Title: Health Data Standards
1- Health Data Standards
- and Health Information Privacy
- The Health Insurance Portability and
Accountability Act of 1996 - Title II - Subtitle F
- Administrative Simplification
2Purpose of Provisions
- Improve the efficiency and effectiveness of the
health care system, by standardizing the
electronic transmission of certain administrative
and financial transactions - Protect the security and privacy of health
information -
3Overview of Provisions
- Secretary of HHS must adopt standards for
electronic health care transactions, unique
health identifiers, code sets, security, and
privacy - All health plans, clearinghouses, and those
providers who choose to conduct these
transactions electronically are required to
implement these standards -
4Overview of Provisions
- Supersedes most contrary provisions of state laws
- Expands the scope and membership of the National
Committee on Vital and Health Statistics -
5Overview of Provisions
- Civil and criminal penalties are prescribed for
failure to use standards or for wrongful
disclosure of confidential information - Penalties of 100 per violation of standards (up
to 25,000 total per year per standard) - Penalties of 50,000 to 250,000 and 1 to 10
years in jail for wrongful disclosure of
individually identifiable health information -
6Transaction Standards
- Claims or equivalent encounter information
- Coordination of benefits information
- Referral certification and authorization
- Enrollment disenrollment in a health plan
- Eligibility for a health plan
-
-
7Transaction Standards
- Health care payment remittance advice
- Health plan premium payments
- First report of injury
- Health claims status
- Health claims attachments
-
-
8Supporting Standards
- Unique identifiers (including allowed uses) for
- Individuals
- Employers
- Health Plans
- Health Care Providers
- Code sets (including issues of maintenance)
-
9Supporting Standards
- Security (including electronic signatures),
confidentiality, and privacy - Low cost distribution mechanism
-
10Implementation Timeline
NCVHS recommends stds. and legislation
for electronic exchange of medical records
HHS adopts transaction stds. (excl. claims)
Plans, clearinghouses and providers adopt stds.
HHS adopts claims stds. HHS reviews/ modifies
first stds.
Small plans adopt stds.
August February February August
February August February 1997
1998 1999 2000 2001
11Standards Adoption Process
- In general, any standard adopted shall be a
standard that has been developed, adopted or
modified by an ANSI accredited standards setting
organization (SDO) -
-
12Standards Adoption Process
- The Secretary may adopt a different standard if
- it will significantly reduce administrative costs
compared to alternatives, and it is promulgated
in accordance with negotiated rulemaking
procedures, or - No SDO has developed, adopted or modified a
standard in that area
13Standards Adoption Process
- A standard may not be adopted unless the SDO has
consulted with - NUBC
- NUCC
- WEDI
- ADA
- In adopting standards, the Secretary will rely
upon the recommendations of the NCVHS and the HHS
Data Council -
-
-
14Implementation Strategy
- HHS will utilize a three tier approach to
implementation - HHS Data Council will provide senior level policy
guidance and decision making and will serve as
the contact point for the NCVHS -
15Implementation Strategy
- The Data Councils Health Data Standards
Committee will be responsible for the daily
operation and management of the standards
activities - Implementation Teams will be responsible for the
research, analysis, and development of mandated
national standards -
16Implementation Teams
- HHS has established six internal
interdepartmental implementation teams to
identify and assess potential standards - Infrastructure and cross-cutting issues
- Health insurance claims and encounters
- Health insurance enrollment and eligibility
-
17Implementation Teams
- Health identifiers for providers, health plans,
employers and individuals - Code sets and classification systems
- Security and safeguards
-
18Team Approach
- Identify existing candidate standards for each
area, identify gaps and conflicts, and present
findings to NCVHS and HHS - Develop recommendations for standards to be
adopted and present to NCVHS HHS - Submit draft regulations to the Secretary and to
OMB for initial review
19Team Approach
- Publish proposed rules in Federal Register for
