Factitious disorder imposed on another

From Wikipedia, the free encyclopedia
Factitious disorder imposed on another (FDIA)
Other names
  • Munchausen syndrome by proxy (MSbP)
  • Munchausen by proxy (MbP)
  • Factitious disorder imposed by another
  • Factitious disorder by proxy
  • Fabricated or induced illness by caregivers (FII)
  • Medical child abuse
SpecialtyPsychiatry
SymptomsVariable[1]
CausesUnknown[2]
Risk factorsComplications of pregnancy, caregiver who was abused as a child or has factitious disorder imposed on self[3]
Diagnostic methodRemoving the child from the caregiver results in improvement, video surveillance without the knowledge of the caregiver[4]
Differential diagnosisMedical disorder, other forms of child abuse, delusional disorder[5]
TreatmentRemoval of the child, therapy[2][4]
FrequencyEstimated 1 to 30 occurrences per 1,000,000 children[6]

Factitious disorder imposed on another (FDIA), also known as fabricated or induced illness by carers (FII), and first named as Munchausen syndrome by proxy (MSbP) after Munchausen syndrome, is a mental health disorder in which a caregiver creates the appearance of health problems in another person, typically their child.[7][8] This may include injuring the child or altering test samples.[7] The caregiver then presents the person as being sick or injured.[5] Permanent injury or death of the victim may occur as a result of their caregiver having the disorder.[7] The behaviour may be motivated by the caretaker seeking sympathy or attention.

The cause of FDIA is unknown.[2] The primary motive may be to gain attention and manipulate physicians.[4] Risk factors for FDIA include pregnancy related complications and a mother who was abused as a child or has factitious disorder imposed on self.[3] Diagnosis is supported when removing the child from the caregiver results in improvement of symptoms or video surveillance without the knowledge of the caregiver finds concerns.[4] The victims of those affected by the disorder are considered to have been subjected to a form of physical abuse and medical neglect.[1]

Management of FDIA in the affected 'caregiver' may require putting the child in foster care.[2][4][9] It is not known how effective therapy is for FDIA; it is assumed it may work for those who admit they have a problem.[4] The prevalence of FDIA is unknown,[5] but it appears to be relatively rare.[4] More than 90% of cases involve a person's mother.[3]

The prognosis for the caregiver is poor.[4] However, there is a burgeoning literature on possible courses of therapy.[3]

The condition was first named as "Munchausen syndrome by proxy" in 1977 by British pediatrician Roy Meadow.[4] Some aspects of FDIA may represent criminal behavior.[5]

Signs and symptoms[edit]

In factitious disorder imposed on another, a caregiver makes a dependent person appear mentally or physically ill in order to gain attention. To perpetuate the medical relationship, the caregiver systematically misrepresents symptoms, fabricates signs, manipulates laboratory tests, or even purposely harms the dependent (e.g. by poisoning, suffocation, infection, physical injury).[6] It is important to note the caregiver is not performing this behavior for obvious external reward, such as money.[5] Studies have shown a mortality rate of between six and ten percent, making it perhaps the most lethal form of abuse.[10][11]

Most present about three medical problems in some combination of the 103 different reported symptoms. The most-frequently reported problems are apnea (26.8% of cases), anorexia or feeding problems (24.6% of cases), diarrhea (20%), seizures (17.5%), cyanosis (blue skin) (11.7%), behavior (10.4%), asthma (9.5%), allergy (9.3%), and fevers (8.6%).[11] Other symptoms include failure to thrive, vomiting, bleeding, rash, and infections.[10][12] Many of these symptoms are easy to fake because they are subjective. A parent reporting that their child had a fever in the past 24 hours is making a claim that is impossible to prove or disprove. The number and variety of presented symptoms contribute to the difficulty in reaching a proper diagnosis.

Aside from the motive (most commonly attributed to be a gain in attention or sympathy), another feature that differentiates FDIA from "typical" physical child abuse is the degree of premeditation involved. Whereas most physical abuse entails lashing out at a child in response to some behavior (e.g., crying, bedwetting, spilling food), assaults on the FDIA victim tend to be unprovoked and planned.[13]

Also unique to this form of abuse is the role that health care providers play by actively, albeit unintentionally, enabling the abuse. By reacting to the concerns and demands of perpetrators, medical professionals are manipulated into a partnership of child maltreatment.[6] Challenging cases that defy simple medical explanations may prompt health care providers to pursue unusual or rare diagnoses, thus allocating even more time to the child and the abuser. Even without prompting, medical professionals may be easily seduced into prescribing diagnostic tests and therapies that may be painful, costly, or potentially injurious to the child.[1] If the health practitioner resists ordering further tests, drugs, procedures, surgeries, or specialists, the FDIA abuser makes the medical system appear negligent for refusing to help a sick child and their selfless parent.[6] Like those with Munchausen syndrome, FDIA perpetrators are known to switch medical providers frequently until they find one that is willing to meet their level of need; this practice is known as "doctor shopping" or "hospital hopping".

The perpetrator continues the abuse because maintaining the child in the role of patient satisfies the abuser's needs. The cure for the victim is to separate the child completely from the abuser. When parental visits are allowed, sometimes there is a disastrous outcome for the child. Even when the child is removed, the perpetrator may then abuse another child: a sibling or other child in the family.[6]

Factitious disorder imposed on another can have many long-term emotional effects on a child. Depending on their experience of medical interventions, a percentage of children may learn that they are most likely to receive the positive parental attention they crave when they are playing the sick role in front of health care providers. Several case reports describe Munchausen syndrome patients suspected of themselves having been FDIA victims.[14] Seeking personal gratification through illness can thus become a lifelong and multi-generational disorder in some cases.[6] In stark contrast, other reports suggest survivors of FDIA develop an avoidance of medical treatment with post-traumatic responses to it.[15]

The adult caregiver who has abused the child often seems comfortable and not upset over the child's hospitalization. While the child is hospitalized, medical professionals must monitor the caregiver's visits to prevent an attempt to worsen the child's condition.[16] In addition, in many jurisdictions, medical professionals have a duty to report such abuse to legal authorities.[17]

Diagnosis[edit]

Use of the term "Munchausen syndrome by proxy" is controversial[citation needed]. In the World Health Organization's International Statistical Classification of Diseases, 10th Revision (ICD-10), the official diagnosis is factitious disorder (301.51 in ICD-9, F68.12 in ICD-10). Within the United States, factitious disorder imposed on another (FDIA or FDIoA) was officially recognized as a disorder in 2013,[18] while in the United Kingdom, it is known as fabricated or induced illness by carers (FII).[19]

In DSM-5, the diagnostic manual published by the American Psychiatric Association in 2013, this disorder is listed under 300.19 Factitious disorder. This, in turn, encompasses two types:[18]

  • Factitious Disorder Imposed on Self
  • Factitious Disorder Imposed on Another (Previously Factitious Disorder by Proxy); the diagnosis is assigned to the perpetrator; the person affected may be assigned an abuse diagnosis (e.g. child abuse).

