A N A L Y S I S C O M M E N T A R Y Legal Fallacies of Antipsychotic Drugs
Steven K. Erickson, JD, LLM, PhD, J. Richard Ciccone, MD,Steven B. Schwarzkopf, MD, J. Steven Lamberti, MD, and Michael J. Vitacco, PhD
Advances in the biological sciences have dramatically improved the understanding of schizophrenia and relatedpsychotic illnesses. One of the most compelling findings is the substantial degree to which cognition is impaired inthese illnesses and the remedial effects that antipsychotic drugs have in treating these cognitive impairments. Despite these promising discoveries, legal cases and scholarship remain replete with pejorative associations withantipsychotic drug action. References to antipsychotic medications as mind-altering drugs and their effects as"synthetic sanity" misconstrue the beneficial effects these medicines have on cognition. We review the prevailinglegal attitude of antipsychotic medications and contrast these views with prevailing scientific knowledge. Weconclude that legal opinion is misinformed about the effects of antipsychotic medications on cognition. J Am Acad Psychiatry Law 35:235- 46, 2007
One of the persisting quagmires in modern psychia-
sis,14,15 while consistent treatment with anti-
try and law has been the disparity between current
psychotic medications is associated with improved
scientific knowledge regarding mental illnesses and
long-term outcomes.16-18 Consequences of treat-
legal scholarship, court decisions, and public policy
ment nonadherence include a fourfold increase in the
regarding these illnesses. Within the past two decades
risk of suicide,19 a near fourfold increase in relapse,20
in particular, the surge of scientific information re-
and an increased risk of violent behavior.20 In addi-
garding the pathogenesis of schizophrenia and re-
tion, nonadherence is associated with increased rates
lated illnesses-aided by multiple neuroimaging
of hospitalization, use of emergency psychiatric ser-
techniques1; genetic studies2,3; and neurodevelop-
vices, arrests, violence, victimizations, poorer mental
mental,4 amino-acid, and oxidative-stress models5 of
functioning, poorer life satisfaction, greater sub-
psychiatric illness- has greatly expanded the knowl-
stance use, and more alcohol-related problems.21,22
edge base and confidence within psychiatry as to the
The rate of treatment nonadherence among patients
nature of these illnesses.6 Among the most promi-
with psychotic disorders varies widely, but a recent
nent of these advances has been an appreciation of
meta-analysis places the rate at about one-quarter of
the importance of negative symptoms,7,8 impaired
cognition,9-11 and the therapeutic qualities of anti-
Schizophrenia is unquestionably a disease of the
psychotic medications beyond treating the overt,
brain. A plethora of neuropathological studies have
demonstrated that it is associated with substantial
These developments build on the growing under-
anatomical and functional abnormalities in the
standing that untreated psychosis engenders exten-
brain.24-28 These include volumetric loss of gray
sive detrimental consequences related to progno-
matter in the frontal lobes,29,30 enlarged lateral ven-tricles,31,32 and atrophic temporal and prefrontal
Dr. Erickson is a MIRECC Fellow, Yale University/VA Healthcare
lobes.33 While the absence of gliosis in these illnesses
Network, West Haven, CT; Dr. Ciccone is Director, Psychiatry and
places them outside the domain of traditional neuro-
Law Program, and Professor, Department of Psychiatry, University ofRochester Medical Center, Rochester, NY; Dr. Schwarzkopf is Clini-
degenerative disorders, evidence of neuronal atrophy
cal Associate Professor, Department of Psychiatry, University of Roch-
and apoptosis,34,35 decreased neuropil,36 abnormal
ester Medical Center, Rochester, NY; Dr. Lamberti is Director, Long-Term Care Program, University of Rochester Medical Center, and
neuronal density,37,38 and progressive structural brain
Associate Professor of Psychiatry, Department of Psychiatry, Univer-
changes39,40 suggests a progressive neurodevelopmen-
sity of Rochester Medical Center, Rochester, NY; and Dr. Vitacco is
tal disorder with plausible atypical neurodegenerative
Associate Director of Research, Mendota Mental Health Institute,Madison, WI. Address correspondence to: Steven K. Erickson, JD,
LLM, PhD, Yale University/VA Healthcare Center, 950 Campbell
Despite these compelling findings, the law re-
Avenue, Bldg. 36, West Haven, CT 06516. E-mail: steven.erickson@yale.edu
mains replete with negative associations between
Volume 35, Number 2, 2007 Legal Fallacies of Antipsychotic Drugs
psychotic illnesses and effective treatments, espe-
incorporated into American criminal law as a consti-
cially antipsychotic medications. The case of Sell v.