public comment - Analyze comments and prepare and publish Final
Rules - Distribute adopted standards and implementation
guides -
20Privacy Goals
- Provide patient rights
- Informed consent to release information
- Access to own health information
- Ability to correct erroreous entries
- Establish process for exceptions
- Research, Law Enforcement, Public Health
- Limit amount of information and access
- Establish deterrents and penalties
21Privacy Timeline
Privacy legislation
If no privacy legislation, HHS privacy
regulations
HHS privacy recommendations
August February February August
February August February 1997
1998 1999 2000 2001
22Opportunities for Input
- Participate with standards development
organizations - Provide testimony at NCVHS public hearings
- Provide written input to NCVHS
- Provide written input to the Secretary of HHS
23Opportunities for Input
- Comment on the Federal Register publications for
each proposed standard - Invite Implementation Teams staff to meetings
with public and private sector organizations -
24- National Committee on Vital
- and Health Statistics
25New NCVHS Responsibilities
- Membership increased from 16 to 18 with two
members appointed by Congress - Annual report to Congress on HIPAA implementation
status - Serve as a public forum for all interested
parties and provide mechanisms for public input
through hearings and meetings
26New NCVHS Responsibilities
- Assistance to Secretary
- Standards - Secretary to rely on the
recommendations of NCVHS and publish
recommendations in Federal Register - Privacy Confidentiality - Secretary to consult
with NCVHS on legislative privacy recommendations
27New NCVHS Responsibilities
- Report to Secretary within 4 years with
recommendations and legislative proposals on
standards for computerized patient record -
-
28Current NCVHS Activities
- Full Committee meetings quarterly
- Subcommittee on Privacy and Confidentiality
- Subcommittee on Health Data Needs, Standards and
Security -
29Sources of Information
- HHS Data Council Web Site
- http//aspe.hhs.gov/datacncl/
- NCVHS Web Site
- http//aspe.hhs.gov/ncvhs/
-
30Cross-Cutting Implementation Issues
31Charge
- Purpose
- Provide overall guidance and coordination to the
HIPAA EDI standards Implementation Teams - Track progress of the HIPAA EDI standards project
- Serve as the information point for overall HIPAA
EDI standards implementation information.
32Charge
- Responsibilities
- Develop and maintain master data dictionary and
data structures list for all standards - Develop a timeline for the entire project
- Provide periodic progress reports on the project
to HHS and the NCVHS - Monitor progress of individual implementation
teams
33Charge
- Responsibilities cont.
- Provide guidance and coordination on common
issues (e.g. regulation development) - Facilitate communciation among implementation
teams - Serve as communication point between
implementation teams and HHS Data Council. - Assure all implementation teams have common
understanding of issues
34Guiding Principles
- Improve efficiency and effectiveness of system
- Meet the needs of users
- Be consistent with other administrative
simplification standards - Have low implementation costs
- Be supported by a SDO
-
35Guiding Principles
- Have timely adoption procedures
- Be technologically independent of platforms
- Be precise unambiguous, but as simple as
possible - Keep data paperwork burdens low
- Have flexibility to adopt to health system
changes -
36Barriers
- Barriers to adopting national uniform standards
- Conflicting standards e.g., ANSI vs. industry
vs. government - Conflicting implementations e.g., proprietary
collection of unique or differently defined data - Incomplete standards e.g., no implementation
guide -
37Barriers
- More barriers
- Proprietary code sets e.g., professional
associations make selling code sets - Cost of change e.g., cost of changing length of
ID - Privacy e.g., potential use of SSN as unique ID
raises fear of easier access and linkage of
confidential information -
38Frequently Asked Questions
- Is Big Brother forcing this on the industry?
- Will only providers benefit from HIPAA standards?
- Is DHHS doing this alone?
- Will DHHS merely adopt Medicare standards?
- Will all HIPAA standards be adopted in 18 months?
39Frequently Asked Questions
- Will private sector standards be adopted with no
change? - Which HIPAA standards will be adopted first?
- Will HIPAA standards be tested?