Both types include an optional specifier to identify if the observed behavior was a single episode or part of recurrent episodes.[18]

Warning signs[edit]

Warning signs of the disorder include:[16]

  • A child who has one or more medical problems that do not respond to treatment or that follow an unusual course that is persistent, puzzling, and unexplained.
  • Physical or laboratory findings that are highly unusual, discrepant with patient's presentation or history, or physically or clinically impossible.
  • A parent who appears medically knowledgeable, fascinated with medical details and hospital gossip, appears to enjoy the hospital environment, and expresses interest in the details of other patients' problems.
  • A highly attentive parent who is reluctant to leave their child's side and who themselves seem to require constant attention.
  • A parent who appears unusually calm in the face of serious difficulties in their child's medical course while being highly supportive and encouraging of the physician, or one who is angry, devalues staff, and demands further intervention, more procedures, second opinions, and transfers to more sophisticated facilities.
  • The suspected parent may work in the health-care field themselves or profess an interest in a health-related job.
  • The signs and symptoms of a child's illness may lessen or simply vanish in the parent's absence (hospitalization and careful monitoring may be necessary to establish this causal relationship).
  • A family history of similar or unexplained illness or death in a sibling.
  • A parent with symptoms similar to their child's own medical problems or an illness history that itself is puzzling and unusual.
  • A suspected emotionally distant relationship between parents; the spouse often fails to visit the patient and has little contact with physicians even when the child is hospitalized with a serious illness.
  • A parent who reports dramatic, negative events, such as house fires, burglaries, or car accidents, that affect them and their family while their child is undergoing treatment.
  • A parent who seems to have an insatiable need for adulation or who makes self-serving efforts for public acknowledgment of their abilities.
  • A child who inexplicably deteriorates whenever discharge is planned.
  • A child that looks for cueing from a parent in order to feign illness when medical personnel are present.
  • A child that is overly articulate regarding medical terminology and their own disease process for their age.
  • A child that presents to the Emergency Department with a history of repeat illness, injury, or hospitalization.

Epidemiology[edit]

FDIA is rare. Incidence rate estimates range from 1 to 28 per million children,[6] although some assume that it may be much more common.[6] One study in Italy found that 4 out of more than 700 children admitted to the hospital met the criteria (0.53%). In this study, stringent diagnostic criteria were used, which required at least one test outcome or event that could not possibly have occurred without deliberate intervention by the FDIA person.[20]

In one study, the average age of the affected individual at the time of diagnosis was four years old. Slightly over 50% were aged 24 months or younger, and 75% were under six years old. The average duration from onset of symptoms to diagnosis was 22 months. By the time of diagnosis, six percent of the affected persons were dead, mostly from apnea (a common result of smothering) or starvation, and seven percent had long-term or permanent injury. About half of the affected had siblings; 25% of the known siblings were dead, and 61% of siblings had symptoms similar to the affected or that were otherwise suspicious. The mother was the perpetrator in 76.5% of the cases, the father in 6.7%.[11]

Studies have showed that over 90 percent of FDIA cases, the abuser is the mother or another female guardian or caregiver.[13][21][22] A psychodynamic model of this kind of maternal abuse exists.[23] Fathers and other male caregivers have been the perpetrators in seven percent of the cases studied.[11] When they are not actively involved in the abuse, the fathers or male guardians of FDIA victims are often described as being distant, emotionally disengaged, and powerless. These men play a passive role in FDIA by being frequently absent from the home and rarely visiting the hospitalized child. Usually, they vehemently deny the possibility of abuse, even in the face of overwhelming evidence or their child's pleas for help.[6][13]

Society and culture[edit]

Terminology[edit]

The term "Munchausen syndrome by proxy", in the United States, has never officially been included as a distinct mental disorder by the American Psychiatric Association,[24] which publishes the Diagnostic and Statistical Manual of Mental Disorders (DSM), now in its fifth edition.[5] Although the DSM-III (1980) and DSM-III-R (1987) included Munchausen syndrome, they did not include MSbP. DSM-IV (1994) and DSM-IV-TR (2000) added MSbP as a proposal only, and although it was finally recognized as a disorder in DSM-5 (2013), each of the last three editions of the DSM designated the disorder by a different name.

FDIA has been given different names in different places and at different times. What follows is a partial list of alternative names that have been either used or proposed (with approximate dates):[25]

  • Factitious Disorder Imposed on Another (current) (U.S., 2013) American Psychiatric Association, DSM-5
  • Factitious Disorder by Proxy (FDP, FDbP) (proposed) (U.S., 2000) American Psychiatric Association, DSM-IV-TR[26]
  • Fictitious Disorder by Proxy (FDP, FDbP) (proposed) (U.S., 1994) American Psychiatric Association, DSM-IV
  • Fabricated or Induced Illness by Carers (FII) (U.K., 2002) The Royal College of Pediatrics and Child Health[27]
  • Factitious Illness by Proxy (1996) World Health Organization[28]
  • Pediatric Condition Falsification (PCF) (proposed) (U.S., 2002) American Professional Society on the Abuse of Children proposed this term to diagnose the victim (child); the perpetrator (caregiver) would be diagnosed "factitious disorder by proxy"; MSbP would be retained as the name applied to the 'disorder' that contains these two elements, a diagnosis in the child and a diagnosis in the caretaker.[29]
  • Induced Illness (Munchausen Syndrome by Proxy) (Ireland, 1999–2002) Department of Health and Children[25]
  • Munchausen Syndrome by Proxy (2002) Professor Roy Meadow.[25][4]
  • Meadow's Syndrome (1984–1987) named after Roy Meadow.[30] This label, however, had already been in use since 1957 to describe a completely unrelated and rare form of cardiomyopathy.[31]
  • Polle Syndrome (1977–1984) coined by Burman and Stevens, from the then-common belief that Baron Münchhausen's second wife gave birth to a daughter named Polle during their marriage.[32][33] The baron declared that the baby was not his, and the child died from "seizures" at the age of 10 months. The name fell out of favor after 1984, when it was discovered that Polle was not the baby's name, but rather was the name of her mother's hometown.[34][35]