tutional right. As such, it is unsurprising that com-
United States42 neglected any meaningful discussion
petency evaluations remain one of the most common
regarding the propensity of antipsychotic medica-
areas of forensic psychiatry practice.45 Its corner-
tions to improve cognitive abilities in persons with
stone in both forensic practice and criminal law re-
schizophrenia and related psychotic disorders and
flects the strong penchant in American jurisprudence
the detriment that patients incur when allowed to
toward individual culpability and moral blame-
forgo proper psychiatric treatment. The Sell decision
continues an enduring skepticism by the courts and
Criminal defendants can be found incompetent to
legal scholars toward psychiatric treatment, which is
stand trial for a variety of reasons, including stable
evident by its continued reference to antipsychotic
characteristics such as low intelligence levels. How-
medications as "mind-altering drugs"43 that produce
ever, most competency deficits result from severe
"synthetic sanity,"44 denoting a misconstrued appreci-
mental disorders, usually psychotic illnesses, that are
ation for the pathogenesis of psychotic illnesses, the
fluid in nature and amenable to treatment.47 The
meaning of recovery from a biomedical perspective, and
long-recognized principal method for treating psy-
the benefits of pharmacological agents used in the treat-
chotic illnesses is pharmacotherapy with antipsy-
chotic medications.48,49 Unfortunately, as many cli-
In this review, the legal approach toward antipsy-
nicians, researchers, and family members of those
chotic medications will be explored by focusing on
afflicted with these devastating illnesses have known
case law and legal scholarship surrounding involun-
for decades, psychosis frequently entails a loss of in-
tary administration of antipsychotic medications to
sight and deluded thinking that leaves the afflicted
incompetent defendants, prison inmates, and civilly
person unable to understand the benefits of treat-
committed patients. Current scientific understand-
ment.50 Although antipsychotic medications are ef-
ing regarding psychotic illnesses, particularly cogni-
fective in restoring rationality in persons with psy-
tion, and the capacity of antipsychotic medications
chosis, denial of illness and paranoia often necessitate
to improve cognitive abilities will be examined. Fur-
involuntary treatment. Such treatment, unsurpris-
thermore, the hazards of untreated psychosis will be
ingly, is often necessary for competency restoration,
discussed, particularly in light of the emerging neu-
and pharmacotherapy is the chief method of
ropsychiatric literature on the phenomenon of dura-
tion of untreated psychosis (DUP) and neurotoxicity
Perhaps the quintessential case that provides in-
through glutamate dysregulation in psychotic ill-
sight into the court's concerns regarding involuntary
nesses. Finally, a call for a more informed public
administration of antipsychotic medications for res-
policy and legal perspective on severe mental illnesses
toration of competency is Riggins v. Nevada, decided
will be discussed, focusing on diminishing the con-
in 1992.52 Riggins was convicted of murder and sen-
tinued stigma associated with these illnesses that cur-
tenced to death. Upon appeal, he claimed that the
rent legal authority, represented by cases such as Sell,
denial of his motion during trial to suspend admin-
inadvertently perpetuate by their continued depre-
istration of thioridazine infringed on his constitu-
ciatory position toward effective treatments.
