Article, 2024

Clinical and Legal Differences in the Use of Involuntary Electroconvulsive Therapy for Life-Threatening Illness Across European Countries

Journal of Ect, ISSN 1533-4112, 1095-0680, Volume 40, 2, Pages 105-110, 10.1097/yct.0000000000000984

Contributors

Krarup, Mette [1] Kellner, Charles H 0000-0001-9663-3571 [2] Østergaard, Søren Dinesen 0000-0002-8032-6208 [1] [3]

Affiliations

  1. [1] Aarhus University Hospital
  2. [NORA names: Central Denmark Region; Hospital; Denmark; Europe, EU; Nordic; OECD];
  3. [2] Medical University of South Carolina
  4. [NORA names: United States; America, North; OECD];
  5. [3] Aarhus University
  6. [NORA names: AU Aarhus University; University; Denmark; Europe, EU; Nordic; OECD]

Abstract

OBJECTIVES: Electroconvulsive therapy (ECT) can be life-saving in situations where patients are at risk of dying from severe manifestations of psychiatric illness. In some of these cases, patients are unwilling/unable to consent to ECT, and involuntary ECT is required. Such use of involuntary ECT varies substantially across European countries for unclear reasons. The aim of this study was to examine clinical and legal differences in this use of involuntary ECT across European countries. METHODS: A questionnaire based on a case vignette (a 55-year-old female inpatient with psychotic depression at imminent risk of dying from metabolic derangement because of refusal to eat and drink) was sent to an ECT practitioner in each of 31 European countries. RESULTS: We received responses from ECT practitioners in 18 countries. In 7 of these countries, involuntary ECT could be carried out without approval from others and/or involvement of the court system in the case described in the vignette. Practitioners in the remaining 11 countries responded that they either could not carry out involuntary ECT or would have to meet certain requirements before initiating involuntary ECT (e.g., approval from medical/ethics committee and second opinion from an independent psychiatrist). Notably, the rules regarding involuntary ECT differed for adults and minors (more restrictive for the latter) in 6 of the 18 countries. CONCLUSIONS: In many European countries, legislation precludes or delays the use of involuntary ECT. Harmonization of the legislation on involuntary ECT across European countries to allow for better access to this potentially life-saving treatment seems warranted.

Keywords

ECT practitioners, European, European countries, adults, approval, case vignettes, cases, countries, court, court system, differences, electroconvulsive therapy, harmonics, illness, involuntary electroconvulsive therapy, involvement, legal differences, legislation, life-saving, life-saving treatment, life-threatening illness, manifestations of psychiatric illness, minority, patients, practitioners, psychiatric illness, questionnaire, reasons, requirements, response, risk, rules, severe manifestations, situation, study, system, therapy, treatment, use, vignettes

Funders

  • Lundbeck Foundation
  • Danish Cancer Society
  • Novo Nordisk Foundation

Data Provider: Digital Science