While it initially included only the infliction of harmful medical care, the term has subsequently been extended to include cases in which the only harm arose from medical neglect, noncompliance, or even educational interference.[1] The term is derived from Munchausen syndrome, a psychiatric factitious disorder wherein those affected feign disease, illness, or psychological trauma to draw attention, sympathy, or reassurance to themselves.[36] Munchausen syndrome by proxy perpetrators, by contrast, are willing to fulfill their need for positive attention by hurting their own child, thereby assuming the sick role onto their child, by proxy. These proxies then gain personal attention and support by taking on this fictitious "hero role" and receive positive attention from others, by appearing to care for and save their so-called sick child.[6] They are named after Baron Munchausen, a literary character based on Hieronymus Karl Friedrich, Freiherr von Münchhausen (1720–1797), a German nobleman and well-known storyteller. In 1785, writer and con artist Rudolf Erich Raspe anonymously published a book in which a fictional version of "Baron Munchausen" tells fantastic and impossible stories about himself, establishing a popular literary archetype of a bombastic exaggerator.[37][38]

Initial description[edit]

"Munchausen syndrome" was first described by British endocrinologist and haematologist Richard Asher in 1951[39] as when someone invents or exaggerates medical symptoms, sometimes engaging in self-harm, to gain attention or sympathy.

The term "Munchausen syndrome by proxy" was first coined by John Money and June Faith Werlwas in a 1976 paper titled "Folie à deux in the parents of psychosocial dwarfs: Two cases"[40][41] to describe the abuse-induced and neglect-induced symptoms of the syndrome of abuse dwarfism. That same year, Sneed and Bell wrote an article titled "The Dauphin of Munchausen: factitious passage of renal stones in a child".[42]

According to other sources, the term was created by the British pediatrician Roy Meadow in 1977.[34][43][44] In 1977, Meadow – then professor of pediatrics at the University of Leeds, England – described the extraordinary behavior of two mothers. According to Meadow, one had poisoned her toddler with excessive quantities of salt. The other had introduced her own blood into her baby's urine sample. This second case occurred during a series of Outpatient visits to the Paediatric Clinic of Dr. Bill Arrowsmith at Doncaster Royal Infirmary. He referred to this behavior as Munchausen syndrome by proxy (MSbP).[45]

The medical community was initially skeptical of FDIA's existence, but it gradually gained acceptance as a recognized condition.

Controversy[edit]

During the 1990s and early 2000s, Roy Meadow was an expert witness in several murder cases involving MSbP/FII. Meadow was knighted for his work for child protection, though later, his reputation, and consequently the credibility of MSbP, became damaged when several convictions of child killing, in which he acted as an expert witness, were overturned. The mothers in those cases were wrongly convicted of murdering two or more of their children, and had already been imprisoned for up to six years.[46][44]

One case was that of Sally Clark. Clark was a lawyer wrongly convicted in 1999 of the murder of her two baby sons, largely on the basis of Meadow's evidence. As an expert witness for the prosecution, Meadow asserted that the odds of there being two unexplained infant deaths in one family were one in 73 million. That figure was crucial in sending Clark to jail but was hotly disputed by the Royal Statistical Society, who wrote to the Lord Chancellor to complain.[47] It was subsequently shown that the true odds were much greater once other factors (e.g. genetic or environmental) were taken into consideration, meaning that there was a significantly higher likelihood of two deaths happening as a chance occurrence than Meadow had claimed during the trial. Those odds in fact range from a low of 1:8500 to as high as 1:200.[48] It emerged later that there was clear evidence of a Staphylococcus aureus infection that had spread as far as the child's cerebrospinal fluid.[49] Clark was released in January 2003 after three judges quashed her convictions in the Court of Appeal in London,[49][50] but suffering from catastrophic trauma of the experience, she later died from alcohol poisoning. Meadow was involved as a prosecution witness in three other high-profile cases resulting in mothers being imprisoned and subsequently cleared of wrongdoing: Trupti Patel,[51] Angela Cannings[52] and Donna Anthony.[53]

In 2003, Lord Howe, the Opposition spokesman on health, accused Meadow of inventing a "theory without science" and refusing to produce any real evidence to prove that Munchausen syndrome by proxy actually exists. It is important to distinguish between the act of harming a child, which can be easily verified, and motive, which is much harder to verify and which FDIA tries to explain. For example, a caregiver may wish to harm a child out of malice and then attempt to conceal it as illness to avoid detection of abuse, rather than to draw attention and sympathy.

The distinction is often crucial in criminal proceedings, in which the prosecutor must prove both the act and the mental element constituting a crime to establish guilt. In most legal jurisdictions, a doctor can give expert witness testimony as to whether a child was being harmed but cannot speculate regarding the motive of the caregiver. FII merely refers to the fact that illness is induced or fabricated and does not specifically limit the motives of such acts to a caregiver's need for attention and/or sympathy.