tional right to privacy and presentation of his pre-sumably psychotic demeanor during his insanity
Seminal Legal Cases
defense. Justice O'Connor, writing for the majority,held that the forcible administration of antipsychotic
Competency to Stand Trial
medication violated Riggins' Sixth and Fourteenth
A fundamental concept of American criminal law
Amendment rights. The Court held that testimony
is that defendants cannot be tried for any crime un-
by defense experts regarding the alleged disabling ef-
less they have a factual and rational understanding of
fects of thioridazine on Riggins' ability to interact
the charges against them, a rudimentary knowledge
with counsel, produce testimony, or comprehend the
of the criminal proceedings, and the ability to assist
trial proceedings was pervasive and that Riggins
their attorneys in their defense. Known as compe-
should have enjoyed the right to forgo treatment,
tence to stand trial, this doctrine evolved from 17th-
allowing the jurors "to assess Riggins' demeanor
century English jurisprudence and has been firmly
fairly" (Ref. 52, pp 137- 8). The strong presumption
The Journal of the American Academy of Psychiatry and the Law Erickson, Ciccone, Schwarzkopf, et al.
that antipsychotic medications interfere with the de-
tency; and (6) the medication must be medically
fendants' ability to communicate with their attor-
neys and present their "true" demeanor is a themepassionately endorsed by many legal scholars.53-55
Prison Inmates With Psychotic Disorders
Eleven years later, in Singleton v. Norris,44 the
In 1990, the United States Supreme Court held in
Eighth Circuit considered whether a death row in-
Washington v. Harper,43 that inmates with severe
mate could be restored to competency involuntarily
mental illnesses, who are deemed to be dangerous to
after adjudication, to face the death sentence. A
themselves or others, can be forcibly medicated with-
sharply divided court held that such practice was
out the need for a full judicial hearing. The inmate,
constitutionally permissible. Judge Heaney, writing
Walter Harper, was convicted of robbery and incar-
for the dissent in a revealing opinion regarding the
cerated in state prison from 1976 to 1980, housed
legal perception of antipsychotic medications, called
mainly in the prison's mental health unit. He was
Singleton's restored competency "artificial" and that
subsequently released on parole on the condition
"drug-induced sanity is not the same as true sanity."
that he receive mental health treatment in the com-munity. After assaulting two nurses, Harper's parole
The dissent also cited as authoritative several legal
was revoked, and he was returned to prison, where he
scholars who claimed that "despite their beneficial
initially voluntarily received antipsychotic medica-
effects, antipsychotic drugs merely mask the debili-
tions, but later refused treatment. The state, relying
tating symptoms of major mental disorders" and pro-
on the Supreme Court's prior holding in Vitek v.
vide only "synthetic sanity" (Ref. 44, p 1034; empha-
Jones,56 held an administrative hearing, finding
Harper in need of treatment and ordered that he be
Again in 2003, the courts ruled on involuntary
involuntarily medicated. Harper filed a civil suit, al-
administration of antipsychotic medications and
leging that the state's practice violated his federal
competency in the decisive case, mentioned earlier,
constitutional rights of due process, equal protec-
of Sell v. United States.42 In Sell, the United States
Supreme Court considerably limited the practice of
Justice Stevens, writing the dissenting opinion,
involuntary restoration by citing its concerns that
held that the administration of antipsychotic drugs
antipsychotic medications can infringe on a defen-
was akin to electroconvulsive therapy or psychosur-
dant's constitutional rights under the Sixth and
gery and unfortunately introduced into the Court's
Fourteenth Amendments. Justice Breyer, writing for
lexicon the term "mind-altering drugs" as synony-
the majority and citing the American Psychological
mous with antipsychotic medications (Ref. 43, pp
Association's amicus curie brief claiming that psycho-
240 -1). In citing the Supreme Court of Massachu-
sis can resolve without pharmacologic interventions,
setts case In re Guardianship of Roe,57 Justice Stevens
held that the sedation accompanying administration
noted as pervasive that court's conclusion that anti-
of antipsychotic medications can "interfere" with de-
psychotic drugs have a "well-established likelihood of
fendants' communication with their attorneys, pre-
severe and irreversible adverse effects" (Ref. 43, p
vent them from "rapidly reacting" to trial develop-
241; internal quotations omitted). Justice Stevens
ments, and diminish the expression of emotions
(Ref. 42, pp 185- 6). Consequently, the Court held,
The State might seek to compel Harper to submit to a mind-
involuntary administration of antipsychotic medica-
altering drug treatment program as punishment for the crime he
tions for purposes of restoration may only occur in
committed in 1976, as a "cure" for his mental illness, or as a
limited circumstances. The requirements being that:
mechanism to maintain order in the prison. The Court [major-ity opinion] today recognizes Harper's liberty interest only as
(1) the administration of psychotropics must be for
against the first justification [Ref. 43, p 241; emphasis added].
