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21. The HIPAA Omnibus Rule: Implications for Public Health Policy and Practice (PubMed)

The HIPAA Omnibus Rule: Implications for Public Health Policy and Practice 24179268 2014 01 07 2018 11 13 1468-2877 128 6 2013 Nov-Dec Public health reports (Washington, D.C. : 1974) Public Health Rep The HIPAA Omnibus Rule: implications for public health policy and practice. 554-8 Goldstein Melissa M MM Melissa Goldstein is an Associate Professor of Health Policy at The George Washington University School of Public Health and Health Services in Washington, D.C. William Pewen is an Assistant

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2013 Public Health Reports

22. VoIP for Telerehabilitation: A Pilot Usability Study for HIPAA Compliance (PubMed)

VoIP for Telerehabilitation: A Pilot Usability Study for HIPAA Compliance Consumer-based, free Voice and video over the Internet Protocol (VoIP) software systems such as Skype and others are used by health care providers to deliver telerehabilitation and other health-related services to clients. Privacy and security applications as well as HIPAA compliance within these protocols have been questioned by practitioners, health information managers, and other healthcare entities. This pilot (...) usability study examined whether four respondents who used the top three, free consumer-based, VoIP software systems perceived these VoIP technologies to be private, secure, and HIPAA compliant; most did not. While the pilot study limitations include the number of respondents and systems assessed, the protocol can be applied to future research and replicated for instructional purposes. Recommendations are provided for VoIP companies, providers, and clients/consumers.

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2012 International Journal of Telerehabilitation

23. HIPAA

HIPAA HIPAA Toggle navigation Brain Head & Neck Chest Endocrine Abdomen Musculoskeletal Skin Infectious Disease Hematology & Oncology Cohorts Diagnostics Emergency Findings Procedures Prevention & Management Pharmacy Resuscitation Trauma Emergency Procedures Ultrasound Cardiovascular Emergencies Lung Emergencies Infectious Disease Pediatrics Neurologic Emergencies Skin Exposure Miscellaneous Abuse Cancer Administration 4 HIPAA HIPAA Aka: HIPAA , Health Insurance Portability and Accountability (...) Act , Health Information Privacy , Patient Data Privacy , HIPAA Limited Data Set II. Definition: Security Rules HIPAA Security Rule Proposed (1998) HIPAA security rules must be adhered to when transmitting medical data over telecommunications networks Ensure confidentiality, integrity and availability of all protected health information (e-PHI) Identify and protect against reasonably anticipated threats to security or integrity of information Protect against reasonably anticipated impermissable

2015 FP Notebook

24. VOIP for Telerehabilitation: A Risk Analysis for Privacy, Security and HIPAA Compliance: Part II (PubMed)

VOIP for Telerehabilitation: A Risk Analysis for Privacy, Security and HIPAA Compliance: Part II In a previous publication the authors developed a privacy and security checklist to evaluate Voice over Internet Protocol (VoIP) videoconferencing software used between patients and therapists to provide telerehabilitation (TR) therapy. In this paper, the privacy and security checklist that was previously developed is used to perform a risk analysis of the top ten VoIP videoconferencing software

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2011 International Journal of Telerehabilitation

25. New Proposed HIPAA Disclosures Vex Health Care Players: Who Is Asking for the Information Anyway? (PubMed)

New Proposed HIPAA Disclosures Vex Health Care Players: Who Is Asking for the Information Anyway? 22346321 2012 10 02 2012 02 20 1052-1372 36 9 2011 Sep P & T : a peer-reviewed journal for formulary management P T New Proposed HIPAA Disclosures Vex Health Care Players: Who Is Asking for the Information Anyway? 551 Barlas Stephen S eng Journal Article United States P T 9015516 1052-1372 2012 2 21 6 0 2012 2 22 6 0 2012 2 22 6 1 ppublish 22346321 PMC3278135

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2011 Pharmacy and Therapeutics

26. Image Data Sharing for Biomedical Research—Meeting HIPAA Requirements for De-identification (PubMed)

Image Data Sharing for Biomedical Research—Meeting HIPAA Requirements for De-identification Data sharing is increasingly recognized as critical to cross-disciplinary research and to assuring scientific validity. Despite National Institutes of Health and National Science Foundation policies encouraging data sharing by grantees, little data sharing of clinical data has in fact occurred. A principal reason often given is the potential of inadvertent violation of the Health Insurance Portability

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2011 Journal of Digital Imaging

27. Health Insurance Portability and Accountability Act (HIPAA) authorization and survey nonresponse bias. (PubMed)

Health Insurance Portability and Accountability Act (HIPAA) authorization and survey nonresponse bias. To extend earlier work (Beebe et al, Med Care. 2007;45:959-965) that demonstrated Health Insurance Portability and Accountability Act authorization form (HAF) introduced potential nonresponse bias (toward healthier respondents).The sample frame from the earlier experiment was linked to administrative medical record data, enabling the comparison of background and clinical characteristics

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2011 Medical Care Controlled trial quality: uncertain