In all, around 250 cases resulting in conviction in which Meadow was an expert witness were reviewed, with few[citation needed] changes, but all where the only evidence was Meadow's expert testimony were overturned. Meadow was investigated by the British General Medical Council (GMC) over evidence he gave in the Sally Clark trial. In July 2005, the GMC declared Meadow guilty of "serious professional misconduct", and he was struck off the medical register for giving "erroneous" and "misleading" evidence.[54] At appeal, High Court judge Mr. Justice Collins said that the severity of his punishment "approaches the irrational" and set it aside.[55][56]

Collins's judgment raises important points concerning the liability of expert witnesses – his view is that referral to the GMC by the losing side is an unacceptable threat and that only the Court should decide whether its witnesses are seriously deficient and refer them to their professional bodies.[57]

In addition to the controversy surrounding expert witnesses, an article appeared in the forensic literature that detailed legal cases involving controversy surrounding the murder suspect.[58] The article provides a brief review of the research and criminal cases involving Munchausen syndrome by proxy in which psychopathic mothers and caregivers were the murderers. It also briefly describes the importance of gathering behavioral data, including observations of the parents who commit the criminal acts. The article references the 1997 work of Southall, Plunkett, Banks, Falkov, and Samuels, in which covert video recorders were used to monitor the hospital rooms of suspected FDIA victims. In 30 out of 39 cases, a parent was observed intentionally suffocating their child; in two they were seen attempting to poison a child; in another, the mother deliberately broke her three-month-old daughter's arm. Upon further investigation, those 39 patients, ages one month to 3 years old, had 41 siblings; 12 of those had died suddenly and unexpectedly.[59] The use of covert video, while apparently extremely effective, raises controversy in some jurisdictions over privacy rights.

Legal status[edit]

In most legal jurisdictions, doctors are allowed to give evidence only in regard to whether the child is being harmed. They are not allowed to give evidence in regard to the motive. Australia and the UK have established the legal precedent that FDIA does not exist as a medico-legal entity.

In a June 2004 appeal hearing, the Supreme Court of Queensland, Australia, stated:

As the term factitious disorder (Munchausen's Syndrome) by proxy is merely descriptive of a behavior, not a psychiatrically identifiable illness or condition, it does not relate to an organized or recognized reliable body of knowledge or experience. Dr. Reddan's evidence was inadmissible.[60]

The Queensland Supreme Court further ruled that the determination of whether or not a defendant had caused intentional harm to a child was a matter for the jury to decide and not for the determination by expert witnesses:

The diagnosis of Doctors Pincus, Withers, and O'Loughlin that the appellant intentionally caused her children to receive unnecessary treatment through her own acts and the false reporting of symptoms of the factitious disorder (Munchausen Syndrome) by proxy is not a diagnosis of a recognized medical condition, disorder, or syndrome. It is simply placing her within the medical term used in the category of people exhibiting such behavior. In that sense, their opinions were not expert evidence because they related to matters that could be decided on the evidence by ordinary jurors. The essential issue as to whether the appellant reported or fabricated false symptoms or did acts to intentionally cause unnecessary medical procedures to injure her children was a matter for the jury's determination. The evidence of Doctors Pincus, Withers, and O'Loughlin that the appellant was exhibiting the behavior of factitious disorder (Munchausen syndrome by proxy) should have been excluded.[61]

Principles of law and implications for legal processes that may be deduced from these findings are that:

  • Any matters brought before a Court of Law should be determined by the facts, not by suppositions attached to a label describing a behavior, i.e., MSBP/FII/FDBP;
  • MSBP/FII/FDBP is not a mental disorder (i.e., not defined as such in DSM IV), and the evidence of a psychiatrist should not therefore be admissible;
  • MSBP/FII/FDBP has been stated to be a behavior describing a form of child abuse and not a medical diagnosis of either a parent or a child. A medical practitioner cannot therefore state that a person "suffers" from MSBP/FII/FDBP, and such evidence should also therefore be inadmissible. The evidence of a medical practitioner should be confined to what they observed and heard and what forensic information was found by recognized medical investigative procedures;
  • A label used to describe a behavior is not helpful in determining guilt and is prejudicial. By applying an ambiguous label of MSBP/FII to a woman is implying guilt without factual supportive and corroborative evidence;
  • The assertion that other people may behave in this way, i.e., fabricate and/or induce illness in children to gain attention for themselves (FII/MSBP/FDBY), contained within the label is not factual evidence that this individual has behaved in this way. Again therefore, the application of the label is prejudicial to fairness and a finding based on fact.

The Queensland Judgment was adopted into English law in the High Court of Justice by Mr. Justice Ryder. In his final conclusions regarding Factitious Disorder, Ryder states that:

I have considered and respectfully adopt the dicta of the Supreme Court of Queensland in R v. LM [2004] QCA 192 at paragraph 62 and 66. I take full account of the criminal law and foreign jurisdictional contexts of that decision but I am persuaded by the following argument upon its face that it is valid to the English law of evidence as applied to children proceedings.

The terms "Munchausen syndrome by proxy" and "factitious (and induced) illness (by proxy)" are child protection labels that are merely descriptions of a range of behaviors, not a pediatric, psychiatric or psychological disease that is identifiable. The terms do not relate to an organized or universally recognized body of knowledge or experience that has identified a medical disease (i.e. an illness or condition) and there are no internationally accepted medical criteria for the use of either label.

In reality, the use of the label is intended to connote that in the individual case there are materials susceptible of analysis by pediatricians and of findings of fact by a court concerning fabrication, exaggeration, minimization or omission in the reporting of symptoms and evidence of harm by act, omission or suggestion (induction). Where such facts exist the context and assessments can provide an insight into the degree of risk that a child may face and the court is likely to be assisted as to that aspect by psychiatric and/or psychological expert evidence.

All of the above ought to be self evident and has in any event been the established teaching of leading pediatricians, psychiatrists and psychologists for some while. That is not to minimize the nature and extent of professional debate about this issue which remains significant, nor to minimize the extreme nature of the risk that is identified in a small number of cases.

In these circumstances, evidence as to the existence of MSBP or FII in any individual case is as likely to be evidence of mere propensity which would be inadmissible at the fact finding stage (see Re CB and JB supra). For my part, I would consign the label MSBP to the history books and however useful FII may apparently be to the child protection practitioner I would caution against its use other than as a factual description of a series of incidents or behaviors that should then be accurately set out (and even then only in the hands of the pediatrician or psychiatrist/psychologist). I cannot emphasis too strongly that my conclusion cannot be used as a reason to re-open the many cases where facts have been found against a carer and the label MSBP or FII has been attached to that carer's behavior. What I seek to caution against is the use of the label as a substitute for factual analysis and risk assessment.[62]

In his book Playing Sick (2004), Marc Feldman notes that such findings have been in the minority among U.S. and even Australian courts. Pediatricians and other physicians have banded together to oppose limitations on child-abuse professionals whose work includes FII detection.[63] The April 2007 issue of the journal Pediatrics specifically mentions Meadow as an individual who has been inappropriately maligned.

