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The HIV-Infected Health Care Professional: Employment Policies and Public Health

Published online by Cambridge University Press:  29 April 2021

Extract

In July 1990, the federal Centers for Disease Control (CDC) reported the first case of possible transmission of the Human Immunodeficiency Virus (HIV) to a patient from an HIV-infected health care worker. The transmission may have occurred during an invasive dental procedure performed on her by a dentist who had AIDS, and in January 1991, the CDC reported possible HIV transmission during dental procedures to two other patients of the same dentist. Further, the recent revelation that a respected surgeon at a major medical center performed many surgical procedures while infected with HIV created substantial public concern. These cases call into question the prudence of allowing infected workers to continue performing medical and dental procedures that involve some risk, however slight, of transmitting HIV infection to patients. Whether HIV-infected workers should be excluded from practice of their profession because of a remote risk to patients relates directly to levels of tolerable risk in health care delivery and in social policy.

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Article
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Copyright © 1990 American Society of Law, Medicine & Ethics

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References

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Given the remote risk of HIV transmission, even during highly invasive procedures, consistent application of this informed consent approach would require disclosure of all risks equivalent to or greater than that of HIV transmission. Yet this would be impossible in professional practice, since it would require health professionals to spend the vast majority of their time counseling about risks rather than providing care. Indeed, informed consent doctrine does not require disclosure of all risks, but only of those risks deemed “significant” or “material.” See Appelbaum, Lidz and Meisel, Informed Consent: Legal Theory and Clinical Practice 50–4 (1987). See, e.g., Precourt v. Frederick, 395 Mass. 689 (1985) (no duty to inform patient of serious drug side-effect if risk of harm was “so remote as to be negligible,” even if the harm did occur); and Pardy v. United States, 783 F.2d 710 (7th Cir. 1986) (risk of severe complication of medical procedure ranging from 1 in 14,000 to 1 in 40,000 held not significant enough to require patient's informed consent to risk). Similarly, in one English case, a court barred the publication of a newspaper article identifying two physicians with AIDS, finding that revelation of the physicians' diagnosis was not in the public interest, since the risk of transmission from them to patients was “a very small theoretical risk … that was, in practice, removed by counseling.” X v. Y, 1988 All E.R. 648, 656 (Q.B.).Google Scholar
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Altman, , AIDS-Infected Doctors and Dentists Are Urged to Warn Patients or Quit, N.Y. Times, Jan. 18, 1991, at A18, col. 4. Such a proposal assumes, possibly incorrectly. that infection control mishaps involving a physician and patient who are both HIV-infected would have no adverse consequences (for example, the hastening of the progress of HIV infection in the exposed party).Google Scholar
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See Shewell, , The Surgeon and the HIV-Infected Patient (letter), 264 J. Am. Med. A. 1407 (Sept. 19, 1990). Shewell expresses the “double bind” of the conscientious health care provider, who is required by law to treat HIV-infected patients, but who simultaneously fears the occupational effects of a seroconversion that may occur while rendering that treatment. See also Ratzan and Schneiderman, AIDS, Autopsies, and Abandonment, 260 J. Am. Med. A. 3466 (1988); Gerbert, Maguire, , Badner, et al., Why Fear Persists: Health Care Professionals and AIDS, 260 J. Am. Med. A. 3481 (1988); and Wallack, AIDS Anxiety Among Health Care Professionals, 40 Hosp. & Community Psychiatry 507 (May 1989).Google ScholarPubMed
Purvis, , AIDS-Shy Residents Avoid Training at NYC Hospitals, N.Y. Doctor, June 27, 1988, at 8; and Cooke, and Sande, , The HIV Epidemic and Training in Internal Medicine, 321 New Eng. J. Med. 1334 (Nov. 9, 1989).Google Scholar
As one physician wrote in 1988: “Fear of loss of one's practice [due to employment policies restricting the practice of physicians with HIV infection] ranks a close second in the minds of many care givers to the fear of developing [AIDS] and must contribute to many physicians' reluctance to care for HIV-positive patients.” Updegrove, , Ethical Issues in the AIDS Crisis: The HIV-Positive Practitioner (letter), 260 J. Am. Med. A. 790 (Aug. 12, 1988).Google ScholarPubMed
Consistent application of a policy restricting the duties of HIV-infected health care professionals arguably should also be extended to those HIV-negative workers who have experienced an occupational exposure to the blood or body fluids of an HIV-infected patient. The manpower costs of such a practice, however, would be prohibitive. See Letter from Robert S. Klein, Montefiore Medical Center, to David Bell, Centers for Disease Control (Oct. 9, 1990) (discussing possible revisions to CDC guidelines on HIV-infected health workers); and Gellin and Rogers, Branding Doctors with HIV, N.Y. Times, Jan. 3, 1991, at 17, col. 1.Google Scholar
If this seems a fanciful scenario, one should recall Leckelt, in which, faced with his employer's demand for the results of an HIV test he had just taken, Leckelt declined to go back to the testing site for his results, fearful of the results, of their effect on him, and of the consequences to his employment if the results were positive. Brief for amicus curiae American Public Health Ass'n at 2, 13, Leckelt v. Hospital Dist., 909 F.2d 820 (5th Cir. 1990).Google Scholar
716 F.2d 227 (3d Cir. 1983), supra note 79.Google Scholar
See Handsfield, , Cummings, , and Swenson, , The Labeling of Specimens as Infectious (letter), 259 J. Am. Med. A. 1807 (March 25, 1988) (indicating concern for pathogens other than HIV and HBV, including cytomegalovirus, Epstein-Barr virus, human T-cell lymphotropic viruses, and papovavirus, among others).Google Scholar
See supra note 46.Google Scholar
Gostin, , Physicians and the Acquired Immunodeficiency Syndrome, 264 J. Am. Med. A. 452 (July 25, 1990) (describing the AMA policy on HIV-infected physicians as a “zero-tolerance” approach, and pointing out that “a court will take the [AMA] at its word and hold HIV-infected physicians and their employing hospitals liable for exposing patients to any risk of exposure”).Google Scholar
Before resorting to recommendations of exclusion of infected workers as a part of their duty to provide less restrictive alternatives, government agencies, professional organizations, and individual institutions therefore should be expected to have examined carefully alternative techniques and technologies and to have concluded that such alternations are not sufficient to reduce the risk of blood-to-blood contact between workers and patients.Google Scholar
Decisions about restrictions on individual health care workers therefore would be more rationally based on the frequency of preventable infection control mishaps involving an individual worker (and on professional competence and patient outcomes) than on the individual worker's bloodborne infections. Such an approach, unlike categorical restrictions on HIV-infected health care workers, allows one to distinguish between the extremely skilled, HIV-infected surgeon with scrupulous infection control technique (whom one would wish to continue full practice), and the uninfected surgeon of moderate ability with a poor infection control record (whom the rational patient would wish to be removed from practice).Google Scholar
The AMA General Counsel's Office has adopted a similar position on drug testing of physicians. In opposing urine drug testing, the AMA General Counsel indicated that although drug use could cause physician impairment, it would not necessarily cause that impairment. According to the AMA statement, therefore, “a test that is positive for drug use may be falsely positive for drug impairment.” Orentlicher, , Drug Testing of Physicians, 264 J. Am. Med. A. 1039 (August 22/29, 1990). In the same way, a positive result on an HIV test may be falsely positive for poor infection control technique, and an exclusionary employment policy based on HIV infection would exclude the extremely skilled, HIV-infected health professional with scrupulous infection control technique, whose continued practice would only benefit patients and society.Google ScholarPubMed