During accreditation reviews, surveyors from regulatory bodies (eg, The Joint Commission) examine processes that facility leaders have implemented for decontaminating and sterilizing instruments. The Joint Commission surveyors refer to standards and guidelines developed by the Association for the Advancement of Medical Instrumentation (AAMI) and AORN when inspecting instrument processing areas. In addition, surveyors refer to facility policies and manufacturer’s instructions to ensure that personnel are performing tasks correctly.
Provide comprehensive and intensive training for all staff assigned to reprocess semicritical and critical medical/surgical instruments
Hands-on training
Supervision of work until competency is documented for each reprocessing task
Competency testing at the beginning of employment and regularly thereafter
Review the written reprocessing instructions regularly to ensure they comply with the scientific literature and
the manufacturers’ instructions
Written plan for routinely verifying and documenting that the facility’s cleaning equipment can properly clean instruments and devices after they are manually cleaned
Testing the cleaning effectiveness of mechanical cleaning equipment
Frequency of equipment testing per AAMI is every day the equipment is used
Documentation of staff onboarding and ongoing education and competency assessment
Considerations:
Quality Control for Sterilized Items:
Sterilizer maintenance contract with records of service
System of process monitoring
Air-removal testing for prevacuum steam sterilizers (Bowie Dick, daily when in use)
Spore test on each sterilizer at least weekly and with every load with an implantable device
Visual inspection of packaging materials
Traceability of load contents
Nurse’s role:
Maintain education and competency for sterilization and disinfection practices related to role
Complete and maintain appropriate documentation for sterilization and disinfection per facility policy
Implantable items: Load #, expiration date, site, preparation, etc.
Follow professional and regulatory standards
AORN Standards, Recommended Practices, and Guidelines
OSHA
Association for the Advancement of Medical Instrumentation (AAMI)
Association for Professionals in Infection Control
State and local regulations
The Joint Commission
Knowledge of documentation requirements for sterilization, biological and chemical monitoring
Will cover in the example slide
Pitfalls:
SPD leaders should:
Compare the reprocessing instructions provided by the instrument manufacturer and sterilizer manufacturer and resolve any conflicting recommendations through communication with both manufacturers
Review documentation for all required testing and follow up on any adverse events
Periodically review policies and procedures for sterilization
Ensure performance preventive maintenance on sterilizers by qualified personnel who are guided by the manufacturer’s IFU
Examples:
For each sterilization cycle, record:
The type of sterilizer and cycle used
The load identification number
The load contents
The exposure parameters
Time, temperature
The operator’s name or initials
The results of mechanical, chemical, and biological monitoring
Records of sterilization monitoring (mechanical, chemical, and biological) should be maintained long enough to comply with state and local regulations. The CDC does not maintain information on time limits for every state but provides an example of 3 years in its sterilization guidelines, which is the time frame used by The Joint Commission
Linchpins (Key Points):
Maintain documentation for each sterilization cycle
Maintain documentation for records of sterilization monitoring
Maintain documentation for initial and ongoing education and competency for staff responsible for sterilization and disinfection
Follow facility policies and procedures, state and local regulations, and manufacturer’s IFU