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Forgoing life-sustaining treatment – a comparative analysis of regulations in Japan, Korea, Taiwan, and England

BACKGROUND: Regulations on forgoing life-sustaining treatment (LST) have developed in Asian countries including Japan, Korea and Taiwan. However, other countries are relatively unaware of these due to the language barrier. This article aims to describe and compare the relevant regulatory frameworks,...

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Autores principales: Tanaka, Miho, Kodama, Satoshi, Lee, Ilhak, Huxtable, Richard, Chung, Yicheng
Formato: Online Artículo Texto
Lenguaje:English
Publicado: BioMed Central 2020
Materias:
Acceso en línea:https://www.ncbi.nlm.nih.gov/pmc/articles/PMC7563900/
https://www.ncbi.nlm.nih.gov/pubmed/33066771
http://dx.doi.org/10.1186/s12910-020-00535-w
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author Tanaka, Miho
Kodama, Satoshi
Lee, Ilhak
Huxtable, Richard
Chung, Yicheng
author_facet Tanaka, Miho
Kodama, Satoshi
Lee, Ilhak
Huxtable, Richard
Chung, Yicheng
author_sort Tanaka, Miho
collection PubMed
description BACKGROUND: Regulations on forgoing life-sustaining treatment (LST) have developed in Asian countries including Japan, Korea and Taiwan. However, other countries are relatively unaware of these due to the language barrier. This article aims to describe and compare the relevant regulatory frameworks, using the (more familiar) situation in England as a point of reference. We undertook literature reviews to ascertain the legal and regulatory positions on forgoing LST in Japan, Korea, Taiwan, and England. MAIN TEXT: Findings from a literature review are first presented to describe the development of the regulatory frameworks surrounding the option of forgoing LST in each country. Based on the findings from the four countries, we suggest five ethically important points, reflection on which should help to inform the further development of regulatory frameworks concerning end-of-life care in these countries and beyond. There should be reflection on: (1) the definition of – and reasons for defining – the ‘terminal stage’ and associated criteria for making such judgements; Korea and Taiwan limit forgoing LST to patients in this stage, but there are risks associated with defining this too narrowly or broadly; (2) foregoing LST for patients who are not in this stage, as is allowed in Japan and England, because here too there are areas of controversy, including (in England) whether the law in this area does enough to respect the autonomy of (now) incapacitated patients; (3) whether ‘foregoing’ LST should encompass withholding and withdrawing treatment; this is also an ethically disputed area, particularly in the Asian countries we examine; (4) the family’s role in end-of-life decision-making, particularly as, compared with England, the three Asian countries traditionally place a greater emphasis on families and communities than on individuals; and (5) decision-making with and for those incapacitated patients who lack families, surrogate decision-makers or ADs. CONCLUSION: Comparison of, and reflection on, the different legal positions that obtain in Japan, Korea, Taiwan, and England should prove informative and we particularly invite reflection on five areas, in the hope the ensuing discussions will help to establish better end-of-life regulatory frameworks in these countries and elsewhere.
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spelling pubmed-75639002020-10-16 Forgoing life-sustaining treatment – a comparative analysis of regulations in Japan, Korea, Taiwan, and England Tanaka, Miho Kodama, Satoshi Lee, Ilhak Huxtable, Richard Chung, Yicheng BMC Med Ethics Debate BACKGROUND: Regulations on forgoing life-sustaining treatment (LST) have developed in Asian countries including Japan, Korea and Taiwan. However, other countries are relatively unaware of these due to the language barrier. This article aims to describe and compare the relevant regulatory frameworks, using the (more familiar) situation in England as a point of reference. We undertook literature reviews to ascertain the legal and regulatory positions on forgoing LST in Japan, Korea, Taiwan, and England. MAIN TEXT: Findings from a literature review are first presented to describe the development of the regulatory frameworks surrounding the option of forgoing LST in each country. Based on the findings from the four countries, we suggest five ethically important points, reflection on which should help to inform the further development of regulatory frameworks concerning end-of-life care in these countries and beyond. There should be reflection on: (1) the definition of – and reasons for defining – the ‘terminal stage’ and associated criteria for making such judgements; Korea and Taiwan limit forgoing LST to patients in this stage, but there are risks associated with defining this too narrowly or broadly; (2) foregoing LST for patients who are not in this stage, as is allowed in Japan and England, because here too there are areas of controversy, including (in England) whether the law in this area does enough to respect the autonomy of (now) incapacitated patients; (3) whether ‘foregoing’ LST should encompass withholding and withdrawing treatment; this is also an ethically disputed area, particularly in the Asian countries we examine; (4) the family’s role in end-of-life decision-making, particularly as, compared with England, the three Asian countries traditionally place a greater emphasis on families and communities than on individuals; and (5) decision-making with and for those incapacitated patients who lack families, surrogate decision-makers or ADs. CONCLUSION: Comparison of, and reflection on, the different legal positions that obtain in Japan, Korea, Taiwan, and England should prove informative and we particularly invite reflection on five areas, in the hope the ensuing discussions will help to establish better end-of-life regulatory frameworks in these countries and elsewhere. BioMed Central 2020-10-16 /pmc/articles/PMC7563900/ /pubmed/33066771 http://dx.doi.org/10.1186/s12910-020-00535-w Text en © The Author(s) 2020 Open AccessThis article is licensed under a Creative Commons Attribution 4.0 International License, which permits use, sharing, adaptation, distribution and reproduction in any medium or format, as long as you give appropriate credit to the original author(s) and the source, provide a link to the Creative Commons licence, and indicate if changes were made. The images or other third party material in this article are included in the article's Creative Commons licence, unless indicated otherwise in a credit line to the material. If material is not included in the article's Creative Commons licence and your intended use is not permitted by statutory regulation or exceeds the permitted use, you will need to obtain permission directly from the copyright holder. To view a copy of this licence, visit http://creativecommons.org/licenses/by/4.0/. The Creative Commons Public Domain Dedication waiver (http://creativecommons.org/publicdomain/zero/1.0/) applies to the data made available in this article, unless otherwise stated in a credit line to the data.
spellingShingle Debate
Tanaka, Miho
Kodama, Satoshi
Lee, Ilhak
Huxtable, Richard
Chung, Yicheng
Forgoing life-sustaining treatment – a comparative analysis of regulations in Japan, Korea, Taiwan, and England
title Forgoing life-sustaining treatment – a comparative analysis of regulations in Japan, Korea, Taiwan, and England
title_full Forgoing life-sustaining treatment – a comparative analysis of regulations in Japan, Korea, Taiwan, and England
title_fullStr Forgoing life-sustaining treatment – a comparative analysis of regulations in Japan, Korea, Taiwan, and England
title_full_unstemmed Forgoing life-sustaining treatment – a comparative analysis of regulations in Japan, Korea, Taiwan, and England
title_short Forgoing life-sustaining treatment – a comparative analysis of regulations in Japan, Korea, Taiwan, and England
title_sort forgoing life-sustaining treatment – a comparative analysis of regulations in japan, korea, taiwan, and england
topic Debate
url https://www.ncbi.nlm.nih.gov/pmc/articles/PMC7563900/
https://www.ncbi.nlm.nih.gov/pubmed/33066771
http://dx.doi.org/10.1186/s12910-020-00535-w
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