an important governmental interest; (2) they mustdirectly further that interest; (3) it must be "substan-
Cases of Treatment Over Objection
tially likely" that administration of psychotropics
Similar to cases of competency to stand trial and
will restore competency; (4) the psychotropics must
penological interest, involuntary administration of
be "unlikely" to interfere with the ability of a defen-
antipsychotic medications have been addressed by
dant to communicate with his/her attorney; (5) less
the courts in a variety of other contexts, most prom-
intrusive measures are unlikely to restore compe-
inently in cases of civil treatment over objection. The
Volume 35, Number 2, 2007 Legal Fallacies of Antipsychotic Drugs
courts have acknowledged in these circumstances as
limited areas of functioning, leaving other areas un-
well the compelling state interests of involuntary
impaired" (Ref. 58, p 210; citing Ref. 59, p 342), the
pharmacotherapy and the individual liberty interests
court showed a deep misunderstanding of the perva-
of the afflicted patient. Analogous to the court's per-
siveness of psychotic symptoms and impaired judg-
ception of antipsychotic drugs in competency cases
ment that often accompany acute exacerbations of
and prison inmate cases, however, cases of civil treat-
ment over objection provide further illumination as
The safeguarding of individual liberties is an im-
to the mindset of the judiciary and legal community
portant function of the courts. Indeed, antipsychotic
that these treatments invariably exert harmful effects
medications are associated with numerous side ef-
on cognition, and hence, infringe on constitutional
fects, including tardive dyskinesia, neuroleptic ma-
lignant syndrome, dyslipidemia, and metabolic
The decisive case of Riese v. Mary's Hosp. & Med.
syndrome.60,61 Tolerability is a major factor in pa-
Ctr.,58 is emblematic of most cases of civil treatment
tient dissatisfaction with these agents,62 and the
over objection. Ms. Riese had a history of chronic
global blockade of dopamine inherent in these drugs
schizophrenia since her early 20s, but was success-
reduces hedonic pleasure and motivation.63,64 In-
fully treated with thioridazine, allowing her to avoid
deed, there is much room for improvement in the
hospitalization for over 10 years. After she began to
pharmacological armamentarium of treatments for
have bladder problems, her doctors switched her to
psychotic illnesses. But the implication that such
molindone, which was ineffective. In 1985, Ms.
medicines are mind controlling and have the propen-
Riese was voluntarily admitted for exacerbation of
sity to sabotage intentionality of free thinking shows
her psychotic symptoms and was eventually treated
a fundamental misunderstanding of the effects that
again with thioridazine. After Ms. Riese became ag-
these life-saving medications have in millions of peo-
itated and refused further medication, she was con-
ple. More crucially, the notion that antipsychotic
verted to involuntary status, given intramuscular in-
drugs impair cognition in persons with psychosis is in
jections, and required further hospitalization for her
direct opposition to the wealth of scientific studies
active psychotic symptoms. Ms. Riese sued, contend-
that have demonstrated just the opposite-that these
ing that California law provided her with a right to
refuse antipsychotic medication on the grounds ofprivacy and free speech. Neurocognition in Schizophrenia
Justice Kline, writing for the majority, held that
Perhaps the greatest scientific achievement in the
absent a judicial determination of incompetency, in-
realm of schizophrenia and related illnesses within
formed consent was required before treatment with
the past 15 years has been the appreciation and in-
antipsychotic medications was permissible. Citing
tensive study of comorbid cognitive impairments
that these medications were "by intention mind al-
that usually accompany these chronic illnesses. Con-
tering" and "possess a remarkable potential for un-
clusive evidence has demonstrated that the severity of
dermining individual will and self-direction" and
cognitive deficits is strongly linked with long-term
may result in "sudden death" (Ref. 58, p 203), the
prognosis and overall functioning.65 Consequently,
court held that psychiatric hospitalization for psy-
vigorous research has focused on identifying aspects
chosis alone did not presume incompetency, and
of these impairments and exploring effective treat-
thus, the hospital had violated Ms. Riese's constitu-
ments.66 A variety of impairments have been identi-
tional rights. In a footnote, the court also held that:
fied, with the most salient aspects being visual pro-
The cited cases protect against intrusions into the mind by
cessing, sustained attention, memory, executive
means of lie detector tests or therapists' disclosures. While the
functioning, and general intelligence.
