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The use of texting and e-mail for communications with patients and between professionals is one of the most current issues in HIPAA compliance and enforcement. Providing appropriate access is one of the cornerstones of HIPAA and has been identified as an area of serious non-compliance that has been targeted in the most recent round of HIPAA Audits, and is now the subject of proposed changes to HIPAA designed to ease patient access and sharing of Protected Health Information.
Session Highlights:-
Key Points:-
With the advent of texting and e-mail and their adoption by a wide swath of the public, and with increases in audits and enforcement actions following breaches, now is the time to ensure your organization meets the requirements of the regulations and meets the texting and e-mail communication needs and desires of its providers, staff, and patients. You need the proper privacy protections for health information, including documented policies and procedures on which your staff has been trained, as well as documentation of any actions taken pursuant to those policies and procedures.
The stakes are high – any improper exposure of PHI against the rules may result in a breach that must be reported to the individual and to the US Department of Health and Human Services, at great cost and with the potential to bring fines and other enforcement actions if a violation of rules is involved. Likewise, complaints by a patient if they are not afforded the access they desire can bring about HHS inquiries and enforcement actions, so it is essential to find the right balance of access and control.
In addition to HIPAA, there are impacts of the Telecommunications Protection Act (TCPA) that limit the use of cell phones and, by inference, texting or e-mail for payment and healthcare purposes unless consent is obtained, and there have been actions by CMS prohibiting using texting for physician orders, and using any kind of insecure texting among professionals when PHI is involved.
Professional communications involving Protected Health Information must be conducted securely, according to guidance from HHS and any reasonable Risk Analysis required by the Security Rule, so any official communications must be carefully controlled to avoid breaches of PHI.
But it’s not only the office staff and physicians who need to communicate; communications with patients are key to patient care today.
This session will examine the rights of individuals under HIPAA to communicate in the manner they desire, and how to decide what is an acceptable process for communication with individuals. The session will explain how to discuss communications options with individuals so that you can best meet their needs and desires while preserving their rights under the rules. The 2016 guidance on individual access to information, as well as the proposed changes to the access rules, will be discussed.
The session will discuss the requirements, the risks, and the issues of the increasing use of texting and e-mail for the patient and provider communications and provide a road map for how to use them safely and effectively, to increase the quality of health care and patient satisfaction.
Why Should You Attend:-
Proper evaluation and management of risks are also on the hot list for audits and enforcement, and that includes considering communications appropriately both with patients and for business purposes that may or may not contain Protected Health Information. In addition, extensive guidance from HHS about individual access to information makes clear many areas of the access rules that must be reviewed for compliance in every healthcare organization.
Who Should Attend:-
Any Organization, Institution or Group User can register
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Jim Sheldon-Dean is the founder and director of compliance services at Lewis Creek Systems, LLC, a Vermont-based consulting firm founded in 1982, providing information privacy and security regulatory compliance services to a wide variety of healthcare entities. He is a frequent speaker regarding HIPAA, including speaking engagements at numerous regional and national healthcare association conferences and conventions and the annual NIST/OCR HIPAA Security Conference. Sheldon-Dean has more than two decades of experience specializing in HIPAA compliance, four decades of experience in policy analysis and implementation, business process analysis, information systems, and software development, and eight years of experience doing hands-on medical work as a Vermont-certified volunteer emergency medical technician.
Sheldon-Dean received his B.S. degree, summa cum laude, from the University of Vermont and his master’s degree from the Massachusetts Institute of Technology.