40Issues
- Conformance testing
- Who does it
- Who pays for it
- Who monitors the testers
- Data dictionary/Implementation guides
- Who maintains them
- Who pays for them
41Issues
- Timely updates to Final Rule
- How do we keep standards up with developments
- How do we draw the lines between employers,
plans, and providers - Timing
- Is 2 years enough time
- Is February, 2000 the safest time to comply
42Issues
- Are the teeth big enough
- Some have indicated it would be cheaper to pay
the fines initially - If Medicare/Medicaid implements it, is that
enough to move industry
43Current Activities
- Master data dictionary
- over 4700 elements included to date
- Draft boilerplate regulation language
- Cross-cutting implementation issues
44- Claims and Encounters Implementation Team
45Charter
- Adopt formats and data content for
- Health insurance claims, encounters, COB
- Remittance advice
- Claim status inquiry
-
46Charter
- Facilitate identical implementations through
- Implementation guides
- With precise instructions on data content
-
-
47Process
- Created information structure
- Solicited formal advice
- National Uniform Billing Committee
- National Uniform Claim Committee
- Workgroup for Electronic Data Interchange
- American Dental Association
48Principles
- Data Content Management
- Structural Stability
- Reliability
- Documentation
49Principles
- Data Content Management
- Data update timeliness
- Implementation guide update
50Principles
- Structural Stability
- 3 years
- One structure
- Annual data updates
51Principles
- Reliability
- Testing part of the process
- Results made public
- For claims, encounter, COB - pilot production
required
52Principles
- Documentation
- Complete and unambiguous
- Implementation guide
- Data dictionary
- Data conditions
-
53Principles
- Each transparent to the other, i.e., common/like
data will be found in the same location - Claim
- Encounter
- Coordination of Benefits
54Recommendations
- Retail Pharmacy Claim - NCPDP v. 3.2
- Remittance Advice - X12.835 v. 3070
- Claims Status - X12.277 v. 3070
- Dental Claims - X12.837 v. 3070
- Physician/Supplier Claims - X12.837 v. 3070
- Institutional Claims - X12.837 v. 3070
55Data Content
- Working with base sets
- Working with organizations
- Superset concept
56Issues
- Divided opinions
- Institutional and physician/supplier
claims/encounters/coordination of benefits
57Unique Health Identifiers Implementation Team
58Charge
- Recommend Standard Unique Health Identifiers
(including allowed uses) - Individual
- Employer
- Health plan
- Health Care Provider
59Individual Identifier
- Current Activities
- Analysis of proposals in ANSI/HISB inventory
- Use of criteria from American Society for Testing
and Materials Standard Guide for Properties of a
Universal Health Care Identifier - Evaluation of SSN by SSA
- Evaluation of Postal Service as Trusted Authority
60Individual Identifier
- Current Thinking--Eliminate consideration of
- Unenhanced, unverified SSN
- Biometric identifier proposals
- Identifier based on existing medical record
number plus practitioner prefix
61Individual Identifier
- Current Thinking--Continue consideration as
identifiers - Enhanced SSN, as proposed by the Computer-based
Patient Record Institute - Identifier based on personal immutable properties
- Universal Health Care Identifier (UHID), as
described in ASTM Guide
62Individual Identifier
- Current Thinking--Continue consideration as
supporting technologies - Directory service, or master patient index
- Public/private key encryption
63Individual Identifier
- Issues
- Risks, limitations of SSN as a health identifier
- Insufficient documentation of infrastructure for
other proposals - Adequacy of current technology to support
national master patient index (MPI) or
public/private encryption - Acceptance by public of a national MPI or
national health identifier
64Individual Identifier
- Issues
- Method to positively link individual to his/her
identifier - Method to prevent issuance of duplicate
identifiers - Medical record linkage vs right to anonymous care
- Costly infrastructure investment likely
- Controversy with any recommendation
65Employer Identifier
- Current Activities
- Coordination with Enrollment/Disenrollment, First
Report of Injury, Premium Payment transactions - Current Thinking
- Recommendation of Employer Identification Number
(EIN)
66Employer Identifier
- Issues
- EIN is not unique to the employer--Is this a
problem for health transactions? - Some sole proprietors do not have an EIN--Would
they be required to obtain an EIN for health
transactions? - Would health transaction uses of EIN require
legislative or regulatory change?
67Health Plan Identifier
- Current Activities--PAYERID to be proposed
- 9-position numeric, including 1 check digit
- No intelligence in number
- Can enumerate 100 million health plans and
employers that offer funded and unfunded health
benefits
68Health Plan Identifier
- PAYERID System Features
- Registry of business information about the entity
- Electronic phone book containing names of
entities and their PAYERIDs - Data base of information needed to route health
care transactions electronically - Issue--High-level vs detailed enumeration
69Provider Identifier
- Current Activities--National Provider Identifier
(NPI) to be proposed - 8-position alphanumeric, including 1 check digit
- No intelligence in number
- Can enumerate 20 billion providers
70Provider Identifier
- System Features
- Data validation (SSN, address,etc.)
