Demand and treatment policies
2.1
This chapter's theme aligns with demand reduction measures in the
National Drug Strategy (NDS), but does not provide a detailed description of
how alcohol and other drug (AOD) treatment services are implemented and funded
across all jurisdictions in Australia, as this is outside the scope of this
report.
2.2
The chapter provides a brief overview of the AOD treatment sector,
followed by an update on Australia's amphetamine treatment profile for 2015–16
and discussion of the implementation of the National Ice Action Strategy
(NIAS).
2.3
The chapter then turns to the issues raised by submitters after the
release of the National Ice Taskforce's (NIT) final report and the NIAS, specifically:
- waiting lists to access AOD treatment services;
- residential treatment services;
- private/for-profit treatment services;
- mandatory residential treatment; and
- methamphetamine use and treatment in correctional facilities.
2.4
The chapter concludes by outlining the most recent developments in pharmacotherapy
treatment options for crystal methamphetamine use.
Overview of the alcohol and other drug treatment sector
2.5
Australia's AOD treatment sector is complex and diverse. The regulation
of the AOD sector is largely the responsibility of each state and territory,
and each jurisdiction has its own AOD policies. The interplay between Commonwealth,
state and territory funding and policies make the AOD sector a complex policy
area. Within each jurisdiction, there are numerous AOD treatment options,
primarily separated between specialist and generalist systems of care.
2.6
The specialist AOD treatment system provides drug withdrawal support,
psycho-social therapies, residential rehabilitation and pharmacotherapy
maintenance. The generalist service system is primarily distinguished by
services administered through primary care (general practitioners (GPs)) and
general hospitals. The general service system provides treatment types, such as
GPs offering pharmacotherapy maintenance and brief interventions, clinical
psychologists proving psycho-social therapy and general hospitals providing
withdrawal services.[1]
2.7
There is a range of AOD treatments available in Australia. The primary
treatment categories are:
- withdrawal or detoxification programs;
- psycho-social therapies (such as counselling or psychotherapy);
-
residential rehabilitation; and
-
pharmacotherapy maintenance.[2]
2.8
Within these four key categories are assessments, case management and
support, information and education, and aftercare services. These services can
be provided via telephone, outreach, group-based and on-line programs.[3]
2.9
This diversified AOD treatment sector provides drug users with an array
of treatment options. The Alcohol, Tobacco and other Drugs Council of Tasmania
(ATDC) highlighted the importance of this diversity. It explained that drug
users access the treatment sector at various points and have numerous needs.[4] Those presenting with a drug issue are very likely to have other associated
issues, for example:
There are some people who will need housing first and then we
will fix the drug issue later, or there are some people that have a mental
health issue first and then we will fix the AOD issue later, or we need to fix
the alcohol and other drugs issue first and then fix the other things after
that. I do not think there is any one type of person that actually comes in. I
think that people come in with a range of many different types of issues, so we
need to have choice in terms of treatment options. There are certain places
that some people would not want to go to, so it is about providing choice. I
would currently say that we do need more choice and we need more treatment in
our treatment mix.[5]
2.10
This treatment mix is implemented and funded by Commonwealth, state and
territory governments. The National Drug and Alcohol Research Centre's (NDARC) Drug
Policy Modelling Program conducted a review of Australia's AOD treatment
services (New Horizons report) from July 2014. The report highlighted the
complexities of AOD funding in a federated system and attempted to detail the
roles of and funding arrangements across Australian jurisdictions. In general
terms, the report explained the shared responsibility for healthcare services
across Australia:
States and territories have responsibility for hospital
services, the Commonwealth is responsible for funding medical services, and
there is shared responsibility for community care and disability services. In
more common terms, the Commonwealth funds primary care and pharmaceuticals
(through Medicare and [the Pharmaceutical Benefits Scheme]) and the
states/territories manage hospitals (with pooled funding from the Commonwealth
and state).[6]
2.11
The New Horizons report added that the division of responsibilities
between these two levels of government is hard to clarify, and debate about the
roles and responsibilities of governments is common.[7] Further, the broad distinction 'does not assist in clarifying respective roles
in AOD treatment funding or provision, as it is neither primary care nor
hospital services'.[8] The Commonwealth government, however, plays a vital role in allocating funding
to the AOD sector (as of 2014 the Commonwealth government provided 39 per cent
of all government funding). Further, the NDARC identified four key Commonwealth
responsibilities:
- advancing national priorities;
-
providing leadership in planning;
-
addressing service quality; and
- supporting equity.[9]
2.12
According to the NDARC:
These responsibilities are fulfilled through investment in
direct service delivery and capacity building projects, along with leadership
for the nation in planning, quality frameworks and ensuring equity.[10]
2.13
Professor Steve Allsop, from the National Drug Research Institute (NDRI)
at Curtin University, discussed the complexities of AOD use, its treatment and
how to adequately respond to methamphetamine use in Australia. Professor Allsop
opined that key challenges in responding to methamphetamine problems are 'about
establishing well‑resourced, evidence-based and enduring prevention
strategies'.[11] An adequate response is not driven by warnings to the public about the dangers
of crystal methamphetamine use; instead, it is about developing:
...coordinated investment in addressing the social and other
determinants of drug use and methamphetamine use in particular. It is about
schooling; it is about employment opportunities; it is about poverty; it is
about availability—there are a wide range of factors that need to be addressed.[12]
2.14
In addition, Professor Allsop argued that governments need to 'ensure
more and enhanced access to treatment' services.[13] He noted that many people, especially in remote areas, are not able to access
timely help when it is needed.[14] Further, governments need to ensure access to treatment that is effective; that
is evidence-based treatment:
...that addresses the wide range of harms that arise from
methamphetamine use, whether that be infectious disease, other physical health
problems, and mental health problems; and it means ensuring that access to
quality of life is a major focus of treatment outcomes. It is not just about
stopping someone using drugs; it is about improving the quality of their lives.
It is about establishing effective evidence-based pharmacotherapies...which is a
significant gap in our available treatment package at the moment.[15]
2.15
Professor Allsop felt that there needs to be a system in place:
...that is responsive to changes in patterns of drug use and
related problems, because they do change. We do not want to lock ourselves into
one way of doing things, addressing one single drug. Most people with drug
problems do not have one single drug problem; they have an array of social,
legal and other problems, but often they use other substances as well.[16]
Amphetamine treatment profile in 2015–16
2.16
In 2017, the Australian Institute of Health and Welfare (AIHW) published
the Alcohol and other drug treatment services in Australia 2015–16 report.
The report estimates that 134 000 clients had received treatment in
2015–16, an increase since 2013–14 (119 000). This total equates to 1 in 180
people seeking AOD treatment services in 2015–16. Fourteen per cent of those
presentations were by Aboriginal and Torres Strait Islander peoples.[17]
2.17
AOD service providers facilitated approximately 207 000 treatment
episodes in 2015–16, an average of 1.5 episodes per client.[18] Seventy-nine per cent of treatment episodes were closed within three months.[19] Eleven per cent of clients that received treatment in 2015–16, had
received treatment in 2013–14 and 2014–15.[20]
2.18
The AIHW reported that the number of treatment episodes for amphetamines
had increased by 175 per cent over the past five years, more than doubling from
16 875 treatment episodes in 2011–12 to 46 441 in 2015–16.[21] There were 67 789 closed treatment episodes for amphetamine use in 2015–16.[22] Of this total, 46 441 (23 per cent) treatment episodes listed amphetamine
as the principal drug of concern, and 21 348 (11 per cent) as the additional
drug of concern.[23]
2.19
Despite the increase in amphetamine presentations, alcohol remained the
most prevalent reason for treatment episodes (32 per cent); however, over the
past five years alcohol has decreased by 6 per cent.[24] In contrast, treatment for cannabis has increased by 40 per cent over the same
five year period.[25]
2.20
The AIHW reported that Indigenous Australians (782 per 100 000 people),
who sought treatment for amphetamine as the principal drug of concern were more
likely to receive treatment than non-Indigenous Australians (115 per 100 000
people).[26] The AIHW reported that:
Although a small number of episodes were reported nationally
for Indigenous clients for whom amphetamines were a principal drug of concern
(almost 7,000), this represents a larger proportion of the Indigenous
population across Australia compared with the non-Indigenous population.[27]
2.21
Treatment providers also saw increases in the number of episodes for
clients injecting (38 per cent of episodes), and smoking and inhaling (50 per
cent of episodes) amphetamine.[28] More than four times as many clients were smoking or inhaling amphetamine in
2015–16 as in 2011–12.[29] Figure 1 shows closed treatment episodes with amphetamine as the principal
drug of concern, by the method of use.
Figure 1: Closed treatment episodes
for own drug use with amphetamine as the principal drug of concern, by method
of use, 2006–07 to 2015–16[30]
2.22
In 2015–16, 69 per cent of amphetamine treatment episodes were for male
clients.[31] Most clients that had registered amphetamine as the principal drug of concern
were aged 20–39 (74 per cent), followed by those aged 40–49 (16 per cent).[32] For Indigenous Australians, the proportion of clients that sought treatment
between the ages of 10–19 was higher compared with non-Indigenous clients of
the same age, 10 per cent and 6 per cent respectively.[33]
2.23
Amphetamine users were primarily self-referred or referred by a family member
(42 per cent) to treatment services, followed by referrals from health services
(24 per cent) and diversionary programs (18 per cent).[34]
2.24
The most common treatment type in 2015–16 for amphetamine use was
counselling (38 per cent, which had declined over the past five years (45 per
cent in 2011–12)),[35] followed by assessment only (22 per cent) and withdrawal management (11 per
cent).[36] Treatment programs were more likely to be conducted in a non-residential
treatment facility (68 per cent).[37] Figure 2 shows closed treatment episodes with amphetamine as the principal drug
of concern, with the top five treatment types received between 2011–12 to 2015–16.