In the context of child protection (a child being removed from the custody of a parent), the Australian state of New South Wales uses a "on the balance of probabilities" test, rather than a "beyond reasonable doubt" test. Therefore, in the case "The Secretary, Department of Family and Community Services and the Harper Children [2016] NSWChC 3", the expert testimony of Professor David Isaacs that a certain blood test result was "highly unlikely" to occur naturally or accidentally (without any speculation about motive), was sufficient to refuse the return of the affected child and his younger siblings to the mother. The children had initially been removed from the mother's custody after the blood test results became known. The fact that the affected child quickly improved both medically and behaviourly after being removed was also a factor.[64]

Notable cases[edit]

Beverley Allitt, a British nurse who murdered four children and injured a further nine in 1991 at Grantham and Kesteven Hospital, Lincolnshire, was diagnosed with Munchausen syndrome by proxy.[65]

Wendi Michelle Scott is a Frederick, Maryland, mother who was charged with sickening her four-year-old daughter.[66]

The book Sickened, by Julie Gregory, details her life growing up with a mother who had Munchausen by proxy, who took her to various doctors, coached her to act sicker than she was and to exaggerate her symptoms, and who demanded increasingly invasive procedures to diagnose Gregory's enforced imaginary illnesses.[67]

Lisa Hayden-Johnson of Devon was jailed for three years and three months after subjecting her son to a total of 325 medical actions – including being forced to use a wheelchair and being fed through a tube in his stomach. She claimed her son had a long list of illnesses including diabetes, food allergies, cerebral palsy, and cystic fibrosis, describing him as "the most ill child in Britain" and receiving numerous cash donations and charity gifts, including two cruises.[68]

In the mid-1990s, Kathy Bush gained public sympathy for the plight of her daughter, Jennifer, who by the age of 8 had undergone 40 surgeries and spent over 640 days in hospitals[69] for gastrointestinal disorders. The acclaim led to a visit with first lady Hillary Clinton, who championed Bush's plight as evidence of need for medical reform. However, in 1996, Kathy Bush was arrested and charged with child abuse and Medicaid fraud, accused of sabotaging Jennifer's medical equipment and drugs to agitate and prolong her illness.[69] Jennifer was moved to foster care where she quickly regained her health. The prosecutors claimed Kathy was driven by Munchausen Syndrome by Proxy, and she was convicted to a five-year sentence in 1999.[70] Kathy was released after serving three years in 2005, always maintaining her innocence, and having gotten back in contact with Jennifer via correspondence.[71]

In 2014, 26-year-old Lacey Spears was charged in Westchester County, New York, with second-degree depraved murder and first-degree manslaughter. She fed her son dangerous amounts of salt after she conducted research on the Internet about its effects. Her actions were allegedly motivated by the social media attention she gained on Facebook, Twitter, and blogs. She was convicted of second-degree murder on March 2, 2015,[72] and sentenced to 20 years to life in prison.[73]

Dee Dee Blanchard was a Missouri mother who was murdered by her daughter and a boyfriend in 2015 after having claimed for years that her daughter, Gypsy Rose, was sick and disabled; to the point of shaving her head, making her use a wheelchair in public, and subjecting her to unnecessary medication and surgery. Gypsy possessed no outstanding illnesses. Feldman said it is the first case he is aware of in a quarter-century of research where the victim killed the abuser.[74] Their story was shown on HBO's documentary film Mommy Dead and Dearest[75] and is featured in the Hulu limited series The Act.[76] Gypsy Rose pleaded guilty to second-degree murder and received a ten-year sentence until being released on parole in December 2023, her boyfriend was convicted of first-degree murder and is sentenced to life in prison without parole.

Rapper Eminem has spoken about how his mother would frequently take him to hospitals to receive treatment for illnesses that he did not have. His song "Cleanin' Out My Closet" includes a lyric regarding the illness, "...going through public housing systems victim of Münchausen syndrome. My whole life I was made to believe I was sick, when I wasn't 'til I grew up and blew up..." His mother's illness resulted in Eminem receiving custody of his younger brother, Nathan.[77]

In 2013, when Justina Pelletier was 14, her parents took her to the emergency room at Boston Children's Hospital where doctors diagnosed her problems as psychiatric, but when her parents rejected the diagnosis and attempted to have her released, the hospital filed a report with Massachusetts Department of Children and Families alleging medical child abuse.[78][79] This resulted in her being housed for 18 months in the psychiatric hospital, with her parents having limited access, until a judge ordered her returned to her parents.[78] In 2016 her parents sued Boston Children's for medical malpractice, alleging that their civil rights were violated.[79] At the trial, Pelletier's treating neurologist stated that several of her doctors suspected factitious disorder by proxy, and wanted her parents to stop encouraging her to be sick.[80] Her parents lost the lawsuit, with one juror stating that Pelletier's parents thought of psychiatry as "psychological baloney".[81]

Megan Bhari (1996/7-2018) and her mother had formed a charity, Believe in Magic, to help ill children based on the claim that Megan had a brain tumor. It is unclear to what extent FDIA, Factitious Disorder Imposed on Self, and malingering may have been present but an inquest after her death found no morphological abnormalities in her brain.[82]

Directed towards animals[edit]

Medical literature describes a subset of FDIA caregivers, where the proxy is a pet rather than another person.[83] These cases are labeled Munchausen syndrome by proxy: pet (MSbP:P). In these cases, pet owners correspond to caregivers in traditional FDIA presentations involving human proxies.[84][85] No extensive survey has yet been made of the extant literature, and there has been no speculation as to how closely FDIA:P tracks with human FDIA.[citation needed]

See also[edit]

References[edit]

