Title: HIPAA Strategy
1HIPAA Strategy
2Presentation Agenda
- Review of HIPAA Objectives
- Overview and Update on the Status of HIPAA
- Components/Objectives of a HIPAA Strategic Plan
- Detailed Review of Each Planning Component
- Questions
- Resources
3Review of HIPAA Objectives
4Objectives of HIPAA
- To reduce the administrative costs associated
with the provision of health care services - To make the administration of health care
services more efficient by - Requiring some transactions to be supported
electronically - Standardizing those transactions
- To protect individually identifiable health
information from - Physical damage/destruction
- Unauthorized access
- Misuse or inappropriate disclosure
- This is the first step toward a broader
application of e-commerce in health care
5HIPAA Overview
HIPAA
Title I
Title II
Title III
Title IV
Title V
- Health insurance access, portability and renewal
- Fraud and Abuse
- Medical Liability Reform
- Administrative Simplification
- Medical Savings Accounts
- Tax deduction provisions
- Group health plan provisions
- Revenue offset provisions
- For 9 key payor transactions
- Includes clinical code sets
- Includes key identifiers
Electronic Transaction Standards (EDI)
Security Standards
- For protecting electronic health information
- To spell out permissible uses of patient
identifiable healthcare information
PrivacyStandards
6HIPAA Overview
- Each component of HIPAA has proceeded
independently through a development, review and
approval process - The lack of forward movement on any one element
does not necessarily impede the implementation of
others
Public Comment Period
Public Input
Review of Existing Regulations Standards
Redraft of Rule
Final Rule Published
Regulations Enacted And Enforced
ProposedRule Released
26 Months from Date of Publication
Still Awaiting Action for Some Elements
7Applicability
- From the Act Sec 1172(a) Applicability. Any
standard under this part shall apply, in whole or
in part, to the following persons - A health plan
- A health care clearinghouse
- A health care provider who transmits any health
information in electronic form in connection with
a transaction referred to in Section 1173(a)91.
8Provider Responsibilities
- Providers governed under HIPAA must
- Comply with the regulations that impact them no
later than the published implementation dates for
those rules - Ensure that vendors are prepared to deliver
applications that support EDI and security
requirements - Hold those business partners (vendors and others)
with whom patient-identifiable information is
shared accountable for complying with the privacy
and security regulations that apply to the
covered entity - Develop EDI, Privacy and Security policies and
procedures - Train staff on the Privacy policies and
procedures - Document compliance with applicable regulations
9Status of HIPAA Rules
10Status of HIPAA Rules
- The anticipated dates for HHS issuing new
proposed or revised final HIPAA rules - The final Security Rule is expected to be
released in August of this year - The Employer Identifier final rule has been
drafted and sent to HHS for final review with
release expected in June - The Provider and Payer Identifier final rules are
expected around August - The Patient Information (Claims Attachment) NPRM
is expected in August of this year
11Updates
- The anticipated dates for HHS issuing new
proposed or revised final HIPAA rules (cont) - A draft regulation for electronic medical records
is being developed, which should be available for
public review by the end of 2002 - The Doctors First Report of Injury NPRM is also
expected sometime this year - An Enforcement NPRM is expected to be released
some time in 2002 - Two proposed revisions to the Transaction and
Code Set standards have been published - Changes in the Designated Standard Maintenance
Organizations or DSMOs and - Removal of NDC codes as the standard for
medications
12Update Summary
Compliance Date
Proposed Rule
Final Rule
- Released 5/98
- Released 5/98
- Released 6/98
- Expected 2001
- ON HOLD
- Published 8/2000
- Expected 8/2002
- Expected 6/2002
- Expected 8/2002
- ON HOLD
- Transactions Code Sets
- Provider ID
- Employer ID
- Payer ID
- Patient ID
Electronic Transaction Standards (EDI)
Security Standards
- 26 months from date final rule is published
- No action by Congress draft regulation released
11/99
- Published 12/2000
- Reconfirmed 4/2001
PrivacyStandards
- 7/6/01 received First Guidance (not changes) on
the final privacy rule - First proposed changes to the Privacy Rule
published on 3/27/02
13Components of a HIPAA Strategic Plan