Figure 3 shows the main treatment types and selected drug of concern, including
amphetamine, from 2013–14 to 2015–16.
Figure 2: Closed treatment episodes with amphetamine as
the principal drug of concern, by the top five treatment types, 2011–12 to 2015–16[38]
Figure 3: Clients
received treatment in all three years, 2013–14, 2014–15 and 2015–16, by main
treatment type and selected drugs of concern (%)[39]
2.25
Fifty-two per cent of closed treatment episodes with amphetamines listed
as the principal drug of concern lasted less than one month.[40] Twenty-three per cent were closed within a day and were mostly for assessments
only.[41] The median duration of a treatment episode for amphetamine was 28 days, but
varied depending on treatment type.[42] For example, the median timeframe for counselling services was 57 days, seven days
for withdrawal management, and one day information and education.[43]
2.26
The majority of closed treatment episodes (62 per cent) were completed
at the expected cessation time.[44] In these instances, a higher success rate was reported for those clients that
were self- or family referred (41 per cent).[45] Twenty-four per cent of closed treatment episodes ended unexpectedly.[46]
Update on the implementation of the National Ice Action Strategy
2.27
Upon their release part way through the committee's inquiry, the NIT and
the NIAS addressed a range of issues that had been identified by submitters and
witnesses during the course of the inquiry. As already stated in the
committee's first report, the committee supports all 38 recommendations in
the NIT's final report and the NIAS in its entirety.
2.28
As of 3 July 2017, the following treatment and demand reduction
objectives under the NIAS had been implemented:
- Work by the Alcohol and Drug Foundation (ADF) to establish 220
Local Drug Action Teams (LDATs) across Australia by 2020 is underway. The first
round saw the establishment of 40 teams across Australia, representing 160
partnerships across local councils, service providers, schools, police and
non-government organisations. The objective of the LDATs is to work together to
address the harms of drugs, especially crystal methamphetamine, on local
communities.[47] Applications are currently open for the third round of the program.[48]
- On 21 March 2017, the ADF launched the Tackling Illegal Drugs module
as part of its Good Sports Program. The $4.6 million in program funding is intended
to help communities build the capacity and confidence to address local illicit
drug issues and harms within sporting communities. Over 1200 sporting clubs,
many of which are from rural and remote communities, are delivering this
initiative.[49]
- On 3 April 2017, the government launched the Cracks in the Ice online toolkit. It provides publicly accessible, factual and evidence-based
information about crystal methamphetamine to community groups, local councils,
parents, friends, teachers, students and frontline service providers.[50]
- The allocation of funding for treatment services through the
Public Health Networks (PHNs) (see chapter 5 for further details).[51]
- In October 2016, Turning Point launched the expanded Counselling
Online service to provide free counselling for people using AOD, their family
and friends.[52]
-
In September 2016, the NDARC released the revised National
Comorbidity Guidelines. The purpose of these guidelines is to increase 'the
knowledge and awareness of co-occurring mental health condition in alcohol and
other drug treatment settings, improve the confidence and skills of AOD
workers, and increase the uptake of evidence-based care'.[53] The revised guidelines include the most up-to-date evidence of best-practice,
and were updated in consultation and collaboration with clinicians,
researchers, consumers and carers from across Australia. The NDARC is currently
developing an online training tool to accompany the second edition of these
guidelines.[54] And,
- From 1 July 2016, the Commonwealth government allocated $1.7
million over four years for the University of Adelaide to continue to develop
and expand its Alcohol, Smoking and Substance Involvement Screening Test
(ASSIST) and Brief Intervention (BI) (ASSIST-BI) across the primary health,
mental health, and emergency care sectors and the community correctional
setting. The ASSIST-BI is a tool for health professionals to screen for
hazardous or harmful use of illicit drugs, tobacco and alcohol.[55] Presently, ASSIST-BI is 'the only screening instrument responsive to changes in
drug use patterns as it screens for the use of alcohol, tobacco, amphetamines,
cannabis, cocaine, inhalants, opioids, sedatives and hallucinogens'.[56]
Committee comment
2.29
The committee urges Commonwealth, state and territory governments to
continue to implement the recommendations and strategies established by the NIT
and NIAS as a matter of priority.
Key issues: treatment and demand reduction measures
2.30
This section considers a number of key issues faced by the AOD treatment
sector. Many of these issues remain unresolved, despite the initiatives
implemented as part of the NIAS.
Waiting lists for alcohol and other
drug treatment services
2.31
A concern consistently expressed to the committee during the course of
the inquiry is the long waiting lists faced by individuals seeking to access
AOD treatment services, particularly residential treatment facilities. Centracare,[57] the National
Association of People with HIV Australia and Positive Life NSW,[58] The Salvation Army,[59] the Ted Noffs
Foundation,[60] Professor Nadine Ezard,[61] the Queensland Network of Alcohol and Other Drug Agencies[62] and Queensland Health[63] all voiced
concern about long waiting lists for residential rehabilitation and counselling
services for people presenting with crystal methamphetamine and other AOD
issues.
2.32
Long waiting lists are largely due to the number of people seeking
access to limited AOD treatment services. Research by the NDARC in 2014
estimated that approximately 200 000 people access AOD treatment
services in Australia each year.[64] Despite the significant number of people that are provided with support, the
NDARC conservatively estimated that unmet demand (the 'number of people in any
one year who need and would seek treatment') is between '200 000 and 500 000
people over and above those in treatment in any one year'.[65] The New Horizons report remarked that overall 'there is substantial unmet
demand for AOD treatment' in Australia.[66]
2.33
Prior to the release of the NIT final report/NIAS, the Victorian Alcohol
and Drug Association (VAADA) expressed concern about waiting times and access
to treatment:
The waiting times,
however, are often lengthy and difficult for people, and that creates a range
of waiting lists and threshold problems for people coming in and not being able
to come in when the availability is there.
Whatever the
perception, there is a need to reaffirm the efficacy of the AOD treatment
sector in addressing issues related to methamphetamine dependence and,
moreover, ensuring that treatment is readily available to the community when
people require it.[67]
2.34
In 2017, ATDC advised the committee that there remains a need to address
long waiting lists for people accessing AOD treatment services in both Tasmania
and around the country.[68] People based in regional and remote areas are particularly impacted because
they do not have the treatment options available to people based in urban areas
such as Hobart.[69] The ATDC noted that, anecdotally, people are waiting up to eight to 10 weeks
for treatment services, such as counselling, case management or other support
services.[70] Specifically, the ATDC reported that the north-west coast area of Tasmania has
minimal access to AOD and mental health services.[71]
2.35
The committee questioned Holyoake Tasmania about reports of it having to
send people to mainland Australia for AOD treatment services.[72] Holyoake Tasmania confirmed this and advised that it was doing so because
there are insufficient detoxification beds available in the state.[73]
2.36
In a position paper from August 2017, the Australian Medical Association
(AMA) re-iterated calls to increase the availability of treatment services to
address long wait times. The AMA stated that the 'lack of treatment services
affects patient outcomes'[74] and 'waiting for extended periods of time to access treatment can reduce an
individual's motivation to engage in treatment':[75]
In most instances
demand for treatment outweighs its availability. This can mean people wait for
extended periods to access treatment, which can results in withdrawal and
deteriorations in motivation to engage in treatment. Timeliness in accessing
suitable treatment is vital.[76]
2.37
Professor Allsop commended efforts by the Commonwealth, state and
territory governments to address the demand for treatment services; however, Professor
Allsop argued there remains 'an enormous unmet need, and it is in the access to
that service'.[77] Professor Allsop added that it was not just about the location of a service,
but also the hours it is open, and whether it meets the needs of the individual
or particular group seeking to access the service.[78]
2.38
On 30 May 2017, the Senate Standing Committee on Community Affairs
(Community Affairs Committee) and the Department of Health (DoH) discussed the
collection of national data on average wait times for accessing residential
rehabilitation services. The DoH informed the Community Affairs Committee that
it did not collect this data 'in a detailed or quotable form' and added that
'[w]aiting times are not actually captured in the alcohol and drug national
minimum dataset at this particular point in time, but that is certainly an item
that we are developing currently'.[79]
2.39
On 5 January 2018, the DoH subsequently advised the
Community Affairs Committee that funding had been allocated to the AIHW
'to support the development of this data item through the Alcohol and Other
Drug Treatment Services National Minimum Data Set Working Group'.[80] The DoH added that 'the expert group to guide the data development has yet to
be established' and for that reason 'a work plan including timelines for
development has not yet been drafted'.[81]
The window of opportunity
2.40
The committee heard that timely access to treatment services is vital
because it creates a 'small window of opportunity where people are addicted to
ice are ready' to undergo treatment:[82]
...cognitively, for
many of them, they are absolutely unaware of the damage they are doing to
themselves and to their families. So, a capacity to reflect and say, 'I need to
change this,' for many people with an ice addiction is not going to happen.
