Submitted by NCQA on
NCQA recommendation for Smoking Status
Recommendation: Expand the scope of the Smoking Status element to include assessment of all tobacco products, aligned to the FDA definition for tobacco use; modify the element name and description to define the expanded element as assessments of a patient’s tobacco use behaviors including use of smoke, vape, chew, or sniff tobacco products. We also recommend adding duration (number of years of use) and quit date in the list of example data elements for comprehensive tobacco use history. Add LOINC terminology to the vocabulary standards.
Rationale: Tobacco assessment and use status encompasses assessment of broader tobacco product use beyond smoked products/cigarettes defined in the existing ‘Smoking Status’ USCDI element. Comprehensive assessment of tobacco use remains a public health priority and is essential to appropriately providing cessation intervention. Intervention should be provided for any tobacco use, not just smoked products/cigarettes. NCQA recently introduced a new HEDIS® measure to incentivize routine tobacco use screening and cessation intervention; this data is routinely captured with standard terminology.







Submitted by csnewman on
Clarify expectations for tobacco use
The updates to the Tobacco Use data element are a positive step, it is unclear what the expectations for exchange truly are. Are the example attributes of tobacco use (duration and frequency of use, mode of consumption, and type of product used) required to be supported by USCDI compliant systems? Do all tobacco products mentioned need to be supported? Please clarify specific expectations for attributes related to tobacco use that must be supported