must meet two of the three
listed criteria seemed excessive because if a child has asthma as severe
as described, it should be enough to meet one of the three listed
criteria. Another commenter noted that proposed 103.03C and 103.03C3
should include the use of inhaled steroid as well as oral steroid. The
commenter also suggested that administration of intravenous fluids should
be equated with intravenous administration of a bronchodilator and
antibiotics.
Response: We agree with the
commenter that the requirement in proposed 103.03C for two of the three
listed criteria could be problematic. We, therefore, have deleted the
criterion in proposed 103.03C2 because "barrel or pigeon chest"
deformity was merely a description of anatomical deformities which may
have led to various interpretations. We also revised the listing to
require only one of the two remaining criteria. We did not include the use
of inhalant steroids in 103.03C1 or 103.03C2 (103.03C3 in NPRM), because
this form of treatment does not in itself imply the required level of
severity that is intended by this listing. We did not accept the comment
to equate administration of intravenous fluids with intravenous
administration of a bronchodilator and antibiotics because the need for
intravenous fluids generally is not a serious manifestation of chronic
disease. The administration of intravenous fluids is merely a treatment
modality for an acute episode of asthma.
Comment: A commenter indicated that
the listing for cystic fibrosis is problematic. The commenter indicated
that this listing requires very low one-second forced expiratory volume
values and totally disregards functioning except in children who cannot
have spirometry performed. According to the commenter, the reliance on
spirometry results is particularly unwise because of the episodic nature
of the progression of the disease over time. The commenter believed that
we should evaluate the underlying data rather than relying on proxies
which are statistically associated with them. This individual recommended
that proposed 103.04A1 should be separated into two different parts and
proposed 103.04A2 and A3 be renumbered 3 and 4 (i.e., 1. History of
dyspnea on exertion and 2. Accumulation secretions as manifested by
repetitive coughing or cyanosis; or xxx). In addition, this person
believed that the specification of intravenous treatment in proposed
103.04B (final 103.04C) is unwise given the constantly changing nature of
treatment. The commenter said that the same criticism could be made of the
decision to rely on the quantitative iontophoretic test for the diagnosis
of cystic fibrosis. This individual believed that, not only may there be
advances in diagnostic techniques within the next 7 years, but also many
SSI eligible children would not have access to the designated test, and no
child with an impairment as severe as that required by the criteria in
103.04 should be determined not to meet the listings simply because cystic
fibrosis has not been diagnosed by the most accurate technique in
existence.
Response: We did not accept the
comment about low one-second forced expiratory volume values or proxy
values. We use one-second forced expiratory volume results in children
with cystic fibrosis because it is the testing procedure that is most
widely accepted by pediatric specialists to evaluate pulmonary functional
status. The one-second forced expiratory volume value set at 60 percent of
predicted normal is not low, but higher than the former value, which was
set at 50 percent. The one-second forced expiratory volume value is not a
proxy measurement for other underlying impairments but a direct
measurement of the respiratory system's ability to perform a vital life
function. The 60 percent value selected correlates reasonably well with
clinical scoring systems that reflect other manifestations of pulmonary
impairment, including activity levels, radiographic findings, and
nutritional state. Studies also indicate that very few children with
cystic fibrosis and one-second forced expiratory volume values that exceed
60 percent of predicted normal are found to experience significant
limitation of activity, malnutrition or other evidence of severe disease.
Although medical progress in the management of cystic fibrosis continues,
intravenous or inhalant antimicrobial therapy is expected to be a
necessary modality for the large majority of children with cystic fibrosis
for at least the next 5 years.
As mentioned in our discussion in the comment and response on 3.00D, we
have revised the methods for diagnosing cystic fibrosis in 3.00D and
103.00D. We did not accept the comment that 103.04B1 (referred to by the
commenter as 103.04A1) be separated into two criteria. The criteria in
103.04B1 refer to a history of signs and symptoms and 103.04B2 and B3 are
criteria for clinical and laboratory findings, respectively. If we
separated 103.04B into two criteria, a child could then meet the listing
based on a history of signs and symptoms with no definitive clinical and
laboratory findings. This would be contrary to statutory and regulatory
requirements that disability be established based on signs, symptoms, and
laboratory findings. We also do not believe that an earlier expiration
date for these listings should be set. As previously stated, if there are
medical advances which should be reflected in our listing criteria, we can
revise all or portions of our listings at any time before the end of the
7-year expiration date. Finally, as we make clear in these listings,
because an individual fails to meet the requirements of a listing does not
mean the claim is denied. We have explained this longstanding policy in
our final rules (3.00A and 103.00A) and discussed it under our explanation
of the final rules.
In a technical change required by these final rules, we revised §
416.926a(d)(3) and (d)(12) to be consistent with the new listings.
Paragraph (3) formerly included mechanical ventilation as an example of a
life-sustaining device. Inasmuch as final listing 103.02C1, provides for
the frequent need for mechanical ventilation, we are removing mechanical
ventilation from this functional equivalence example. In its place, we
include central venous alimentation catheter as an example of a
life-sustaining device. Paragraph 12 formerly included tracheostomy in a
child who had not attained age 3 as an example of a consequence of an
impairment that would establish functional equivalence to the listings.
Inasmuch as final listing 103.02D (proposed listing 103.14C) incorporates
tracheostomy in a child who has not attained age 3 into the listings,
equivalence in this situation is no longer an issue.