present case does not involve such forced revelations of thecontent of the mind, the changing of thoughts contested here is
Visual Processing no less intrusive [Ref. 58, p 208, fn 11; internal citations omitted,
One of the first cognitive deficits to be identified
in schizophrenia was the inability of those afflicted to
The court also found New York's similar determina-
discriminate between multiple visual cues.67 Visual
tion persuasive. Referencing to the watershed case,
processing is a cognitive process that allows interpre-
Rivers v. Katz,59 that mental illness "often strikes only
tation of a vast array of visual stimuli. This vital cog-
The Journal of the American Academy of Psychiatry and the Law Erickson, Ciccone, Schwarzkopf, et al.
nitive ability was first observed by the 17th century
185- 6) in the courtroom necessarily implies intact
philosopher Sir William Hamilton. Recent research
attention on the part of the defendant, and thus, its
has shown that persons with schizophrenia have par-
impairment is significant for mentally ill defendants.
ticular deficits with backward masking, which pre-vents them from interpreting the first stimulus (icon)
Memory
Impairment in the ability to learn and recall infor-
Although the exact mechanism behind impair-
mation from past events is a hallmark feature
ment of backward masking remains unknown, it is
of schizophrenia.74,75 While an exhaustive review of
believed to involve a disruption of the magnocellular
the memory deficits involved in schizophrenia is be-
and parvocellular pathways that leads to either dis-
yond the scope of this article, the putative impair-
ruption of the icon or overemphasis of the mask.69
ments observed generally include deficits in explicit
The importance of visual processing deficits in
and working memory. Explicit memory includes
schizophrenia is that they impair a person's ability to
tasks that rely on conscious recollection of specific,
scan the environment quickly, create an internal rep-
previous events that can be articulated. Numerous
resentation of the environment, and extract relevant
studies have shown that persons with schizophrenia
information. Thus, inherent in this deficit is the dif-
have impairments in domains of explicit memory,
ficulty in making transitory perceptual judgments
including verbal recall76,77 and, to a lesser extent,
when presented with multiple visual cues in the
In addition, working memory deficits have been
observed in medicated and medication-nai¨ve persons
Sustained Attention
with schizophrenia.79 Working memory is the pro-
Attention is an invaluable process of cognitive
cess of actively holding information in consciousness
functioning. In schizophrenia, impaired attention
and manipulating it in service of guiding behavior.
has been observed for many decades by researchers
Working memory deficits usually persist throughout
and has been a focal point of many neuropsycholog-
the course of schizophrenia80; however, findings in
ical studies.69 From a neurocognitive perspective, at-
several studies suggest that some atypical antipsy-
tention contains several subcomponents, many of
chotic medications may be associated with improve-
which are impaired in schizophrenia.70 Sustained at-
tention is a process that allows a person to identify
The importance of memory cannot be overstated.
and select a target (signal) among extraneous targets
Memory is believed to be crucial in learning84 and its
(noise). When the task is completed over time, this
value in everyday functioning is intuitive. The ability
facet of attention is referred to as vigilance.
to form new memories and recall past events is
While vigilance decrement (i.e., the loss of vigi-
strongly related to a person's overall ability to form a
lance during execution of a task) does not appear
coherent, functional understanding of the environ-
severely impaired in schizophrenia,71 deficits in vig-
ment. Memory impairment has also been associated
ilance levels (i.e., the overall vigilance given to the
with those at high risk of psychotic illnesses.85 In
task at hand), latent inhibition, and selective atten-
addition, results of several studies suggest that schizo-
tion are prevalent.72 Selective attention is the ability
phrenia is associated with other impairments of
to pay attention to one source of sensory input while
memory, including semantic86 and visual memory,87
disregarding others. Latent inhibition is the ability to
as well as prominent encoding deficits88 that further
adapt to changing rules that give emphasis to a stim-
disrupt the capacity of persons with schizophrenia to
ulus. In schizophrenia, deficits in selective attention
adduce logically the stimuli in their environment.
