Title: HIPAA Privacy Regulations
1HIPAA Privacy Regulations
- Mary H. (Monnie) Lindsay
- Assistant General Counsel
- Mlindsa_at_lumc.edu
- 708/216-3708
- 2/26/01
2Why These New Regulations?
- Congress perceived
- Increased public concern about privacy
- Increased use of interconnected electronic
information systems - Advances in genetic sciences
- Estimated average 150 people have access to
patients medical record
3Major HIPAA Requirements
- Protected Health Information
- Consent
- Authorization
- Notice of Privacy
- Minimum Necessary Disclosure
- Patients Rights
- Business Associates
4Protected Health Information (PHI)
- Information created or received by a health care
provider, health plan, and others which relates
to - A persons physical or mental health and the
provision of health care to them or - Payment for health care and
- Identifies the person or could reasonably be used
to identify the person - Oral, written or electronic
- Applies to current as well as past information
5Consent
- LUMC and LUPF must obtain patient consent prior
to carrying out - Treatment
- Payment
- Healthcare operations
- Does not replace informed consent for treatment
6Consent - Exceptions
- Indirect treatment relationship
- Emergency
- Required by law
- Not possible to obtain consent due to substantial
communication barriers
7General Rule for Patient Consent
- In simple language and revocable
- Inform patient re use of information
- Reference Notice of Privacy practices
- Inform patient of right to request restrictions
- Be signed and dated
8Additional Consent Issues
- Treatment may be conditioned on obtaining consent
- Privacy protections apply to deceased patients
- Personal representatives count as the patients
- LUMC and LUPF may do a joint consent
9Authorizations
- Authorization required for any use or disclosure
of PHI not covered by a consent, unless covered
by an exception - Primarily for release of PHI outside LUMC
- Cannot condition treatment on the receipt of an
authorization
10Requirements for Patient Authorizations
- Specific description in simple language
- Who is authorized to release the PHI
- Who may receive the PHI
- Patients right to revoke
- Inform patient that once released, the
information may no longer be subject to the
privacy rules - Expiration date, signature, date, and copy
11Uses and Disclosures Requiring Opportunity for
Individual to Agree or Object
- Patient must be given advance notice and be given
an opportunity to agree or object - Facility directories
- Name, location in LUMC, general condition,
religious affiliation - Emergency exception
- Family members or others involved with the
patients care or treatment
12Disclosures Where Patient Authorization Is Not
Required
- Required by law
- Public health activities
- Victims of abuse, neglect, domestic violence
- Health oversight activities
- Judicial and administrative proceedings
- Law enforcement purposes
- Funeral directors, coroners, and medical examiners
13Disclosures Where Patient Authorization Is Not
Required (Contd)
- Organ, eye, tissue donation
- Research if waiver of authorization approved by
IRB - Serious threat to health or safety
- Government functions Armed Forces, national
security, correctional institutions - Workers compensation
14Marketing Communications
- LUMC/LUPF may use PHI for some marketing
- Authorization is not required if
- Face to face with the patient
- Nominal products/services
- Health-related products/services of LUMC/LUPF
- Must allow patient to opt-out of receiving
future communications (unless marketing occurs
through general newsletter) - Special requirements for targeted marketing based
on patients specific condition
15Fundraising Communications
- Authorization is not required if
- Fundraising is for LUMC only
- Only demographic information and dates of care
are used - Plans for fundraising communications must be
referenced in general Notice of Privacy Practices - Allow individual to opt-out of receiving future
communications and the opt-out is honored
16Minimum Information Necessary
- Must reasonably ensure that we do not request,
use or disclose more than the minimum amount of
PHI necessary to accomplish the purpose of the
disclosure - Does not apply to providers for treatment
- Develop criteria to limit disclosures
- Review requests for disclosures on an individual
basis - For recurring requests, may develop standard
protocols - Identify which employees require which items of
PHI. Limit access accordingly
17Notice of Privacy Practices
- Describes uses and disclosures that LUMC/LUPF may
make using examples - Educates the patient as to his/her privacy rights
- Educates the patient regarding LUMCs and LUPFs
duties with respect to PHI - Reserves LUMC/LUPFS right to change the notice
- Describes complaint procedure
18Notice of Privacy Practices (Contd)
- Additional Requirements
- LUMC/LUPF are required to follow the current
notice - Posted or on web
- Available with first appointment
- LUPF and LUMC joint notice
19Patients Rights
- Request restrictions
- Inspect and copy their record
- Amend their record
- Accounting who has accessed record
20Business Associates
- A business associate is a person or entity who
performs a function or activity involving the use
or disclosure of PHI on behalf of LUMC or LUPF - With limited exceptions, LUMC/LUPF may not
disclose PHI to a business associate without
satisfactory assurance that the PHI will be
appropriately safeguarded
21Business Associates Contracts
- LUMC/LUPF must enter a written contract with each
of our business associates - Contract must extend LUMCs/LUPFs privacy
obligations to the business associate - LUMC, if aware of a violation by a business
associate, must take reasonable steps to remedy
the violation or terminate the contract - All disclosures to business associates must be
accounted for
22Enforcement Liability
- Enforced by the DHHS Office of Civil Rights
- Patients may complain directly to the Office of
Civil Rights - Civil Liability
- Criminal Liability
23What Does This Mean for Loyola?
- Appoint a privacy officer
- Need to assess where PHI is created/maintained
- Baseline assessment of technical, security and
privacy measures - Draft or revise policies and procedures to comply
with the privacy regulations
24What Does This Mean for Loyola? (Contd)
- Establish employee classes and categories with
respect to and determine what information each
class or category needs to perform their job - Prepare Notice of Privacy Practices, Consent
Forms and Authorization
25What Does This Mean for Loyola? (Contd)
- Assess who business associates are and enter new
contracts or amend old contracts - Establish a method for tracking of all
disclosures of PHI for purposes of accounting - Implement a training program for employees