They have no concept and no insight into what is going on. They need the
motivation to change. When they have a window of opportunity—perhaps they have
been well for a while and a critical incident happens and they realise that
something has to change—at the moment we cannot get them quick help in
Australia.[83]
2.41
The Australian Psychological Society (APS) explained that often the
trigger for an individual to seek the support of AOD treatment services is a
significant event or a realisation that something has to change. Access to AOD
treatment services, however, is difficult and can take weeks or months before
anything is in place. During this time, the window of opportunity can pass.[84]
2.42
The issue of having a limited window of opportunity was also raised by
Professor Allsop, who opined that if an individual arrives at an emergency
department:
...you do not want the emergency department to phone up a
treatment service and hear the treatment service say, 'Yes, we can see them in
four weeks' time.' That is a missed opportunity. If a GP raises drug use with
one of their patients, they need to be able to get that person into treatment
immediately. So we need to be able to get people into treatment, and then to
have clinicians who are able to retain, engage and support people whose
relationships and capacity to form relationships might have taken a battering,
and then to make sure that those treatment services understand the more prolonged
nature of methamphetamine, the impact on relationships—perhaps sometimes
suspicion and agitation—and how to manage these things. I think there has been
an enormous amount of work done, and the treatment services that we have
available now are much more easily accessible and much more capable of
responding. But, at the end of the day, there are still far more people in need
than we have treatment places for, so sometimes people end up in prison, in the
justice system, quite simply because we could not get them into treatment.
People end up with their problems becoming worse, both for them and for their
families, quite simply because we could not get them into treatment.[85]
2.43
The committee heard that some organisations have the capacity to
provide preliminary support to people during the period they are waiting to
access a treatment service. For example, the Palmerston Association
provides waitlist groups and phone support services for those waitlisted,[86] as does The Salvation Army.[87]
Initiatives to reduce waiting times
2.44
The NIT recognised that 'unmet demand is a longstanding issue' and
supported 'further investment to strengthen the
capacity of services to respond more effectively and ensure that more people
are getting the help and support they need, when they need it'.[88]
2.45
The NIT, however, did caution against the investment of resources into
more costly and less-effective models of treatment. In its final report, the
NIT argued that such investments are unlikely to have a significant impact on
the AOD sector, and that funds should be dispersed by those with knowledge of
local needs.[89] Subsequently, the NIT recommended that:
The Commonwealth,
state and territory governments should further invest in alcohol and other drug
specialist treatment services. This investment must:
- target areas of need—this includes
consideration of regional and remote areas and Indigenous communities
- be directed toward evidence-based
treatment options and models of care for every stage of a patient journey
-
involve consultation across the
Commonwealth, states and territories and the alcohol and other drug sector
- be subject to a robust
cost-benefit evaluation process
-
ensure service linkages with
social, educational and vocational long-term supports.[90]
2.46
In response to this recommendation, the Commonwealth government announced
that $241.5 million would be invested in AOD treatment service delivery via
PHNs, expanding early intervention initiatives through online counselling and
information, and providing $13 million to introduce new Medicare Benefits
Scheme items for Addiction Medicine Specialists to increase treatment
availability.[91] These announcements were incorporated in the NIAS.
Committee comment
2.47
It is apparent to the committee that delaying a drug user's access to
AOD treatment services significantly undermines their chance of achieving a
successful treatment outcome. The small window of opportunity when a drug user
is seeking support and treatment must be capitalised upon. Long waiting lists
to access services are a major problem, and governments and the AOD treatment sector
must continue to address this issue.
2.48
Investment in AOD treatment services is central to addressing
Australia's capacity to respond to crystal methamphetamine abuse. Failure to provide
sufficient treatment options to meet demand may, as noted by Professor Allsop,
result in further pressure on police resources, the justice system and the
prison system. This is already borne out in the substantial increase in the
number of defendants finalised for a principal illicit drug offence in
Australia's criminal courts over recent years.[92] It also results in negative impacts on the physical and mental health of
illicit drug users, and places additional stressors on their families and
communities. The committee believes that these issues can be substantially
diminished with timely access to AOD treatment services.
2.49
The committee commends the work of governments, across all
jurisdictions, to provide additional funding to the AOD treatment sector. These
additional funds allow a greater number of drug users (an additional 15 000
clients between 2013–14 and 2015–16)[93] to access treatment services and support. In particular, the committee applauds
the Commonwealth government for additional AOD funding announced as part of the
NIAS. However, the committee considers that further additional funding for the
AOD sector is warranted: chapter 5 considers this issue in greater detail, in
particular the prioritisation of government funding towards law enforcement
(supply reduction) measures rather than treatment (demand) and harm reduction
measures. That chapter also considers whether additional funding could be
directed to AOD treatment services via the Confiscated Assets Account under the Proceeds of Crime Act 2002.
2.50
During the course of the inquiry, some submitters and witnesses
complained that since the implementation of the NIAS, wait lists remain. The
committee suggests that insufficient time has elapsed since the implementation
of the NIAS for a meaningful assessment to be made of its impact on waiting
times, and that it may take some time for additional treatment services to come
online and an impact to be seen.
2.51
As recommended in its first report, the committee does expect that thorough
and transparent progress reports on the implementation of the NIAS will be made
publicly available and will include assessments of the effectiveness of the
NIAS, and AOD policies more broadly. Such an assessment will require reliable
national data on unmet demand for treatment services and the length of time
people are waiting to access such services. Currently, as the DoH advised the
Community Affairs Committee, this data is not collected.
2.52
This committee commends the work commenced by the DoH and AIHW to
collect data on demand and waiting times for treatment services. The committee
considers that the collection of this data will be key to assessing the
effectiveness of measures to reduce waiting times, and enable informed
decisions to be made about future policies and their funding. The committee
therefore recommends that the DoH and AIHW establish an expert group and
progress the development of an AOD treatment waitlist dataset item as a matter
of priority.
Recommendation 1
2.53
The committee recommends that the Department of Health and the Australian
Institute of Health and Welfare establish an expert group and progress their
work to develop an alcohol and other drugs treatment waitlist item as part of the
Alcohol and Other Drug Treatment Services National Minimum Data Set.
Residential treatment services
2.54
Residential (inpatient) rehabilitation services are AOD treatment
services offered in a residential facility for an extended period of time. The
purpose of these services is to help clients cease their AOD use, and to address
the psychological, legal, financial, social and physical impacts of problematic
drug use.[94]
2.55
Data from 2015–16 shows that residential treatment accounted for
14 per cent of treatment episodes for clients presenting with AOD
issues.[95]
During this period, 35 per cent of closed residential treatment episodes
lasted one to three months, and 31 per cent lasted two to 29 days.[96] Table 1 shows the number of closed treatment episodes provided in residential
rehabilitation, by duration from 2011–12 to 2015–16.
Table 1: Closed episodes provided for own drug use with
main treatment type of rehabilitation, by duration, 2011–12 to 2015–16[97]
Duration |
2011–12 |
2012–13 |
2013–14 |
2014–15 |
2015–16 |
1 day |
379 |
346 |
377 |
397 |
593 |
2–29 days |
2994 |
2461 |
3329 |
3315 |
3717 |
30–90 days |
2903 |
2814 |
3479 |
4050 |
4207 |
91–182 days |
1465 |
1552 |
1959 |
2013 |
2172 |
183–364 days |
697 |
630 |
765 |
928 |
782 |
365+ days |
227 |
186 |
257 |
334 |
403 |
Total |
8665 |
7989 |
10 166 |
11 047 |
11 874 |
2.56
Some research has demonstrated a strong economic case in favour of residential
rehabilitation. For example, the VAADA submitted that:
- research from the Australian National Council on Drugs (2012)
showed for Indigenous populations, a saving of $111 458 per offender is made
when a person is dealt with in a residential rehabilitation facility compared with
imprisonment. A further saving of $92 759 is made when improved health-related
quality of life and lower mortality rates are taken into account;[98] and
- a 2013 study found for every person that is provided with
residential rehabilitation 'there is a conservative new economic benefit of
approximately $1 [million]'.[99]
2.57
The APS informed the committee that psychological treatment offered
during residential rehabilitation is effective because of the challenges users
face when they remain in the community. Dr Louise Roufeil commented that it was
far harder for an addicted crystal methamphetamine user:
...to walk back into their community or the people they used to
socialise with and not give in again. Residential rehabilitation is incredibly
difficult to access for young people and for adults at the moment, and the
ongoing psychological care to support people until they are at a point that the
addiction is under control is very difficult to access.[100]
2.58
The NDRI referred to the role of residential treatment in the treatment
'mix' available to consumers.[101] In this context, the NDRI highlighted a number of important considerations when
treating methamphetamine users, including:
- the long withdrawal and recovery period and the high relapse rate
for methamphetamine users (especially crystal methamphetamine users). This is
relevant because it is 'crucial to ensure services are funded to reflect 14–day
withdrawal, longer-term treatment (12–18 months) and especially assertive
follow-up/aftercare';[102] and
-
the need for funding and evaluating to be directed towards
innovative withdrawal treatment models (such as step-up/step-down)[103] that include a combination of non-residential and residential treatment, along
with additional psychological intervention trials.[104]
2.59
A Turning Point study into patient pathways in AOD treatment, as part of
the Patient Pathways National Project (2014), confirmed the importance
of residential treatment in a patient's treatment journey, especially for
methamphetamine use.[105] The study found that rates of abstinence during the 30 day period prior to a
follow-up were higher for participants that used long-term residential treatment
as part of their primary treatment (56 per cent), compared to outpatients
(33 per cent) and acute withdrawal (30 per cent). Further:
Participants who had been in residential rehabilitation at
any point in either the year preceding their [primary index treatment] or the
year following had significantly greater rates of abstinence at follow-up.