and latent inhibition have been well documented.73
Both impairments have obvious relevance to per-
Executive Functioning
sons with schizophrenia involved in legal proceed-
Executive functioning is a fundamental attribute
ings, since attention can be defined as a cognitive
of higher cognitive functioning in primates.89 This
process necessary for complex situations that require
concept refers to a host of neurocognitive activities
a person to discriminate among multiple sensory in-
that are involved in planning, problem solving, and
puts. As discussed in Sell, the ability of defendants to
alternating between tasks. It appears to be more dis-
"rapidly react" to changing situations (Ref. 42, pp
turbed than other neurocognitive deficits in schizo-
Volume 35, Number 2, 2007 Legal Fallacies of Antipsychotic Drugs
phrenia and most likely involves decreased activity in
challenged this theory and suggest that psychotic ill-
the prefrontal cortex.90 Executive functioning may
nesses such as schizophrenia involve progressive
be related to working memory,91 and the failure of
changes in brain structure and function that signal an
additional studies to find an association between
these two aspects of cognition probably is represen-tative of the heterogeneity of schizophrenia. Role of Glutamate
Impairment in executive functioning has been asso-
Glutamate is an excitatory amino acid implicated
ciated with negative symptoms, including avolition and
in the pathology of psychotic illnesses. Its role has
alogia,92 and may be associated with poor insight,93
been discerned from animal models of exposure
occupational competence,94 and independent living,95
to phencyclidine (PCP) and involves activity of N-
although methodical problems limit these last two find-
methyl-D-aspartate (NMDA) receptors.105 NMDA
ings.69 Surely, impairments in executive functioning
receptors play a crucial role in memory, learning,
have direct relevance to persons with mental illness who
synaptic development and neuroplasticity, sensory
are involved in legal proceedings. The ability to assist
information, and coordinated movements.106 It is
counsel competently, weigh the risks and benefits of
theorized that glutamatergic dysregulation occurs via
plea-bargaining conditions, and appreciate the poten-
secondary pathways, in which inhibition of NMDA
tial long-term repercussions of court orders necessarily
receptors leads to disinhibition of cortical excitatory
involves abilities related to planning and abstract
cholinergic neurons by way of decreased stimulation
of inhibitory ␥-aminobutyric acid (GABA) neurons,which leads to autoexcitotoxicity of glutamate.107
General Intelligence
Within this context, glutamate neurotoxicity leads to
Schizophrenia is associated with low intelligence
dopamine hyperactivity, which produces pathogenic
quotients (IQ), even when family and environmental
factors are controlled for,96 and low IQ appears dur-
While histopathological studies have consistently
ing childhood before the development of symptoms
failed to demonstrate large-scale neuronal loss in
of schizophrenia.97 Whether intelligence in schizo-
schizophrenia similar to that in other neurodegenera-
phrenia is a mediating factor that is independent of
tive disorders,108 some have postulated that the re-
the illness or a marker of the genetic predisposition
duced cancer rates in people with schizophrenia109
remains unclear, yet poor performance on neuropsy-
are related to the accelerated apoptosis observed
chological measures of intellectual abilities appears
through abnormal expression of cortical Bcl-2 pro-
independent of general intelligence.98 Nonetheless,
teins in both treated and drug-nai¨ve patients with
there is evidence of an association between low intel-
schizophrenia.110,111 Significant neuronal reduc-
ligence and risk of schizophrenia.99 Low intelligence
tions have been noted in the thalamus, nucleus ac-
and schizophrenia are associated with earlier onset of
cumbens,112,113 and GABAergic interneurons in lay-
illness and worse prognosis.100,101 The prevalence of
ers II, III, V, and VI of the anterior cingulate of
low intelligence in schizophrenia is estimated at
postmortem brains,114 and neuronal atrophy appears
likely in schizophrenia.115 Agents that indirectly en-hance NMDA receptor function via the glycine
Duration of Untreated Psychosis
modulatory site have shown promise in treating neg-
and Neurotoxicity
ative symptoms and the impaired cognition observed
The idea that active psychosis is fundamentally
in schizophrenia.116,117 These findings suggest some
related to a neurotoxic process dates back to the early
neurodegenerative process occurs in schizophrenia.