  1. ^ a b c d Stirling J, American Academy of Pediatrics Committee on Child Abuse Neglect (May 2007). "Beyond Munchausen syndrome by proxy: identification and treatment of child abuse in a medical setting". Pediatrics. 119 (5). Berlin, Germany: Karger Publishers: 1026–1030. doi:10.1542/peds.2007-0563. PMID 17473106.
  2. ^ a b c d Jacoby DB, Youngson RM (2004). Encyclopedia of Family Health. Marshall Cavendish. p. 1286. ISBN 978-0761474869.
  3. ^ a b c d Yates G, Bass C (October 2017). "The perpetrators of medical child abuse (Munchausen Syndrome by Proxy) – A systematic review of 796 cases". Child Abuse & Neglect. 72: 45–53. doi:10.1016/j.chiabu.2017.07.008. PMID 28750264. S2CID 46348831.
  4. ^ a b c d e f g h i j Myers JE (2005). Myers on Evidence in Child, Domestic, and Elder Abuse Cases. Aspen Publishers Online. pp. 280–282. ISBN 978-0735556683.
  5. ^ a b c d e f American Psychiatric Association (2013), Diagnostic and Statistical Manual of Mental Disorders (5th ed.), Arlington: American Psychiatric Publishing, pp. 324–326, ISBN 978-0890425558
  6. ^ a b c d e f g h i j Criddle, L. (2010). "Monsters in the Closet: Munchausen Syndrome by Proxy" (PDF). Critical Care Nurse. 30 (6). American Association of Critical-Care Nurses: 46–55. doi:10.4037/ccn2010737. PMID 21123232. Archived from the original (PDF) on 2014-02-01. Retrieved 2 February 2012.
  7. ^ a b c "Factitious Disorder Imposed on Self – Psychiatric Disorders". Merck Manuals Professional Edition. Retrieved 28 April 2019.
  8. ^ "Overview - Fabricated or induced illness". nhs.uk. 2021-02-16. Retrieved 2022-11-09.
  9. ^ Kelley DM, Curran KA (2019). "Medical Child Abuse: An Unusual "Source" of Vaginal Bleeding". Journal of Pediatric and Adolescent Gynecology. 32 (3): 334–336. doi:10.1016/j.jpag.2019.03.003. PMID 30923026. S2CID 85564487.
  10. ^ a b Christie-Smith, D., Gartner, C. (1 January 2005). "Understanding Munchausen syndrome by proxy". Special Report: Highlights of the 2004 Institute on Psychiatric Services. 56 (1). PsychiatryOnline.org: 16–21. doi:10.1176/appi.ps.56.1.16. PMID 15637185. Retrieved 30 January 2012.
  11. ^ a b c d Sheridan MS (April 2003). "The deceit continues: an updated literature review of Munchausen Syndrome by proxy". Child Abuse Negl. 27 (4): 431–451. doi:10.1016/S0145-2134(03)00030-9. ISSN 0145-2134. PMID 12686328. Unknown ID:668TR.
  12. ^ Sheslow, D.V., Gavin-Devitt, L.A. (2008). "Munchausen by proxy syndrome". KidsHealth from Nemours. Archived from the original on 15 January 2016. Retrieved 27 August 2010.
  13. ^ a b c Schreier HA (2004). "Munchausen by Proxy". Curr Probl Pediatr Adolesc Health Care. 34 (3): 126–143. doi:10.1016/j.cppeds.2003.09.003. PMID 15039661.
  14. ^ Libow, JA. (2002). "Beyond collusion: active illness falsification". Child Abuse Negl. 26 (5): 525–536. doi:10.1016/S0145-2134(02)00328-9. PMID 12079088.
  15. ^ Libow, JA. (1995). "Munchausen by proxy victims in adulthood: a first look". Child Abuse Negl. 19 (9): 1131–1142. doi:10.1016/0145-2134(95)00073-H. PMID 8528818.
  16. ^ a b Schreier HA, Judith A. Libow (1993). Hurting for Love: Munchausen by Proxy Syndrome. The Guilford Press. ISBN 0898621216.
  17. ^ Elder W, Coletsos IC, Bursztajn HJ. Factitious Disorder/Munchhausen Syndrome. The 5-Minute Clinical Consult. 18th Edition. 2010. Editor: Domino F.J. Wolters Kluwer/Lippincott. Philadelphia.[page needed][ISBN missing]
  18. ^ a b c American Psychiatric Association (2013), Diagnostic and Statistical Manual of Mental Disorders (5th ed.), Arlington: American Psychiatric Publishing, pp. 324–326, ISBN 978-0890425558
  19. ^ Burns, Kenneth (January 2004). "Fabrication or Induction of Illness in a Child: a Critical Review of Labels and Literature Using Electronic Libraries" (PDF). Irish Journal of Applied Social Studies. 5 (1): 74–92. Retrieved 3 February 2012.
  20. ^ Ferrara P, Vitelli O, Bottaro G, Gatto A, Liberatore P, Binetti P, Stabile A (December 2013). "Factitious disorders and Munchausen syndrome: the tip of the iceberg". Journal of Child Health Care. 17 (4): 366–374. doi:10.1177/1367493512462262. PMID 23411659. S2CID 21162745.
  21. ^ Abdurrachid N, Gama Marques J (2022). "Munchausen syndrome by proxy (MSBP): a review regarding perpetrators of factitious disorder imposed on another (FDIA)". CNS Spectrums. 27 (1): 16–26. doi:10.1017/S1092852920001741. ISSN 1092-8529. PMID 32772954. S2CID 221098460.
  22. ^ Bérar A, Bouzillé G, Jego P, Allain JS (2021). "A descriptive, retrospective case series of patients with factitious disorder imposed on self". BMC Psychiatry. 21 (1): 588. doi:10.1186/s12888-021-03582-8. ISSN 1471-244X. PMC 8609835. PMID 34814866.
  23. ^ See Anna Motz's The Psychology of Female Violence: Crimes Against the Body (Routledge, 2001 ISBN 978-0415126755, 2nd ed. 2008 ISBN 978-0415403870).
  24. ^ Lasher L (2011). "MBP Definitions, Maltreatment Behaviors, and Comments". Archived from the original on 2011-08-12. Retrieved 30 January 2012.
  25. ^ a b c Burns, Kenneth (January 2004). "Fabrication or Induction of Illness in a Child: a Critical Review of Labels and Literature Using Electronic Libraries" (PDF). Irish Journal of Applied Social Studies. 5 (1): 74–92. Retrieved 3 February 2012.
  26. ^ Diagnostic and statistical manual of mental disorders: DSM-IV-TR. American Psychiatric Association, Task Force on DSM-IV. 2000. ISBN 978-0890420256. LCCN 00024852.
  27. ^ "Fabricated or Induced Illness by Carers (FII)". Professional Reference. patient.info. Retrieved 2 February 2012.