- Search/match for duplicate providers
- Query/report generation--national data base
71Provider Identifier
- Issues
- Enumeration options
- Provider practice addresses and location codes
- DHHS OIG Sanction Data
72- Enrollment and Eligibility Implementation Team
73Charge
- Standards and implementation guides for the
following transactions - Enrollment
- Eligibility
- First Report of Injury
- Health Plan Premium Payments
- Referral Certification and Authorization
7
74Recommendations
- Enrollment - X12.834
- 1st Report of Injury - X12.148
- Premium Billing and Payment - X12.811/820
- Health Care Services Review - X12.278
- Eligibility - X12.270/271
75Enrollment
- Current Implementation Guide Covers Forms of
Benefits - Narrower scope for a health care-specific guide
- Policy Are standards imposed by OMB Directive
15 applicable to HIPAA? - Are performance measurement and outcome research
needs covered by HIPAA?
17
761st Report of Injury
- No Current Implementation Guide
- Not health care-specific transaction guide
outside HHS purview - DoL - OSHA, BLS, OWCP
- Policy Expand to allow physician first report?
- May have to engage private sector workers comp
community
17
77Premium Billing Payment
- Used in Industry as ANSI finance function
- No Implementation Guide
- HIPAA Use Not Very Complicated
18
78Health Care Services Review
- Multiple Implementation Guides Possible
- Limited, If Any, Actual Use
- Pilot Project Underway
- May be a late deliverable for 2/98
19
79Eligibility
- Mapping Government data element Requirements
- All necessary components in place to produce the
regulation - Not doing interactive Eligibility Transactions
19
80Data Dictionary
- Includes
- Listing of names, definitions, transactions and
locations - Organized by individual transactions
- Does NOT include
- Code values
- Implementation instructions
7
81Coding and Classification Implementation Team
82Charge
- Codes and classification
- Diseases, injuries, impairments, other health
problems - Causes of these conditions
- Actions taken to prevent, diagnose, treat or
manage these conditions - including substances, equipment, and supplies used
83Charge
- Responsibilities
- Select standards for codes/classifications for
administrative transactions and ensure
appropriate mechanisms for distribution and
maintenance - Recommend set of health vocabularies for full
electronic health records and ensure appropriate
mechanisms for distribution and maintenance - Map vocabularies to administrative
codes/classifications
84Recommendations - 2000
- Diseases, injuries, impairments, etc.
- ICD-9-CM
- Procedures
- ICD-9-CM
- CPT
- CDT
- HCPCS (encompasses CPT and CDT)
85Recommendations - 2000
- Drugs
- For most administrative transactions
- HCPCS
- For pharmacy transactions
- NDC
- Devices
- HCPCS
86Issues
- Use of official implementation guidelines
- Likelihood of changes in some standards for 2001
and beyond - e.g., move to ICD-10-CM
- Need to have ability to accept codes and
identifiers gt 5 characters in 2001 and beyond
87Issues
- Openess of update process for privately owned and
maintained systems - Cost and use restrictions for privately owned and
maintained systems - Availability of electronic formats suitable for
full range of users
88Security Standards Implementation Team
89Charge
- Security of Healthcare Systems/Transactions
- Electronic Signatures
90Objectives
- Establish a Healthcare Data/Systems Security
Framework - e.g., NRC Report
- Identify Requirements Baseline
- Technology Neutral -- if possible
91Scope of Work
- Defined Transactions Only, however ...
- Key Considerations (in act)
- tech cap of rec systems
- costs
- training, personnel issues
- value of audit trails
- needs and capabilities of small hc providers and
rural hc providers - Security, not Privacy
92Definitions
- Privacy vs.Confidentiality vs Security
- Security
- Confidentiality
- Integrity
- Availability
93Definitions
- Security Mechanisms
- Identification
- Authentication
- Authorization
- Access Controls
- Audit/Accountabilty
94Requirements Analysis
- Underlying Requirements
- Interoperability
- System Model / Matrix
- Baseline Security Requirements
- Potentially Conflicting Requirements
- Other Groups Work (e.g., Privacy, Transaction
Sets, etc.)
95Issues
- Level of detail/specificity of published
standards - Determining needs/constraints of Small players