14Steps to Compliance
The key to achieving HIPAA compliance is to take
it one manageable stage at a time
Stage 1 Organization and Planning
Stage 2 Assessment and Design
Stage 3 Implementation and Testing
Stage 4 Compliance Monitoring
- Organizational Structure
- Education
- Policies and Procedures
- Establish Linkages
- High-level Risk Analysis
- Quick Hit Identification
- Detailed Assessment
- Prioritization
- Project Definition
- Budget Development
- Programming/ System Upgrades
- Policy/Process Development
- Contract implementation
- End User Education
- System/Process Testing
- Compliance Audits
- Quality Assurance
- Post Implementation Support
- Regulatory Updates/Changes
We will be discussing these
15Elements of a HIPAA Strategic Plan
- Develop an organizational structure for
implementing HIPAA - Review corporate initiatives in light of HIPAA
- Educate organizational decision makers on the
importance of HIPAA and its impact across the
organization - Develop policies and procedures for Privacy and
Security regulations - Determine links between HIPAA initiatives and
organizational strategic initiatives
16Elements of a HIPAA Strategic Plan
- Determine which EDI standards to use
electronically - Conduct a high level risk analysis
- Conduct a detailed risk assessment
- Prioritize and schedule tasks to accomplish
- Develop a budget for implementing HIPAA
- Begin the development of policies and procedures
for EDI
17Stage 1 Organizational Structure
- Appointment of HIPAA coordinator
- Appointment of Privacy Officer
- Appointment of individual(s) to be responsible
for implementing Security regulations - Provide staff time to prepare for HIPAA
- Establish reporting mechanisms to Administration
and the governing body
18Sample HIPAA Governance Structure
HIPAA Coordinator (oversight for assessment,
implementation and ongoing monitoring)
Security Responsibility(Policy
Development Oversight, Training )
19Stage 2 Corporate Initiatives
- Identify strategic initiatives that HIPAA will
impact - These initiatives should be divided into two
primary categories information technology (IT)
and business initiatives - The HIPAA regulations will touch most major
clinical, financial and administrative areas
within the health system. As such, most of the
strategic initiatives will require modification
or consideration of the new HIPAA regulations - Submit request for EDI extension
20Stage 3 Education
- HIPAA 101 - Overview of HIPAA
- HIPAA 201 - Advanced Topics on EDI, Codes Sets
and Identifiers - HIPAA 202 - Advanced Privacy Course
- HIPAA 203 - Advanced Security Course
21Stage 4 Policies and Procedures
- Develop policies and procedures for
- Privacy
- Material from Michael Best and Friedrich to
customize - EDI
- Dependent upon standard transactions to be used
- Security
- Health Future IT task force to develop sample
policies - Address HIPAA compliance in organizational HR
policies - Background checks
- Sanctions for non-compliance
- General policies on confidentiality
22Stage 5 Linking Initiatives
- Identify trading partners/business associates
- Develop contractual assurances of HIPAA
compliance - Evaluate vendor preparedness to support HIPAA
23Stage 6 Selection of EDI Standards to Implement
- Develop a plan for transaction implementation
- Initiate cost/benefit analysis to determine which
standards will yield most positive results - Develop a schedule for implementation
- Determine resources required for implementation
- Submit request for EDI extension
- Prior to October 16, 2002
24Stage 7 Risk Assessment
- Conduct a high level risk analysis and initiate
quick hit remediation - Assign responsibility for EDI, Privacy and
Security assessments - Conduct detailed assessment tool training
- Perform assessments
- Define the boundaries of acceptable risk
25High-level Risk Analysis
- A high-level analysis of the current environment
from an EDI, Privacy, and Security perspective to
see where the largest gaps are would include
questions like those below - What electronic systems are in place for
billing/clinical/medical records? - How many clearinghouses (if any) are used?
- Are business associates/trading partners HIPAA
compliant? - Which of the 7 approved standard transactions are
being done? - Will PHI be accessible to physicians off-site?
- Are security policies in place that meet the
categories outlined in the proposed rule? - How much data sharing is currently allowable in
the system? - Are there system access controls and audit
functions? - What is the level of complexity of systems across
the network? - Do users have unique IDs and passwords and do
they share?