28. Confidentiality and HIPAA

Confidentiality and HIPAA Confidentiality and HIPAA - Special Subjects - MSD Manual Professional Edition Brought to you by The trusted provider of medical information since 1899 SEARCH SEARCH MEDICAL TOPICS Common Health Topics Resources QUIZZES & CASES Quizzes Cases The trusted provider of medical information since 1899 SEARCH SEARCH MEDICAL TOPICS Common Health Topics Resources QUIZZES & CASES Quizzes Cases / / / / IN THIS TOPIC OTHER TOPICS IN THIS CHAPTER Test your knowledge Body Packing (...) ... SOCIAL MEDIA Add to Any Platform Loading , JD, American Bar Association Click here for Patient Education NOTE: This is the Professional Version. CONSUMERS: Traditionally, ethical health care has always included the need to keep patients’ medical information confidential. However, the Health Insurance Portability and Accountability Act (HIPAA—see ) has codified the responsibility of health care providers, health plans, health care clearinghouses, and their business associates who electronically

2013 Merck Manual (19th Edition)

29. VOIP for Telerehabilitation: A Risk Analysis for Privacy, Security, and HIPAA Compliance (PubMed)

VOIP for Telerehabilitation: A Risk Analysis for Privacy, Security, and HIPAA Compliance Voice over the Internet Protocol (VoIP) systems such as Adobe ConnectNow, Skype, ooVoo, etc. may include the use of software applications for telerehabilitation (TR) therapy that can provide voice and video teleconferencing between patients and therapists. Privacy and security applications as well as HIPAA compliance within these protocols have been questioned by information technologists, providers of care (...) and other health care entities. This paper develops a privacy and security checklist that can be used within a VoIP system to determine if it meets privacy and security procedures and whether it is HIPAA compliant. Based on this analysis, specific HIPAA criteria that therapists and health care facilities should follow are outlined and discussed, and therapists must weigh the risks and benefits when deciding to use VoIP software for TR.

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2010 International Journal of Telerehabilitation

32. Professional Use of Digital and Social Media

and Accountability Act (HIPAA), and general principles of tort law all still apply (1–3). The Federation of State Medical Boards has issued a Model Policy Guideline, and many state medical boards have their own guidelines (4). Physicians should be aware of guidelines offered by their state medical boards, employers, and other professional organizations. Patient–Physician Relationship The legal definition of the patient–physician rela- tionship is informed by statute and decisions in tort and contract law (...) beaccessedbyothercliniciansinthesamemedicalgroup or those who share the same billing code and EMR. Unlike discussions between physicians and patients in person or by phone, this portion of the EMR is fully discoverable in future litigation. This digital record cre- atesan“audittrail”becausemostEMRsallowauditorsto discover who has viewed, edited, or added to the medical record, including corrections that do not appear in the finaldocument(5,6).Onlinecommunicationwithestab- lished patients, when included in the EMR and compli- ant with HIPAA

2019 American College of Obstetricians and Gynecologists

33. Policy on Patient Safety

does not exist in the United States. 4 7 Identifiable patient information that is collected for analysis is considered protected under the Health Insurance Portability and Accountability Act (HIPAA). 48,49 Policy statement To promote patient safety, the AAPD encourages: Patient safety instruction in dental curricula to promote safe, patient-centered care. Professional continuing education by all licensed dental professionals to maintain familiarity with current regulations, technology, and clinical (...) . Thusu S, Panasar S, Bedi R. Patient safety in dentistry – state of play as revealed by a national database of errors. Br Dent J 2012;213(E3):1-8. American Academy of Pediatric Dentistry. Record keeping. Pediatr Dent 2018;40(6):401-8. U.S. Department of Health and Human Services Officefor Civil Rights. HIPAA Administration Simplification Regulation Text. 2013. Available at: “https://www.hhs.gov/sites/default/files/hipaa-simplification-201303.pdf”. Accessed June 25, 2018. (Archived by WebCite®

2018 American Academy of Pediatric Dentistry

35. Group Prenatal Care

. Training for obstetricians, obstetric care providers, and facilitators; site certification; and ongoing data collection are encouraged to ensure model fidelity. Dedicated meeting space is optimal but not easily available in all locations, which might, for instance, necessitate the use of the waiting area after hours. Child care is usually not available. Although confidentiality and Health Insurance Portability and Accountability Act (HIPAA) compliance are addressed within group prenatal care

2018 American College of Obstetricians and Gynecologists

36. Cascade Testing: Testing Women for Known Hereditary Genetic Mutations Associated With Cancer

members is complex, tested patients generally should be informed that they have a duty to notify relatives of the familial risk. It is neither required nor appropriate for an obstetrician–gynecologist or other health care provider to contact and notify at-risk family members because sharing that information may violate the Health Insurance Portability and Accountability Act (HIPAA), or state laws, or both. For more information on counseling, see Committee Opinion No. 693, Counseling About Genetic

2018 American College of Obstetricians and Gynecologists

38. Committee Opinion: Cascade Testing: Testing Women for Known Hereditary Genetic Mutations Associated With Cancer

provider to contact and notify at-risk family members because sharing that information may violate the Health Insurance Portability and Accountability Act (HIPAA), or state laws, or both. For more information on counseling, see Committee Opinion No. 693, Counseling About Genetic Testing and Communication of Genetic Test Results (7). Obstetrician–gynecologists should understand and participate in public health efforts to increase cascade testing for hereditary gynecologic cancer. The Centers for Disease

2018 Society of Gynecologic Oncology

39. Do Hospital Visitors Impact Patient Outcomes?

42% of patients arrived with a relative, less than half desired their health information to be shared with their family members.10 In the post-HIPAA era, noncompliant visitation practices remain a major concern, as many staff members fail to obtain . [11] The threat to patient privacy is further compounded by the ubiquity of shared rooms. Equally concerning is the potential negative impact of open visitation policies on hospital staff. A 2011 survey found that many nurses believe flexible

2018 Clinical Correlations

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