Abstinence rates in the past month were highest when the [primary drug of
concern (PDOC)] was meth/amphetamine (61%), followed by opioids (45%); cannabis
(34%) and lowest for alcohol (28%). Fourteen percent of the sample reported
complete abstinence from their PDOC throughout the entire follow-up year, and
this was highest when the primary drug was meth/amphetamine (26%, a rate
markedly higher than reported in the [Methamphetamine Treatment Evaluation
Study (MATES)] cohort study in 2012). Taking a conservative estimate and
assuming all participants who withdrew or were lost to follow-up were still
using their PDOC, the rate of treatment success in the entire baseline sample
(excluding those known to be deceased or incarcerated at follow-up) was 38%
with 27% abstinent from their PDOC in the 30 days prior to follow-up.[106]
2.60
The study highlighted the effectiveness of residential treatment and
engagement with mutual aid groups[107] as part of a patient's treatment.[108] For this reason, the study recommended increasing the availability of
rehabilitation places, and reducing waiting times for long-term residential
care as means of improving outcomes for drug users.[109] Further, the study noted that:
...it is crucial that funders and specialist service providers
recognise the critical role that rehabilitative services play in a
comprehensive specialist treatment system, particularly for individuals who
have greater levels of complexity. The qualitative findings indicate that long
waiting times for access to residential treatment are a key barrier to
treatment engagement. It is imperative that such unmet needs are addressed, and
that the benefits of residential rehabilitation are promoted among clinicians
and clients.[110]
2.61
The NIT's final report discussed the role of residential rehabilitation
for the treatment of crystal methamphetamine and the long-held belief that it
is the most effective way to achieve abstinence.[111] The NIT stated that residential rehabilitation for crystal methamphetamine:
...and other methamphetamine users, even residential
rehabilitation, as a single course of treatment, achieves low rates of
sustained abstinence or reductions in use. A lack of extended follow-up is
likely to be a factor behind these low success rates.[112]
2.62
It agreed that residential treatment has an important place in the
treatment of crystal methamphetamine use, but that budget constraints mean 'few
residential rehabilitation places can be funded in comparison to less intensive
forms of treatment'.[113] Therefore, the NIT suggested that:
The challenge for policy makers is to fund a mix of services
that balances the availability of treatment with effectiveness and population
need. In terms of effectiveness, residential rehabilitation on its own does not
deliver particularly high rates of long-term abstinence or reductions in use,
despite short-term positive results.[114]
2.63
The NIT referenced the NDARC's Methamphetamine Treatment Evaluation
Study from 2010, which compared abstinence rates for people who had
attended residential treatment facilities for methamphetamine use (248 people
in total) with a control group that received no treatment (101 people) or had
received detoxification (112 people).[115] That study found that:
- three months after participants had received treatment, 47 per
cent of the treatment group were no longer abstinent compared with 82 per cent
of the control group;
- a year after the commencement of treatment, 80 per cent of those
who attended residential rehabilitation facilities were no longer abstinent,
compared with 93 per cent from the control group; and
- at the three year mark, 88 per cent of residential rehabilitation
attendees were no longer abstinent, compared with 93 per cent of the control group.[116]
2.64
The study concluded that the absence of long-term follow-up support was
the most likely contributor to people failing to remain abstinent.[117] It added that specialist treatment programs are usually provided for a maximum
of 12 months, 'which does not account for the extended withdrawal and recovery
period associated with ice'.[118]
2.65
The study continued:
...poor outcomes were observed
for heavier injecting methamphetamine users and those with psychotic symptoms
and high levels of psychological distress on entry to treatment. On the other
hand, around one-third of methamphetamine users recovered without further drug
treatment. Positive outcomes were associated with longer and more intensive
treatment programs. These findings highlight the chronic and relapsing nature
of methamphetamine dependence for a large proportion of methamphetamine users,
and a need for a more intensive and sustained treatment approach for this
population, with a particular emphasis on follow-up care and relapse
prevention.[119]
2.66
The NIT highlighted in its final report the importance of having the
'right mix' of treatment service options to meet the needs of the community:
...especially in light of the resource constraints currently
facing the specialist AOD sector. Services need to be able to adapt their
treatment programmes to incorporate interventions that are evidence-based for
treating ice and other methamphetamine dependence. This includes
moderately-intensive lower-cost interventions, such as cognitive behavioural therapy
with contingency management and follow-up
support, which can be delivered in both a
residential and non-residential setting. Residential rehabilitation for ice and
other methamphetamine users should be targeted towards those with more severe
dependence and health needs, and those with more significant social
disadvantage.[120]
2.67
The NIT also recommended that the Commonwealth government fund research
into evidence-based treatment for methamphetamine including treatment settings
(such as residential and non-residential treatments).[121]
2.68
UnitingCare ReGen's 'Step-up, Step-down' model was a treatment model
referenced often by submitters and by the NIT. This model is a stepped care
approach for methamphetamine use, and includes:
- Assessment, clinical review and care planning to identify people
suitable for non-residential withdrawal support from nursing professionals.
- Those found suitable are provided with home-based withdrawal
support while on a waiting list for a residential withdrawal service.
Non-residential support includes:
- education on harm reduction strategies and self-care;
- motivational interview and counselling support;
- advice on the withdrawal experience and residential care
services;
- liaison with general practitioners and linking consumers with
other support services; and
- family support services during home-based withdrawal.
- A consumer admission into a residential withdrawal service is
provided for up to 10 days. A 'consumer's participation in the program during the
first few days of withdrawal would be relaxed if required to accommodate a
methamphetamine "crash" period'.[122]
- Residential support is followed by a step-down service that
includes:
- continued withdrawal information and management; and
- counselling and case management support that links with other
services when required.[123]
2.69
UnitingCare ReGen asserted that this model better prepares consumers for
residential treatment and reduces the likelihood that a resident has used
methamphetamine in the 24 hours leading up to their admission.[124] It also reduces the amount of time a consumer spends in residential care (6.3
days on average), and achieves better physical and mental health results at the
three-month follow-up.[125]
Demand for residential
rehabilitation
2.70
Evidence to the committee demonstrated that demand for residential
treatment services has increased. For example, the Palmerston Association
reported that in 2015–16, 180 people participated in its residential program
representing an increase of 18 per cent from the previous year.[126] It also observed an increase in the number of people seeking treatment for
methamphetamine more broadly: 53 per cent of residents reported methamphetamine
as their primary drug of concern (38 per cent in 2013–14).[127] By way of contrast, alcohol accounted for 28 per cent in 2015–16
(47 per cent in 2013–14).[128]
2.71
The Palmerston Association recognised this increase as part of a growing
awareness in the community about the impact methamphetamine use has on
individuals and families.[129] The VAADA attributed the increase to the paucity of publicly funded residential
beds and increased public perception that residential treatment is the ideal
form of treatment.[130]
2.72
As foreshadowed earlier, the committee also heard that there is a lack
of residential treatment services across the nation. This shortage is particularly
acute in regional and remote regions.[131]
2.73
The Western Australian Network of Alcohol & Other Drug Agencies
(WANADA) and the VAADA reported that the Western Australian (WA) and Victorian
governments, respectively, have made additional investments in residential
rehabilitation services. The WANADA informed the committee that WA's 2016
methamphetamine strategy[132] included an additional $6.2 million over two years for 60 rehabilitation
service beds (52 assigned to residential rehabilitation and eight for
low-medical withdrawal).[133] The VAADA reported that the Victorian government had provided funding for an
additional 18–20 residential beds in the Grampians region.[134] Further, the Victorian Department of Health is set to provide an additional 100
residential rehabilitation beds by March 2018.[135] Other initiatives announced by the Victorian government include:
- a rapid withdrawal and rehabilitation model for complex clients
in hospital;
-
a new advisory service for individuals in urgent need of locating
a suitable service; and
- measures to tackle poor quality or unsafe services by private
rehabilitation clinics.[136]
2.74
Similar investments have been undertaken by other state and territory
governments:
- In June 2017, the South Australian (SA) government announced its
$8 million Ice Action Plan to increase the number of residential
rehabilitation beds in regional areas by 15.[137]
- In 2016, the New South Wales (NSW) government announced $75
million over four years for AOD treatment services including detoxification and
treatment programs for young people and pregnant women.[138]
- On 2 June 2017, NSW opened its first youth drug detoxification
clinic in the Illawarra.[139] This facility can house up to 10 youths aged 16 to 24 years old.[140]
- In 2015, the Tasmanian government invested $4.8 million for
AOD treatments, including 12 new residential rehabilitation beds in the
north-west of the state.[141]
Availability of residential
rehabilitation
2.75
The VAADA submitted that the Australian Capital Territory (ACT) has the
highest number of residential rehabilitation beds per 10 000 people, whereas SA
has the lowest. Figure 4 shows the number of residential rehabilitation beds
available per 10 000 head of population as of 1 January 2016.
Figure 4: number of residential rehabilitation beds
available per 10 000 head of population as of 1 January 2016[142]
2.76
According to VAADA, the lack of residential rehabilitation beds has a
number of negative consequences. These include unmet demand being met by the
expansion of unregulated private rehabilitation facilities, acute health issues
due to untreated dependency resulting in preventable mortality, and demand on
the justice system.[143]
2.77
The VAADA therefore recommended that the Commonwealth government develop
a plan to increase the capacity of residential rehabilitation facilities. This
plan would need to be adequately resourced, address existing gaps, meet current
demand by region and promote partnerships with existing service providers.[144]
Committee comment
2.78
Residential treatment is a vital component of the AOD treatment sector.
