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Current Issues in Correctional Psychiatry

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Current Issues in Correctional Psychiatry or (if you want to be cynical) so what else is new? Jeffrey L. Metzner, M.D. Clinical Professor of Psychiatry – PowerPoint PPT presentation

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Title: Current Issues in Correctional Psychiatry


1
Current Issues in Correctional Psychiatry
  • or (if you want to be cynical) so what else is
    new?
  • Jeffrey L. Metzner, M.D.
  • Clinical Professor of Psychiatry
  • University of Colorado School of Medicine

2
A new textbook
3
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4
Patients in State and County Hospitals
  • 1979 140,355 63/100,000
  • 1997 54,015 20/100,000
  • Transinstitualization/criminalization
    hypothesis
  • RW Manderscheid and MJ Henderson, eds. Mental
    Health United States 1998 and Mental health
    United States 2000. DHHS Pub. (SMA) 99-3285,
    Washington, DC US Government Printing Office,
    1990 and 2001.
  • Erickson, Rosenheck, Trestman, Ford, Desai.
    Risk of Incarceration between Cohorts of Veterans
    with and without Mental illness Discharged from
    Inpatient Units. Psychiatric Services
    59,178-183, Feb. 2008.

5
Prisons (2013)
  • California (135,981), Texas (168,280), and the
    Federal system (201,697) together have 37 of all
    the prisoners in the nation.
  • The 21 smallest jurisdictions accounted for 7.8
    of the total population under jurisdiction at
    midyear 2006.

6
Prevalence rates of mental disorders
  • Studies and clinical experience have consistently
    indicated that 8-19 of prison inmates have
    psychiatric disorders that result in significant
    functional impairments.
  • Another 15-25 of inmates will require some form
    of psychiatric intervention during their
    incarceration.

7
Right to treatment
8
Landmark cases
  • Cooper v. Pate 278 U.S. 546 (1964)
  • Estelle v. Gamble 429 U.S. 97 (1976)
  • Bowring v. Godwin 551 F.2d 44 (4th Cir. 1977)
  • Bell v. Wolfish 441 U.S. 520 (1979)
  • Ruiz v. Estelle 503 F. Supp. 1265 (S.D. Tex.
    1980)
  • Miller v. French (2000) (Prison litigation reform
    act)
  • Coleman v Brown Plata v. Brown (131 S. Ct.
    1910, 1923 (2011)

9
Three essential elements required to establish a
constitutionally adequate correctional mental
health system are as follows
  • Adequate physical resources regarding treatment
    program space and supplies
  • Adequate human resources concerning numbers of
    properly trained and/or experienced mental
    health staff who will identify and/or provide
    treatment to inmates with serious mental
    illnesses and

10
  • Adequate access for inmates to the physical and
    human resources within a reasonable period of
    time (Cohen 1993).
  • Cohen F Captives legal right to mental health
    care. Law and Psychology Review. 1993 171-39.

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17
Standards and/or guidelines for correctional
health care programs
  • American Psychiatric Association
  • American Public Health Association
  • National Institute of Corrections,
  • National Commission on Correctional Health Care
  • American Nurses Association
  • Association of Correctional Psychologists

18
Current issues in correctional psychiatry
  • Mental health issues relevant to lockdown units
    (e.g., segregation, disciplinary, supermax,
    etc.).
  • Mental health input into the disciplinary
    process.

19
  • Discharge plans for inmates with serious mental
    illness.
  • Special Needs of Female Inmates
  • Research ethics (see IOM report-http//books.nap.e
    du/catalog/11692.html)
  • Substance Abuse Treatment

20
Segregation Housing Issues
21
Mentally ill prisoners in segregation
  • Security housing unit (SHU) (Supermax)
  • Administrative segregation
  • Disciplinary (punitive) segregation
  • Pre-hearing detention
  • Protective custody
  • Other?

22
Types of segregation
  • Disciplinary segregation, which is based upon
    what the inmate did, is typically ordered as
    punishment for an institutional infraction, and
    is often of relatively short duration.
  • Administrative segregation is typically imposed
    based upon what the inmate will do. That is,
    administrative segregation is prospective in
    nature, and designed to protect other inmates
    from a danger believed to be posed by the inmate.

23
  • It is often administrative segregation, a
    classification status, which has now commonly led
    to the imposition of long-term segregation.

24
  • The use of supermax confinement is overutilized
    within correctional facilities in the United
    States. The use of this type of program, because
    of its extreme limitations on liberty and its
    potential for harm, should be reserved for cases
    in which there is no less restrictive way to
    remedy an unsafe situation.

25
The major problems relevant to the mentally ill
in segregation involve issues related to the
following
  • Definition of mental illness
  • Duration of confinement in segregation
  • Conditions of confinement
  • Clinical assessment of the above 3 factors

26
American Psychiatric Position Statement
  • Prolonged segregation of adult inmates with
    serious mental illness, with rare exceptions,
    should be avoided due to the potential for harm
    to such inmates. If an inmate with serious mental
    illness is placed in segregation, out-of-cell
    structured therapeutic activities (i.e., mental
    health/ psychiatric treatment) in appropriate
    programming space and adequate unstructured
    out-of-cell time should be permitted.
    Correctional mental health authorities should
    work closely with administrative custody staff to
    maximize access to clinically indicated
    programming and recreation for these individuals.

27
Segregation Housing
  • More than half of prison suicides occur in
    segregation units

Federal Bureau of Prisons Study (1983-1997)
28
Segregation Housing (cont.)
  • Yet segregation accounts for less than 10 of
    prison beds

29
Zubek, Bayer, and Shephard
  • conceptualize segregation units to have three
    main characteristics
  • social isolation,
  • sensory deprivation, and
  • confinement.
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