26Stage 8 Preliminary Budget
- Summarize compliance gaps identified through the
risk assessment - Develop operating budget for incremental labor
costs and savings - Develop capital budget for HIPAA compliance
27Stage 9 Project Definition
- Review results of the assessment
- Prioritize tasks to achieve compliance
- Assign responsibility for compliance projects
28Stage 1 - Project Timeline
July
May
June
August
Sept
Oct
Nov
Dec
Education
Corporate Initiatives
Policies and Procedures
Establish Linkages
Transaction Selection
Risk Assessment
Budget
Project Definition
29Initiate Prioritization
30How to Prioritize HIPAA Initiatives
- HIPAA activities need to be prioritized using
several factors, for example - Compliance deadlines
- Potential for enforcement
- Budget constraints (cost/benefit)
- Resource constraints/requirement for external
resources - Organizational readiness
- Organizational impact
- Integration with other projects
- Enterprise-wide importance
31Sample Immediate Initiatives
- HIPAA Governance Model
- Solidify organizational responsibility for the
development of regulatory policies and
procedures, approval processes, enforcement and
oversight of all organizational HIPAA initiatives - Policy and Procedure Documentation
- Initiate the development of, and update policies
and procedures to meet HIPAA requirements and
establish the organizations defensible
position - Business Associates and Trading Partners
- Inventory contracts and identify organizations
that are business associates and trading partners
with whom protected health information is shared
32Sample High Priority Initiatives
- Implement/Update Standard Transaction Sets
- Transition to HIPAA-compliant versions of those
transactions being performed electronically today - Implement/Update Standard Code Sets
- Clean-up proprietary clinical codes to align with
HIPAA code sets - Purchase additional code sets if needed
- Remediate Applications
- Remediate applications to HIPAA compliant versions
33Sample Medium Priority Initiatives
- Staff Education
- Conduct general and detailed HIPAA education
- Privacy Documentation Requirements
- Develop documents required to comply with Privacy
regulations - Utilize documents developed by the WSHA and other
business partners that are recommended for use
statewide - Focused Strategy Assessment
- Determine strategic approach to HIPAA and
complete focused HIPAA assessments to determine
compliance gaps and scope implementation efforts - Communication Plan
- Establish communication methods and begin to
conduct HIPAA education and distribute
documentation
34Ranking Definitions
35Initiatives Prioritization Matrix
36Questions and Discussion
37Resources
38Resources
Association for Electronic Health Care Transactions (AFEHCT) Impacts of HIPAA (particularly EDI) Security Self-Evaluation Checklist http//www.afehct.org
American Health Information Management Association (AHIMA) Benchmark information and case studies Interim Steps for Getting Started http//www.ahima.org/hipaa.html
American Society for Testing and Materials (ASTM) Standards guides for security http//www.astm.org
Center for Healthcare Information Management (CHIM) Up-to-date industry perspective on proposed rules and their status http//www.chim.org
Computer-Based Patient Record Institute (CPRI) CPRI Security Toolkit http//www.cpri-host.org
Department of Health and Human Services HIPAA Administrative Simplification Latest News on Regulations Current proposed and final rules http//aspe.hhs.gov/admnsimp/index.htm
Electronic Healthcare Network Accreditation Commission (EHNAC) Certification Program for HIPAA Compliance (under development) http//www.ehnac.org
39Resources (cont.)
For the Record Protecting Electronic Health Information (National Academy Press, 1997) 800-624-6242 Full Report http//www.nap.edu
Health Privacy Forum Comparison of Privacy proposed and final rules Comparison of state privacy laws http//www.healthprivacy.org
HIMSS Protecting the Security and Confidentiality of Healthcare Information (Volume 12, Number 1, Spring 1998) Articles http//www.himss.org
HIPAA Home Page http//www.hcfa.gov/hipaa/hippahm.htm
HIPAA Transaction Implementation Guides from the Washington Publishing Company http//www.wpc-edi.com
Joint Healthcare Information Technology Alliance (JHITA) Summary of Privacy rules Upcoming HIPAA conferences http//www.jhita.org
Links to other HIPAA sites http//www.hcfa.gov/medicare/edi/hipaaedi.htm
Medicare EDI http//www.hcfa.gov/medicare/edi/edi.htm
40Resources (cont.)
National Uniform Billing Committee http//www.nubc.org
National Uniform Claims Committee http//www.nucc.org
Washington Publishing Company ANSI ASC X12N HIPAA Implementation Guides http//www.wpc-edi.com/hipaa
Subscribe to email release of HIPAA documents (such as notice of proposed rule making) http//www.hcfa.gov/medicare/edi/admnlist.htm
Workgroup for Electronic Data Interchange (WEDI) Details of SNIP effort (Strategic National Implementation Pilot) http//www.wedi.org