  28. ^ de Silva, Prof. D.G. Harendra, Hobbs, Dr Christopher J. (2004). "Managing Child Abuse: A Handbook for Medical Officers" (PDF). World Health Organization. pp. 36–38. Archived from the original (PDF) on 2011-05-22. Retrieved 30 January 2012.
  29. ^ Schreier H (2002). "Munchausen by Proxy Defined". Pediatrics. 110 (5): 985–988. doi:10.1542/peds.110.5.985. PMID 12415040.
  30. ^ "Meadow and Munchausen". The Lancet. 321 (8322): 456. 1983. doi:10.1016/S0140-6736(83)91450-2. S2CID 34872993.
  31. ^ Lazoritz, S. (September 1987). "Munchausen by proxy or Meadow's syndrome?". The Lancet. 330 (8559): 631. doi:10.1016/S0140-6736(87)93025-X. PMID 2887921. S2CID 851898.
  32. ^ Burman D, Stevens D (27 August 1977). "Munchausen family". The Lancet. 310 (8035). London: 456. doi:10.1016/S0140-6736(77)90639-0. PMID 70666. S2CID 42872268.
  33. ^ Verity CM, Winckworth C, Burman D, Stevens D, White RJ (18 August 1979). "Polle syndrome: children of Munchausen". British Medical Journal. 2 (6187): 422–423. doi:10.1136/bmj.2.6187.422. PMC 1595620. PMID 486971.
  34. ^ a b Meadow R, Lennert T (October 1984). "Munchausen syndrome by proxy or Polle syndrome: which term is correct?". Pediatrics. 74 (4): 554–555. doi:10.1542/peds.74.4.554. PMID 6384913.
  35. ^ Haddy, R. (1993). "The Münchhausen of Munchausen Syndrome: A Historical Perspective" (PDF). Archives of Family Medicine. 2 (2): 141–142. doi:10.1001/archfami.2.2.141. PMID 8275182.[permanent dead link]
  36. ^ Factitious Disorder Imposed on Self at eMedicine
  37. ^ McCoy ML, Keen SM (2013). Child Abuse and Neglect: Second Edition. Psychology Press. p. 210. ISBN 978-1136322877. Retrieved July 10, 2015.
  38. ^ Olry R (June 2002), "Baron Munchhausen and the Syndrome Which Bears His Name: History of an Endearing Personage and of a Strange Mental Disorder" (PDF), Vesalius, VIII (1): 53–57, retrieved July 10, 2015
  39. ^ Asher, R. (10 February 1951). "Munchausen's syndrome". The Lancet. 1 (6650): 339–341. doi:10.1016/S0140-6736(51)92313-6. PMID 14805062.
  40. ^ Money J, Werlwas, June (1976). "Folie à deux in the parents of psychosocial dwarfs: Two cases". Bulletin of the American Academy of Psychiatry and the Law. 4 (4): 351–362. PMID 1028417.
  41. ^ Money, J. (1986). "Munchausen's Syndrome by Proxy: Update". Journal of Pediatric Psychology. 11 (4): 583–584. doi:10.1093/jpepsy/11.4.583. PMID 3559846.
  42. ^ Sneed, R.C., Bell R.F. (1 July 1976). "The Dauphin of Munchausen: Factitious Passage of Renal Stones in a Child". Pediatrics. 58 (1): 127–130. doi:10.1542/peds.58.1.127. PMID 934770. S2CID 33672306. Retrieved 30 January 2012.{{cite journal}}: CS1 maint: multiple names: authors list (link)
  43. ^ "Definition of Munchausen syndrome by proxy". MedicineNet.com. Archived from the original on 2014-02-02. Retrieved 2011-03-01.
  44. ^ a b BBC (10 December 2003). "Profile: Sir Roy Meadow". BBC News. Retrieved 1 February 2007.
  45. ^ Meadow, Roy (1977). "Munchausen Syndrome by Proxy: the Hinterlands of Child Abuse". The Lancet. 310 (8033): 343–345. doi:10.1016/S0140-6736(77)91497-0. PMID 69945. S2CID 205993879.
  46. ^ BBC (17 February 2006). "Disappointed and disheartened". BBC News. Retrieved 2 February 2012.
  47. ^ Green P (23 January 2002). "Letter from the President to the Lord Chancellor regarding the use of statistical evidence in court cases" (PDF). Royal Statistical Society. Archived from the original (PDF) on 2012-01-05. Retrieved 3 February 2012.
  48. ^ BBC (10 December 2003). "The science behind cot deaths". BBC News. Retrieved 2 February 2012.
  49. ^ a b Shaikh, Thair (17 March 2007). "Sally Clark, mother wrongly convicted of killing her sons, found dead at home". The Guardian.
  50. ^ R v. Clark [2003] EWCA Crim 1020 (11 April 2003)
  51. ^ Payne S (12 June 2003). "Joy for mother cleared of baby deaths". The Telegraph. London. Archived from the original on 22 October 2007. Retrieved 1 February 2007.
  52. ^ BBC (10 December 2003). "Mother cleared of killing sons". BBC News. Retrieved 1 February 2007.
  53. ^ BBC (11 April 2005). "Anthony latest mother to be freed". BBC News. Retrieved 2 February 2012.
  54. ^ BBC (15 July 2005). "Sir Roy Meadow struck off by GMC". BBC News. Retrieved 2 February 2012.
  55. ^ Meadow v. General Medical Council [2006] EWHC 146 (Admin) at para. 57 (17 February 2006)
  56. ^ BBC (17 February 2006). "Sally Clark doctor wins GMC case". BBC News. Retrieved 2 February 2012.
  57. ^ Meadow v. General Medical Council [2006] EWHC 146 (Admin) at para. 21–26 (17 February 2006)
  58. ^ Perri F, Lichtenwald, Terrance (2010). "The Last Frontier: Myths & The Female Psychopathic Killer" (PDF). Forensic Examiner. 19 (2): 50–67.
  59. ^ Southall, D.P., Plunkett, M.C., Blanks, M.W., Falkov, A.F. & Samuels, M.P. (1997). "Covert video recordings of life-threatening child abuse; lessons for child protection". Pediatrics. 100 (5): 735–760. doi:10.1542/peds.100.5.735. PMID 9346973.{{cite journal}}: CS1 maint: multiple names: authors list (link)
  60. ^ R v LM [2004] QCA 192 at para. 67 (4 June 2004)
  61. ^ R v LM [2004] QCA 192 at para. 71 (4 June 2004)
  62. ^ A County Council v A Mother and A Father and X, Y, Z children [2005] EWHC 31 (Fam) (18 January 2005)
  63. ^ Feldman, Marc (2004). Playing sick?: untangling the web of Munchausen syndrome, Munchausen by proxy, malingering & factitious disorder. Philadelphia: Brunner-Routledge. ISBN 0415949343.
  64. ^ "The Secretary, Department of Family and Community Services and the Harper Children – NSW Caselaw". www.caselaw.nsw.gov.au. Retrieved 2021-04-14.