It provides 24-hour care in a safe space, and removes drug users from the
environment that may contribute to their problematic drug use. Residential
treatment also demonstrates broader economic benefits for Australian
communities, and if best-practice principles are applied, has better health
outcomes for drug users.
2.79
Although effective, treatment in residential rehabilitation facilities
cannot be a stand-alone treatment option. This form of treatment must be
provided in conjunction with sufficient pre- and post-care services (such as
non-residential nursing support, ongoing counselling and educational services).
Without ongoing support, then long-term abstinence from drug use may be
undermined.
2.80
The NIT and NIAS both highlight the importance of offering a diversified
treatment mix. The committee echoes these sentiments and recommends that
Commonwealth, state and territory health departments ensure adequate pre- and
post-care services are provide in partnership with residential treatment
programs to promote on-going abstinence by AOD users. This best-practice
measure should also be applicable to the for-profit and not-for-profit
residential treatment sectors.
Recommendation 2
2.81
The committee recommends that Commonwealth, state and territory health
departments ensure adequate pre- and post-care services are provided in
partnership with residential treatment programs.
2.82
The committee is concerned that demand for residential treatment
services outweighs supply. This is a particular concern for those seeking
residential treatment in regional and remote communities. It also impacts on
the availability and waiting times to access other treatment services, as well
as the likelihood of treatment success.
2.83
The committee commends those Australian governments that have invested
additional resources to increase the capacity of residential treatment services
in their jurisdictions. However, there is disparity in the number of
residential rehabilitation beds available per 10 000 head of population in
different jurisdictions. As discussed in the following section of this chapter,
a consequence of limited residential treatment facilities is growth in
for-profit residential services, which may not apply best-practice treatment
principles and can be prohibitively expensive.
2.84
The committee recommends that individually and collectively the
Commonwealth, state and territory governments develop and implement plans to
increase the capacity of residential rehabilitation across Australia in a way
that ensures equitable access, particularly for those in regional and remote
areas.
Recommendation 3
2.85
The committee recommends that Australian governments individually and
collectively develop and implement plans to increase the capacity of
residential rehabilitation across Australia in a way that ensures equitable
access.
Private treatment services
2.86
Residential rehabilitation is provided by public, not-for-profit and private/for-profit
providers. Private residential rehabilitation centres play an important role in
the ecology of AOD treatment services. However, media reports and evidence
submitted to the committee have shown that the private sector is largely
unregulated and, as a result, may be detrimental to their health and wellbeing,
and also to their financial situation.
2.87
This issue received national attention on 12 September 2016 when the Australian
Broadcasting Corporation's (ABC) Four Corners aired an investigation
into the private rehabilitation sector amid concerns about the cost of
treatment services and the lack of regulation in the industry.[145] Four Corners found that high demand for residential rehabilitation
facilities has forced families to turn to private rehabilitation centres.[146] At some of these facilities, families were paying up to $30 000 for a single stay.[147] While some of these centres are effective, others appear to be focused on
profits without being able to demonstrate results for patients.[148]
2.88 Four Corners reported that each year there are more than 32 000
requests for residential rehabilitation placements, far outweighing the
approximately 1500 publicly funded drug and alcohol rehabilitation beds
available. Professor Dan Lubman, a psychiatrist and addiction medicine
specialist told Four Corners that people expect treatment offered in a
paid facility to be better than a publicly funded centre; however, these
services are 'often worse than what is offered in the public system'.[149] Further, there are no minimum standards for these facilities, which has meant
that people are:
...offering legitimate treatments or claiming to offer
legitimate treatments that are not based on evidence, that aren't supported by
the literature, aren't covered by an appropriate clinical quality and
government standards.[150]
2.89
Submitters and witnesses similarly warned that the lack of residential
rehabilitation places has led to the expansion of the unregulated private
rehabilitation market. For example and as stated in paragraph 2.75, the VAADA
observed that one of the negative consequences of unmet demand for public
residential rehabilitation services has been the expansion of unregulated
private rehabilitation facilities.[151]
2.90
The WANADA expressed concern about the growth of the unregulated private
rehabilitation sector, and stated that there needed to be a way to:
...demonstrate the application of evidence-based practice for
treatment services. People at some services—the one that you mentioned in terms
of the Four Corners report—spend a significant amount of money, but
there is no guarantee that this is evidenced. There was one more recently about
a service in Western Australia on Australian Story. While it is not
necessarily big outlays, there is concern that there is no requirement for
accreditation of private services that are not receiving government funding. We
are concerned that evidence-based practice is not being monitored when it is in
place. WANADA's interest is in meeting the community needs through an evidence-based
practice approach.[152]
2.91
UnitingCare ReGen opined that the lack of accountability for the private
AOD treatment sector has been a longstanding concern in the industry.[153] It acknowledged that there are private services that provide good quality care;
however, the lack of 'regulations or requirements for transparency allows some
services to make unfounded marketing claims of success'.[154] For example, marketing that targets and exploits vulnerable families who are
seeking a cure for their loved one, and thus 'helps justify the often
exorbitant fees charged by these services'.[155] It also reinforces the belief that you 'get what you pay for' as services that
are publicly funded do not charge, or charge at a minimum cost, and do not
undertake similar marketing strategies.[156]
2.92
The rise in private AOD services, according to UnitingCare ReGen, is due
to the rise in community concern about methamphetamine and the lack of capacity
within the publicly funded treatment system to accommodate those seeking these
services. The committee also heard concerns about the role of the media in
uncritically promoting private AOD services.[157]
2.93
UnitingCare ReGen recommended the Commonwealth, state and territory
governments commit to developing a nationally consistent regulatory framework
for private AOD treatment providers, similar to that already in place for
private hospitals. These standards and compliance requirements should promote
transparency, service quality and ethical practices to 'help prevent unethical
practice within the sector and, most importantly, improve the effectiveness of
services for vulnerable individuals and families'.[158]
2.94
In its report, the NIT recommended (Recommendation 17) the development
of a national quality framework that sets standards for:
- the delivery of evidence-based treatment services with clear
expectations of the quality standards for each type of service;
- workforce capabilities matched to service-type and population
need;
- cross-agency partnerships and collaborations; and
- the monitoring and evaluation of the quality framework's outcomes
and effectiveness to inform continuous quality improvements.[159]
2.95
The committee questioned the DoH about the Four Corners report
and the private rehabilitation sector. The DoH informed the committee that it
was working with the Ministerial Drug and Alcohol Forum (MDAF), and with
colleagues from the states and territories to develop a national quality
framework for AOD services.[160] A limiting factor for the Commonwealth government is that regulation of these
services is the remit of the states and territories, such that the Commonwealth
government does not have a regulatory role.[161] The DoH, however, stated that this division of responsibility makes a national
quality framework:
...the important piece that holds this together. But a couple
of things have been done in response to the Ice Taskforce around the
comorbidity guidelines and things like that. Trying to provide as much guidance
so that there is national consistency in treatment services has been an
objective there.[162]
2.96
The DoH added that the national framework is being applied to the public
sector, and then 'we will look to see how we can extend that across the private
sector'.[163] The committee reminded the DoH that the topic addressed in the Four Corners program was about private clinics and the damage that is being done by these
unregulated service providers. In response, the DoH confirmed that this issue
had been discussed by the National Drug Strategy Committee (NDSC) and the MDAF,
largely 'in the context of the quality framework and what we can do there and a
conversation for individual jurisdictions to have about how they could regulate
the private sector'.[164]
2.97
In a 16 December 2016 communique, the MDAF identified as a priority the
implementation of a quality framework 'to provide consistent and appropriate
treatment in accordance with best practice'.[165]
2.98
On 27 March 2017, the Australian Network of State and Territory Alcohol
and Other Drug Peaks (Network of Peaks) released a press release on the
national AOD quality framework. The Network of Peaks, drawing from previous
attempts by governments to develop a national quality framework for the AOD
sector, advocated for a quality framework that:
- is driven by the AOD sector and is a working collaboration with
the health departments;
- involves leadership from the AOD peaks and national AOD research
centres and is governed by a working group that reports to the NDSC (with
co-chairing arrangements shared between a non-government representative and a
NDSC representative);
-
is aligned with, and a component of, the National AOD Treatment
Framework (that needs to be developed first); and
- has clear deliverables that includes start and end dates with
adequate resources.[166]
2.99
The Network of Peaks highlighted the need for there to be a clear
difference between a national AOD quality framework (focused on compliance and
monitoring of evidence-informed practice) and accreditation (continuous quality
improvement around systems management).[167]
2.100
The Commonwealth government last considered a national AOD quality
framework in 2013–14. Turning Point, together with the DoH, set out to
establish a national quality framework for the AOD treatment sector by
developing guidelines that:
- complemented other models and frameworks with which the AOD
sector complies;
- were adaptable, flexible and suitable for the range of AOD issues
and service types, including Indigenous-specific services;
- considered the needs of clients with comorbidities and the need
to maintain the capacity of services to manage these clients;
-
considered all sources of funding;
- described quality standards for all service types;
- established clear guidelines, policies and procedures to achieve
and maintain quality standards;
-
incorporated accreditation models currently in place; and
- considered accreditation and minimum qualifications.[168]
2.101
The outcome of this project is not known to the committee.