days of psychiatry. Emil Kraepelin is well-known forconceptualizing psychosis as an illness of invariable
Duration of Untreated Psychosis
deterioration, presumably resulting from neuronal
Within the past two decades, increased attention
death.103 The neurodevelopmental hypothesis, how-
has been given to the duration of untreated psychosis
ever, has been the dominant paradigm for the past
(DUP) and its association with treatment response
several decades. It posits that schizophrenia is borne
and functional outcome. Studies have examined the
through early developmental insults that manifest in
onset and duration of symptoms until the point of
later life as the disease.104 Recent discoveries have
first treatment. Notably, this period appears quite
The Journal of the American Academy of Psychiatry and the Law Erickson, Ciccone, Schwarzkopf, et al.
long118,119 and has spurred intense interest in early
psychotic agents because of the erroneous belief that
detection and treatment programs.120 Although it
these medications exert some form of mind control
remains unsettled whether DUP is pathogenic or is
or altered state of consciousness. On the contrary,
simply a marker of more malignant forms of psycho-
antipsychotic medications have the propensity to im-
sis,119 when viewed within the emerging theory of
prove cognition in many areas directly relevant to
glutamate dysregulation and possible toxicity of un-
competence, whether it is competence to stand trial
treated psychosis to the brain, DUP represents a pos-
or competence to make informed decisions regarding
sible reemergence of the neurodegenerative theory of
medical treatment. Indeed, antipsychotic medica-
schizophrenia39,121,122-although some disagree
tions restore cognitive capacities that are often se-
with this assessment in favor of a disconnectivity hy-
verely impaired by psychosis-a disease of the brain.
pothesis.123 Nonetheless, a recent meta-analysisconfirmed that DUP is associated with a host of neg-
Older Agents
ative outcomes,14 while another recent study demon-
For many years, it was presumed that the older,
strated long-term DUP associations with poorer global
first-generation antipsychotic drugs had no effect or
functioning and increased positive symptoms.124
even a deleterious effect on cognition. Recent studies
Duration of untreated psychosis has been associated
have disproven this conclusion. Many of the early
with a lack of acute treatment response,125,126
studies examining these agents had methodological
poor premorbid functioning,127,128 increased posi-
problems ranging from being underpowered to ad-
tive129,130 and negative symptoms,129,131poorer out-
ministration of excessively high dosages of the
come,132 and increased cognitive deficits.133,134 Others
drugs.141,142 Indeed, the permissive use of haloperi-
have found no relationship between DUP and some of
dol as a comparator agent, with its high extrapyrami-
these variables.135,136 Nonetheless, there is a growing
dal side effects was a primary reason for the use of
consensus that DUP is an important prognostic factor
perphenazine in the recent NIH Clinical Antipsy-
in psychotic illnesses. Whether the deficits associated
chotic Trials of Intervention Effectiveness (CATIE).143
with DUP can be fully restored with proper treatment
Studies have shown that first-generation antipsy-
remains unknown; however, the long-term course and
chotic medications are associated with improvement
prognosis for those with long DUP appears poor.137
across a wide-range of cognitive domains, includingexecutive functioning, sustained attention, memory,
Improvement of Cognition by
language function, time perception, and ocular mo-
Antipsychotic Medications
tor function.142 Low-dose haloperidol has shown a
An abundance of studies have clearly demon-
more rapid onset and equal overall efficacy of cogni-
strated that consistent treatment with antipsychotic
tive improvement than the newer agent, risperidone,
medications improves cognition in patients with
across measures of executive functioning, memory,
schizophrenia and related psychotic disorders. How-
sustained attention, and visual processing.144 These
ever, the notion of psychotropic drugs as mind-alter-
results remain consistent, even accounting for con-
ing by legal scholars and the courts is in no way a
comitant use of anticholinergic medications.
reference to their beneficial effects. They are viewedas "chemical straightjackets" impinging on free
Newer Agents
thought and the exercise of individual judgment.138
The 1990s saw a rapid transition of treatments for
The expansion of privacy rights rooted in the funda-
psychotic disorders, most notably the wide-spread
mental autonomy recognized by the courts since the
use of newer, second-generation antipsychotic drugs.