  65. ^ "Serial killer nurse Allitt must serve 30 years". The Guardian. 6 December 2007.
  66. ^ Leckie K (2007-11-20). "Military wife faces assault charges for making daughter sick". Frederick News Post. Archived from the original on 2011-05-22. Retrieved 2007-11-24.
  67. ^ "Growing pains". People.com. Archived from the original on 4 October 2013. Retrieved 1 October 2013.
  68. ^ "Devon woman jailed for 'sick son' con". BBC News. 22 January 2010.
  69. ^ a b Candiotti S (July 20, 1999). "Florida woman accused of sickening child for 8 years". CNN.
  70. ^ Candiotti S (October 7, 1999). "Mother found guilty of child abuse, fraud for making daughter sick". CNN.
  71. ^ Renaud JP (July 26, 2005). "Mom, Daughter To Reunite". Sun Sentinel. Archived from the original on 2016-01-15. Retrieved 2016-01-07.
  72. ^ "ABC News: Mom Convicted..." Archived from the original on 5 March 2015.
  73. ^ Associated Press (April 8, 2016). "Mommy blogger gets 20 years to life for salt-poisoning son". NY Post.
  74. ^ Keegan H (July 6, 2016). "Munchausen expert says Gypsy Blanchard case is unprecedented". Springfield News-Leader. Retrieved June 2, 2017.
  75. ^ Jung H (May 16, 2017). "Mommy Dead and Dearest Recap & Review – Dee Dee Blanchard HBO True Crime Documentary". Cosmopolitan.com.
  76. ^ Truong P (2019-03-04). "The New Trailer for Joey King's Hulu Series 'The Act' Will Straight Up Give You the Chills". Cosmopolitan. Retrieved 2019-03-14.
  77. ^ "Munchausen past and present". Star-Telegram.com.
  78. ^ a b "Jury Clears Boston Children's Hospital In Justina Pelletier Case". CBS Boston. 2020-02-20. The high profile case started back in 2013, when a then 14-year-old Justina was brought to the emergency room at Boston Children's and doctors diagnosed her symptoms as psychiatric. Her parents disagreed with the diagnosis and tried to have her discharged. That's when the hospital reported them to the Department of Children and Families, accusing them of medical child abuse. Justina was separated from her parents for about 18 months before a judge ordered her returned.
  79. ^ a b "Boston Children's Hospital Wasn't Negligent in Pelletier Case, Jury Finds". Associated Press. 2020-02-20. The verdict in the medical malpractice lawsuit brought by the family of Justina Pelletier capped a high profile dispute that drew national media attention and sparked a broader debate over parental rights. ... Boston Children's Hospital wasn't medically negligent in its treatment of a Connecticut teen who spent nearly a year in state custody after doctors suspected her parents of medical child abuse, a jury in Boston concluded Thursday. ... Doctors and Pelletier's parents disagreed on whether the cause of her numerous health problems, which included an inability to walk, talk or swallow, were true medical ailments, as her parents maintained, or were largely psychological. ... But doctors at Boston Children's Hospital suspected it was a case of Munchausen syndrome by proxy, and that Pelletier's psychological needs were being ignored by her parents in favor of unnecessary medical tests and procedures.
  80. ^ Chen A (2020-02-07). "Neurologist Takes Stand To Defend Care Given To Justina Pelletier At Boston Children's". WBUR-FM. Retrieved 2020-02-09. In his medical notes at the time, Peters wrote that some of the doctors who'd treated Pelletier suspected "factitious disorder by proxy," a form of medical abuse involving excessive medical care or symptoms caused by the parent or guardian. "She had multiple diagnoses, a very patchy network of providers. Those are all classic red flags," Peters said. "And that there were Child Protective Services involved [suggested] there was some form of over-medicalization going on." Peters said other doctors told him that Pelletier's parents tended to obsess over potential medical problems. They took her to many different doctors, which increased the likelihood of multiple diagnoses and medications.
  81. ^ Alanez T (2020-02-20). "Justina Pelletier's family loses their civil suit against Boston Children's Hospital". The Boston Globe. In an interview, one of the 13 jurors in the case provided insight into the deliberations. ... "This case plays to the heart of a lot of people," the juror said. At first blush, it looked and felt like these people took their daughter away, he said. "But the evidence bore out a more complicated story," he said. ... Throughout the trial, doctors past and present described Pelletier's parents as difficult, demanding, and demeaning. The parents dismissed psychiatric treatment as "psychological baloney" and were quick to dispute what experts told them, according to testimony.
  82. ^ Bartlett J, Mayer R (2023-05-08). "Her illness fooled celebs. The truth may be even darker". BBC News. Archived from the original on 16 May 2023. Retrieved 2023-05-09.
  83. ^ Henderson Metzger L, Meyer L, Nadkarni L (2022), "Understanding Animal Maltreatment", Animal Maltreatment Evaluation Basics for Mental Health Practitioners, Students, and Educators, Cham: Springer International Publishing, pp. 17–32, doi:10.1007/978-3-031-04984-2_3, ISBN 978-3031049835, retrieved 2022-10-22
  84. ^ HM Munro and MV Thrusfield (2001): 'Battered pets': Munchausen syndrome by proxy (factitious illness by proxy). PMID 11518417
  85. ^ Tucker HS, Finlay F, Guiton S (2002). "Munchausen syndrome involving pets by proxies". Arch. Dis. Child. 87 (3): 263. doi:10.1136/adc.87.3.263. PMC 1719226. PMID 12193455.