2.102
The conduct of private rehabilitation facilities has been in the
spotlight in Victoria. As of 1 December 2017, the Victorian Health Complaints
Commissioner (Complaints Commissioner) had received 26 complaints about private
rehabilitation clinics.[169] Issues most commonly brought to the Complaint Commissioner's attention
were:
- exploitative billing practices (for example treatment costing up
to $30 000);
- lack of informed consent for clients' financial and treatment
decisions;
- safety concerns;
- the effectiveness of treatment;
- the cleanliness of treatment facilities; and
-
the inappropriate discharge of patients.[170]
2.103
In a media release, the Complaints Commissioner reminded general health
service providers not covered under the Australian Health Practitioner
Regulation Agency (AHPRA) of their obligations under the general code of
conduct, which took effect on 1 February 2017.[171] The Code of Conduct for General Health Services establishes standards
such as safe and ethical conduct, appropriate treatment advice, and
requirements not to misinform clients and not to financially exploit clients.[172]
2.104
On 16 February 2018, the Victorian government announced $550 000 in
further funding to the Complaints Commissioner 'to conduct a wider
investigation into the private drug and alcohol counselling sector in
Victoria'.[173]
Committee comment
2.105
As discussed earlier, there is a shortage of places available in
residential treatment services across most Australian jurisdictions. In turn,
this has led to the growth in for‑profit residential rehabilitation
services. The committee is supportive of for-profit residential rehabilitation;
however, these services must be regulated to ensure best-practice treatment
principles are applied in a cost-effective manner with the objective of
achieving positive health outcomes for its residents.
2.106
The committee is very concerned by the allegations raised by Four
Corners and by the Victorian Health Complaints Commissioner. These allegations
indicate a need for the development of a national AOD quality framework that
ensures best-practice across the AOD treatment sector. A national AOD quality
framework must be applicable to public, not-for-profit and for-profit residential
rehabilitation service providers.
2.107
Although the Commonwealth government does not have a regulatory role in
relation to drug treatment centres, it can facilitate a national dialogue and
development of regulations. The Commonwealth's responsibilities include
advancing national priorities, providing leadership in planning, addressing
service quality and supporting equity. All of these responsibilities are relevant
to the development of a quality framework to regulate all residential
rehabilitation service providers. Indeed, the regulatory framework governing
private hospitals is an example of the Commonwealth's role in facilitating a
similar national initiative. Such an approach can be applied to the AOD
treatment sector.
2.108
The NIT recommended that the Commonwealth government fund research into
evidence-based treatment for methamphetamine, in particular for best-practice
measures in treatment facilities (both residential and non-residential).[174] The committee supports the NIT's recommendation and further recommends that following
this research, and as a matter of priority, the Commonwealth, state and
territory governments establish a national quality framework for all AOD
treatment services including public, for‑profit and not-for-profit
residential rehabilitation.
Recommendation 4
2.109
The committee recommends that the Commonwealth, state and territory
governments, as a matter of priority, establish a national quality framework
for all alcohol and other drug treatment services including public,
not-for-profit and for-profit residential rehabilitation.
2.110
Further, development of the framework must take into account the
expertise of those working in the AOD field, as well as lessons learnt from
previous attempts to develop a national quality framework. For this reason, the
committee recommends the development of a national quality framework in partnership
with representatives of the AOD treatment sector.
Recommendation 5
2.111
The committee recommends that the development of a national quality
framework for alcohol and other drug treatment services is undertaken in
partnership with representatives of the alcohol and other drug treatment
sector.
Mandatory residential treatment
2.112
Compulsory or mandatory treatment describes those circumstances where an
individual is compelled to undergo an AOD treatment program, often in lieu of
criminal sanctions. These mandatory treatment programs are often court
mandated, for example through a drug court[175] or form part of a drug diversionary scheme.
2.113
The following section considers evidence to the committee, which provides
a range of views on the role and appropriateness of mandatory residential
treatment. While some submitters were supportive of mandatory residential
treatment, others were critical and argued there is minimal evidence to support
it.
2.114
Professor Paul Dietze from the Burnet Institute informed the committee
that mandatory (residential) treatment was 'particularly fraught' and that he
was not aware of any evidence that this treatment option benefits illicit drug
users. The primary problem with this approach, according to Professor Dietze,
is that 'it is very difficult to keep someone in against their will...[as] you
would essentially be imprisoning them'.[176] Further, Professor Dietze referred to rehabilitation centres in South East Asia
that have been demonstrated to violate human rights and have very limited success,
stating that 'there are alternatives that people can engage in well before you
would engage in a compulsory treatment'.[177]
2.115
When asked about the merits of custodial mandatory treatment of young
people, Dr Roufeil from the APS responded that it was better than other
alternatives, but '[t]here will always be problems when [treatment] is
mandated' and for that reason, '[i]t is not ideal'.[178] Dr Roufeil further considered that, if a court-mandated custodial system
was in place, it would need to be informed by evidence-based interventions,
such as a therapeutic diversionary approach, rather than a supportive approach.[179]
2.116
Holyoake Tasmania commented on the effectiveness of mandatory treatment more
broadly, in the context of Tasmania's court-mandated treatment program. When
asked whether people seeking treatment come with a willingness to admit that
they have a problem, Holyoake Tasmania replied that almost all are willing, but
those who are court‑mandated clients are generally not successful:
Look, to be perfectly honest, whilst I appreciate that that
is a process that is one step closer to perhaps assisting people rehabilitate,
there are a significant number of those court-mandated clients who just seek to
come to have a box ticked and learn how not to get caught next time. That is
the truth. You cannot make somebody rehabilitate from drugs; they have to want
to do it. That is the truth.[180]
2.117
When asked about forced rehabilitation (residential treatment), Holyoake
Tasmania conveyed that it has limitations, and ultimately:
...forced rehabilitation does not work...These court-mandated
clients are not all doomed to fail—I do not mean that—but they are more likely
to fail because you are more likely to achieve your goals if you truly want to
achieve them rather than you have been forced.
...
Look, if you locked people up, you might get a very small
percentage of people who see the light when they are locked up, but most of
them will be resentful. No, it does not work. Look at prohibition. That is not
how it works.[181]
2.118
A similar line of questioning was put to the Palmerston Association. In
response, its CEO, the Honourable Sheila McHale pointed out that the WA government
was considering mandatory residential rehabilitation and the Palmerston
Association 'stops short' of rejecting this option in its entirety, but:
...quite frankly there is very scant evidence to show that it
does work. One of the fundamental motivators for recovery to work is actually
motivation of the individual him or her self. I always thought that the call
for mandatory reporting was a cry for help from parents, that they just wanted
somebody to take away the family member and sort them out. Mandatory rehab will
not alleviate those sorts of anxieties in the way that it was being looked at
because it is actually quite a convoluted process. Here in WA, I think the
number of beds that was being considered was about four, so it is a drop in the
ocean and on that basis we would work with government to have a look at it. But
there is a high degree of scepticism as to whether it will work or not. We did
not want to throw the idea out without having the government do some more work
on it.[182]
2.119
The WA Primary Health Alliance (WAPHA) argued 'that a voluntary approach
seeking to have treatment is highly correlated to getting a good treatment
outcome'[183] and that 'treatment efficacy is much greater'.[184] The WAPHA agreed that 'it is hard to get people to treatment that may not have
that insight at a certain point' but:
...we have to keep in context though they are small in number
but very visual. Those people who are quite unwell, are having a psychosis
impact from their use and do not have the insight of wanting treatment are
small in number but high impact in terms of need and demand.[185]
2.120
The WAPHA recognised the problems families face when dealing with a
family member using crystal methamphetamine and acknowledged mandatory residential
treatment may provide them with a sense of safety. That said:
...the evidence about that type of treatment being successful
is not strong. It is not to say that it will not work for some people, but for
people to be willing to accept the issue will have greater treatment efficacy
than being dragged against their will. I appreciate that, on occasion, for
people's own safety, you may need to not necessarily require their treatment
but contain them in a way that is safe for them for a period, and that often
does happen in a hospital in an acute unit. But my sense is that, in an
overarching way, while conversely it would work for some I think the efficacy
of it working for the population is not well tested.[186]
2.121
Although the WAPHA asserted that there is no evidence to support
mandatory residential treatment, it did acknowledge that it may be appropriate
in limited circumstances, for example if a person's mental health and wellbeing
are at risk and there is potential for self-harm.[187] In these instances:
...a mandatory type of treatment would create safety for a
person but whether it would create a good outcome in terms of treatment, the
numbers would have to be tested. I imagine they would be quite low, because we
are actually asking people to change their behaviour, to have insight into
their behaviour and the triggers. Very few people do that well in an environment
where it is involuntary.[188]
2.122
The WANADA rejected mandatory residential treatment as a viable option
for dealing with AOD dependent individuals.[189] It argued that there is no point pursuing mandatory treatment because there is
not sufficient access to voluntary residential treatment services.[190] The result, in WANADA's view, is that mandatory residential treatment:
...will result in people who would otherwise want to get in
voluntarily, or whatever, getting themselves in circumstances so that they will
be put into compulsory treatment. We need adequate voluntary services to start
with, and then let us look at that as an option. I understand the evaluation
from New South Wales is looking positive in terms of its compulsory treatment.