1960s is the touchstone of the right to refuse un-
While older agents exerted their effects primarily on
wanted medical treatments.139 Yet, it is well recog-
the D receptor, newer agents exponentially ex-
nized that significant governmental interests, includ-
panded the number and type of receptors engaged in
ing personal safety, competence to stand trial, and
treatment. A wealth of data has been generated ex-
the established right of the state to care for incompe-
amining the effects of these second-generation drugs
tent citizens under its parens patria powers can over-
and their effects on cognition. The abundance of
data strongly suggests that second-generation anti-
Nonetheless, as demonstrated in this article, the
psychotic medications significantly improve a host of
courts are wary of involuntary treatment with anti-
cognitive functions. These improvements include
Volume 35, Number 2, 2007 Legal Fallacies of Antipsychotic Drugs
performance on measures of verbal fluency,145-148
Conclusions
executive functioning,145,149,150 vigilance,148,151,152
Antipsychotic medications are not mind-altering
sustained attention,145,153,154 memory,83,155,156
drugs as construed by legal scholars and the courts.
and numerous other cognitive processes.157-159
Rather, they are beneficial treatments that uncontro-
Moreover, the effects are sustained over time and
vertibly improve cognition among patients with psy-
are independent of positive symptom severity.
chotic disorders, including schizophrenia. Whether
Investigational drugs that directly target NMDA are
the task involves making competent and informed
in development160 with the NMDA receptor coago-
treatment decisions, assisting defense counsel during
nists glycine, D-serine, and D-cycloserine already
trial, or enduring the hardships of prolonged incar-
showing promise for adjunctive remediation of the
ceration, these medicines enhance a person's ability
cognitive deficits seen in schizophrenia.116,161 In ad-
to make rational decisions. There is evidence that
dition, reversible inhibitors of the enzyme acetyl cho-
antipsychotic medications may prevent further clin-
linesterase have also been shown to improve these
ical deterioration due to potentially permanent oxi-
dative-stress processes occurring in the brains ofthose affected with psychotic disorders.163,164 Thetime is ripe and the evidence overwhelming that the
Antipsychotic Medications and Persons
deprecatory attitudes toward these life-saving medi-
Involved in Legal Proceedings
cines are unwarranted and contradictory to the aims
As demonstrated, patients with schizophrenia and
of beneficence, autonomy, dignity, and justice that
related psychotic illnesses often have substantial def-
medical ethics and the law passionately seek. The
icits in a host of cognitive abilities. Antipsychotic
onus is on the courts to make informed decisions
medications, both typical and atypical, improve cog-
regarding such important matters as civil commit-
nitive functioning in these patients. Cognitive abili-
ment and competency and this necessarily entails an
ties such as executive functioning, memory, and at-
accurate and current understanding of questions
tention are surely important for any person involved
brought before them. In terms of antipsychotic
in legal proceedings in which important issues in-
drugs, the first step is the declaration that antipsy-
cluding liberty interests are at stake. While antipsy-
chotic medications are "mind-saving drugs."
chotic medications are associated with several nega-tive side effects, including many serious and
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The Journal of the American Academy of Psychiatry and the Law
A SHARING ON RELIGIOUS LIFE BY SISTER BEATRICE ANDREWS, CSJ A Sharing on Religious Life On my way to Mass at the reserve a nativechild who was following me was curious abouttheir vows. However, in responding to thethe three sisters who lived together, andvowed life, Religious accept the unique task ofasked, “Is Father Otto your husband?”living out of th
15/01/08 Cobertura del Tratamiento Farmacológico del Tabaquismo Normativa del FNR Introducción El tabaquismo es una enfermedad crónica, adictiva, que evoluciona con recaídas (OMS). La adicción a la nicotina es la determinante de la enfermedad. La mayoría de los consumidores crónicos de tabaco, cumplen con los criterios diagnósticos de adicción o dependencia a drogas del