I know that Western Australia went down that track—even drafting legislation...with
the last government—but it is an expensive process, which could, at this stage,
contribute to increasing access by people who are actually self-motivated to
access treatment.[191]
2.123
WANADA referred to drug diversionary programs and cited the positive
outcomes of these, acknowledging there is a:
...degree of mandated, coerced treatment that is having some
great outcomes, which is not necessarily a specific focussed program. I know
this new state government is talking about prison-based alcohol and other drug
services for men and women—significant numbers: 250 men, 60 women. We do not
have a therapeutic community in our prisons in Western Australia. Most other
jurisdictions have prison therapeutic communities. Let us start in the obvious
places. We already have the facility—they have got the beds in prison—so let us
support a therapeutic approach to addressing the more than 70 per cent of
people in prison with alcohol and other drug issues who would benefit from
treatment. Let us start there. Let us start with voluntary.[192]
2.124
In August 2017, the WA government announced it would allocate $9.6 million
to establish the state's first AOD rehabilitation prison.[193] An existing minimum security male prison (Wandoo Reintegration Facility) will
be converted into an AOD rehabilitation prison for women.[194] The 80-bed facility is part of the WA's Methamphetamine Action Plan.[195]
2.125
Ms Jennifer Bowles, an advocate for mandatory residential treatment and a
former magistrate with the Children's Court of Victoria,[196] outlined her research into the effectiveness of mandatory residential treatment
for young people. Ms Bowles reviewed mandatory residential treatment programs in
Sweden, England, Scotland and New Zealand. Her research found that court
sanctioned mandatory residential treatment for young people 'is as effective as
voluntary treatment, provided the facilities had key essential qualities',[197] namely that these facilities are: therapeutic and not punitive; and training
and education is available to residents.[198] Ms Bowles acknowledged human rights concerns and high costs associated with
implementing mandatory treatment.[199]
2.126
While advocating for mandatory residential treatment, Ms Bowles
qualified that she is not critical of existing voluntary services, but is
critical of a model that expects:
...children as young as 13, 14 or 15 to go independently and
say to their mates down at the railway station, the park or wherever they might
be, 'I'm just going off to see my drug and alcohol counsellor.' They just do
not do it. They cannot even get to court on time, let alone worry about getting
to a drug and alcohol counsellor. My concern is that the voluntary model works
for some but, for the vast majority of the really serious young people we are
seeing, it does not work.[200]
2.127
Mandatory residential treatment was addressed in the NIT's final
report. The NIT provided an overview of existing mandatory residential treatment
legislation in NSW, Victoria, Tasmania and the Northern Territory.[201] The NIT did not make a conclusion on the merits of mandatory residential treatment;
however, it did note the high costs associated with this treatment and questioned
whether these costs can be justified 'given the limited resources and lack of a
robust evidence base'.[202] The NIT acknowledged concerns that mandatory treatment 'may diminish the
capacity for treatment to be delivered flexibly and in a manner that enables
the individual to own their problem'.[203] Finally, issues arising from an ethical and human rights perspective were also raised
as a potential concern.[204] The NIT noted the complexity of mandatory treatment and referred to research
that suggests:
...while there is some evidence mandatory treatment for short
periods can be an effective way to reduce harm, there is little evidence to
support its effectiveness in rehabilitating or achieving long-term behavioural
change.[205]
2.128
Mandatory residential treatment was not referenced in the NIAS.
Committee comment
2.129
The committee understands why many people—often outside the AOD
treatment sector—hold the view that mandatory residential treatment is a viable
option for drug users. The committee has heard numerous accounts where families
have reached the limits of their capacity to support loved ones through their
drug addiction. In these instances, it is not surprising that families and
communities support mandatory treatment.
2.130
Evidence to the committee was largely critical of mandatory residential
treatment, with many submitters and witnesses arguing it is not an effective
response to problematic AOD use. As discussed in this chapter, many experts
recognise that motivation to undertake AOD treatment must come from the
individual, and cannot be enforced upon them. Without this underlying
motivation, the success of treatment is limited. However, there may be a role
for mandatory residential treatment in instances where a person is likely to
harm themselves or others around them.
Methamphetamine use and treatment
in correctional facilities
2.131
During the course of the inquiry, the use of methamphetamine in correctional
facilities was identified as a significant problem. In 2015, the AIHW reported
in The health of Australia's prisoners 2015 (the AIHW prisoners' health
report) that 67 per cent of all prisoners had used an illicit drug in
the 12-months prior to entering a correctional facility.[206] The AIHW report also found:
- the most commonly used illicit drug was methamphetamine, with
50 per cent of respondents reporting its use over the reporting period;[207]
- ten per cent of prisoners discharged[208] from correctional facilities reported using an illicit drug whilst in prison;[209] and
- six per cent reported injecting drugs[210] of which four per cent of discharged prisoners reported sharing a needle whilst
in prison.[211]
2.132
In 2015, the ACT was the only jurisdiction that had announced a needle
and syringe exchange program (NSP)[212] in its correctional facilities.[213]
2.133
Although the AIHW prisoners' health report indicated problematic drug
use existed in correctional facilities, the AIHW noted limitations with the
report's data. For example, in 2015, NSW did not provide discharge data and no
drug use data was provided by Victoria. Further, drug use data is self-reported
and the AIHW concluded that it is likely that current illicit drug use in
correctional facilities is 'underestimated because prisoners can be reluctant
to disclose this kind of information'.[214]
2.134
The issue of illicit drug use in correctional facilities was canvassed
by submitters and witnesses. Mr Craig Cumming, from the Centre for Health
Services Research at the University of Western Australia, noted that methamphetamine
had become the most prevalent illicit drug used by the prison population.[215] Through his engagement with prisoners, Mr Cumming had found people:
...attribute their
incarceration to using methamphetamine. Sometimes that is because they have
committed the property crime to fund their habit or they have dealt in drugs
because it is the only way they can afford to take them. At other times they
have committed a violent offence or an offence against a person because of the
state they were in due to being intoxicated.[216]
2.135
Mr Cumming also noted that many prisoners use methamphetamine as a form
of self-medication.[217]
2.136
The Penington Institute argued that the notion that correctional
facilities are drug-free spaces is a myth that must be rejected in order 'to
have a mature conversation around' the issue,[218] and:
Our prisons are still chock-a-block with people with drug
addiction problems. In fact, there is an ice problem inside our prisons as
well; people are not only being incarcerated with drug addiction, but
continuing their drug addiction whilst inside.[219]
2.137
While it is known that prisoners use methamphetamine in correctional
facilities, the committee heard there are inadequate treatment options
available to them. Mr Cumming referred to the WA's Office of the Inspector of
Custodial Services' report that 'medical and health services are not up to
standard'.[220] He emphasised the importance of establishing treatment services in the prison
system because this is a:
...subset of the
population that we know are the most afflicted with this problem, and the one
area where they could be helped is the area where they are not getting
helped—when they go to prison.[221]
2.138
The South Australian Network of Drug and Alcohol Services opined that it
is essential for AOD treatment services to be offered in Australia's
correctional facilities:
In South Australia it is extremely difficult to get treatment
services into prisons. I think that is probably problematic across the whole of
the country. I think there is a really important space there for non-government
organisations that have very good skills in working with people with drug and
alcohol problems to be able to work with people in Corrections and to make
those connections and to be able to do work with people whilst they are
incarcerated. A person should not go into prison as a drug addict and come out
of prison still with the same problem, having had continuous use through that.[222]
2.139
The lack of funding to support prison treatment programs is, in
Holyoake's view, a major problem.[223] Of its annual funding of $100 000, none was made available to prison AOD treatment
programs.[224] Holyoake's employees:
...go into prisons and
we get no money. No-one gives us any money to do that, at all, no-one. We could
have three groups running at the moment. The need in prison is so strong. What
I think the general public do not understand, or maybe the government does not
understand, is that whole revolving-door thing. These guys and girls, mostly
guys, come in and out and in and out. Crime and drugs are so deeply related
that you have to do something to break that cycle or it is just going to keep
happening.[225]
2.140
The WANADA discussed prison treatment programs in the context mandatory
residential treatment facilities in WA. It argued that rather than investing in
mandatory facilities, money should be directed to establishing AOD treatment
services in WA's prisons.[226] The WANADA informed the committee that WA did not have therapeutic options for
prisoners and investment needs to be made to address 'the more than 70 per
cent of people in prison with alcohol and other drug issues who would benefit
from treatment'.[227]
2.141
The committee heard examples of services available in some correctional
facilities. The Queensland Network of Alcohol and Other Drug Agencies referred
to the ACT's Alexander Maconochie Centre as a potential AOD treatment model.[228] The Alexander Maconochie Centre's Solaris program provides therapeutic assistance
to people who have six months or less of their sentence remaining. Through the
program, prisoners receive help to address the issues that contributed to their
drug use, with the aim to assist prisoners once they are released from the
correctional facility.[229]
2.142
The National Aboriginal and Torres Strait Islander Legal Service
(NATSILS) spoke of the Northern Australian Aboriginal Justice Agency's prison
support program and post-release program. According to NATSILS, these
initiatives have reduced recidivism and have made sure upon their release people
are supported in the community.[230] Although successful, NATSILS also noted a lack of funding for similar services
in Central Australia[231] and recommended:
...there needs to be a focus on resources: what their current
state is, and what needs to happen to increase them—so resources both in the
community and resources within the prison system that are specifically focused
on dealing with substances, and that recognise the priority needs in particular
communities and cater specifically for the particular substances around which there
is most need in that particular community.[232]
2.143
The NIT's final report considered AOD treatment in the corrections
system. It recognised that all states and territories provide AOD treatment
programs in their correctional system; however, the focus and design of these
programs varies. Broadly, these treatment programs consist of:
- harm reduction measures to enhance awareness about the
physiological effects of AOD misuse;
- psycho-educational activities aimed at improving prisoners'
understanding and awareness of the link between drug misuse and crime;
-
therapeutic programs for groups to address AOD misuse,
withdrawal, behaviour development, emotional management, relapse prevention and
enhancing problem-solving and communication skills;
-
the separation of prisoners from prison culture in order to
undergo a dedicated therapeutic treatment program; and
-
detoxification programs.[233]
2.144
The NIT reported that the most effective treatment programs available in
correctional facilities are based on therapeutic community models. The NIT's
report listed numerous programs available in correctional facilities in each of
the states and territories.[234] It concluded that these programs could be improved by offering enhanced
transitional services, such as pre-release and post-release programs.[235] These transitional programs have been demonstrated to halve the risk of
recidivism for participants.[236]
2.145
The NIT also highlighted evidence that suggested that appropriate access
to psychostimulant and other non-opioid drugs treatment services in
correctional facilities is poor.[237] Indeed, the committee received similar evidence: for example, Rural Health
Tasmania reported that NSW correctional facilities offered and placed
non-opioid dependent inmates (such as methamphetamine users) onto opioid replacement
therapy programs.[238]
2.146
The NIT opined that the design of correctional facility AOD treatment
programs should align with best-practice approaches and be available to all
correction-based populations.[239] The NIT subsequently recommended that '[u]nder the National Drug Strategy
framework, state and territory governments should increase the focus on
evidence-based approaches to treatment in correctional facilities and youth
justice centres'.[240]
2.147
The NIAS noted that AOD programs are delivered in Australia's
correctional facilities, but such programs were not included under the strategy
itself.[241] NIAS funding guidelines for PHNs specifically prevents funds being directed to
AOD treatment programs in correctional facilities.[242]
Committee comment
2.148
Evidence presented to this inquiry indicates a lack of understanding
about illicit drug use in Australia's correctional facilities. The AIHW
prisoners' health report provides an important insight into illicit drug use in
correctional facilities; however, the committee is concerned that some
jurisdictions provide incomplete data to the AIHW. This issue is further
compounded by the likelihood of prisoners not fully disclosing their illicit
drug use.
2.149
Acknowledging that self-reported data under-reports drug use, it is
vital that accurate and comprehensive data is provided to the AIHW by all
states and territories so that governments and AOD treatment service providers have
sufficient information to develop treatment programs for Australia's prisoners.
For this reason, the committee recommends Australian governments, in
partnership with the AIHW, establish nationally consistent datasets and regular
reporting of illicit drug use in Australia's correctional facilities.
Recommendation 6
2.150
The committee recommends Australian governments, in partnership with the
Australian Institute of Health and Welfare, establish nationally consistent
datasets and regular reporting of illicit drug use in Australia's correctional
facilities.
2.151
The lack of appropriate AOD treatment services available in Australia's
correctional facilities is of concern. It is evident that prisoners are more
likely to enter the corrections system with an existing illicit drug problem
and that their drug use may become more problematic whilst detained in a
correctional facility. This is a particular concern for those with
methamphetamine addictions, because evidence suggests the availability and use
of methamphetamine in correctional facilities is common.
2.152
The committee advocates for AOD treatment programs aimed at prisoners
during, prior to and after their release. The committee does not consider it
appropriate that people leave correctional facilities with more problematic
drug use patterns or with a related health issue due their drug use, as a
result of their imprisonment. For these reasons, the committee supports the
NIT's recommendation for state and territory governments to increase the focus
on evidence-based approaches to AOD treatment services in correction facilities
and youth justice centres.
2.153
Although the committee is supportive of AOD treatment programs being
offered in correctional facilities, it is outside the Commonwealth government's
jurisdiction and is ultimately a service that is offered and funded by state
and territory governments.
Pharmacotherapy
2.154
Pharmacotherapy describes treatments where an illicit drug is replaced
with a legally prescribed and dispensed substitute. In Australia, the most
common pharmacotherapy treatment is methadone for people with opioid addiction.[243] According to Harm Reduction Victoria, pharmacotherapy enables the drug user to:
...stabilise their condition,
allowing them to devote more time to managing or repairing their lives. Once
stabilised, clients may find they wish to strive for a drug-free existence by
slowly reducing their dosage – or else they may be satisfied with a maintenance
program.[244]
2.155
Although pharmacotherapy is available for people with opioid addiction,
there is currently no pharmacotherapy substitute for people with
meth/amphetamine addiction, including crystal methamphetamine. This means
treatment options are restricted to behavioural therapies or drug
detoxification programs. The absence of pharmacotherapy treatment may undermine
the effectiveness of treatment for people presenting with the most severe meth/amphetamine
addictions.
2.156
Professor Rebecca McKetin is one of Australia's leading experts in
meth/amphetamine treatment and is currently trialling two new medications for
methamphetamine dependence: lisdexamfetamine and n-acetylcysteine.[245] Professor McKetin advised that the two trials have been funded by the
National Health and Medical Research Council (NHMRC).[246] One trial is using lisdexamfetamine, a long-acting form of amphetamine, in
substitution therapy to minimise:
...the harms associated with illicit use by giving people a
prescription drug, which has a lot less harm associated with it. The drug trial
I am leading is looking at a drug that should reduce people's desire to
continue to use methamphetamine and, hopefully, reduce the severity of the
psychiatric effects that they experience from using the drug.[247]
2.157
Lisdexamfetamine is already available on the market to treat obesity,
narcolepsy and attention deficit hyperactivity disorder (ADHD). The second drug
being trialled by Professor McKetin is n-acetylcysteine, which is currently
used to treat chronic obstructive pulmonary disease and paracetamol overdose.[248]
2.158
Professor McKetin explained the effect of these drugs on a patient, in
the context of their crystal methamphetamine use:
Neither of those drugs perfectly replicate that effect. The
lisdexamfetamine is a long-acting drug. It does not produce the high that
crystal meth gives people but it will, in having some similar actions, reduce
their propensity to need to go out and use the drug. It will stop the cravings,
stop some of the awful effects someone gets when they stop using. It is a
little bit like we have buprenorphine for opioid addiction—it has a different
pharmacological action but similar enough that it stops people needing to go
out and get the illicit drug. The drug that I am using is quite a novel drug.
It has a very different action. It does not have any action that is similar to
methamphetamine whatsoever. What it does is it acts as a buffer in the brain to
bring their brain state back to something that is a little bit more similar to
what it was like before they started using the drug.
When you start using the drug and you take it once, you get
high. But what happens over time is your brain adapts and it learns. It is
those plastic changes in the brain that are targeted by this particular
medication. It actually acts as a buffer against those changes so people do not
get the same cravings they would get when they are addicted to the drug.
Normally they go into withdrawal, start craving, and then go back and use the
drug. When they are on this medication, the cravings that they normally get
going into that withdrawal phase would be less severe and so they are more in
control of their drug use.[249]
2.159
Due to the availability of these two drugs on the market and the
commercial production of these drugs, Professor McKetin opined that the use and
production of these drugs would be a cost-effective solution to treat
amphetamine addiction if shown to be effective.[250] It would also reduce the time required to achieve regulatory approvals.[251] However, if found effective 'it would still be a long way before we would be
able to put something into practice'.[252]
2.160
While pharmacotherapy is an effective treatment option for people with
drug addictions, Professor McKetin advised the committee that there is a role
for both this form of therapy and psychological interventions, and that they
'would go hand in hand'.[253] Professor McKetin explained that:
...you get the best results when you put the two together. With the
pharmacotherapeutic options, not everyone wants to take a drug and they may not
be so severely dependent that it is actually appropriate, and it would also
depend on the type of drug. The lisdexamfetamine is more suited to people who
are very heavily dependent and using every day whereas the drug that I am
trialling might be suitable for someone who is using in a binge pattern because
it does not have any psychoactive effect in and of itself; all it does is help
the person resist the temptation to use. There are different places for
pharmacotherapy for different people, and different types of therapies that
could work along side the psychological interventions.[254]
2.161
Professor McKetin's colleague, Professor Allsop, emphasised her comments
and stated that 'it is not either/or with these treatments' and their use
'depends on individual need'.[255] Further, Professor Allsop asserted that pharmacotherapy treatments should be
equally considered alongside other treatments, and policymakers must not debate
whether one treatment is better than another, but instead focus on what
treatment is most suited to each individual:
It is probably better to conceptualise the psychosocial
interventions. Depending on need, some people may have a range of other
problems that merit intensive counselling support. Other people might not need
that, but certainly might need investment in improving the quality of their
life, their access to employment and the way in which their family works. There
are a lot of people affected by methamphetamine whose relationships have taken
a heck of a battering. Most interventions that are effective tend to combine a
range of counselling, social interventions, housing, employment, recreational
opportunities, family life and the support of families. And, depending on the
individual needs, pharmacotherapies are sometimes part of that. So it is not
about it is this treatment or that treatment. Unfortunately, one of the things
that has happened commonly in the debate in the drug field has been, 'My
treatment is better than yours,' rather than trying to work out what treatment
might work best for what person under what circumstance.[256]