Last week, I summarized the Health and Human Services Health Information Technology Policy Committee Privacy and Security Tiger Team (Tiger Team)’s findings.
As a reminder, their charge was to “make short-term and long term recommendations to the Health Information Technology Policy Committee (HITPC) on privacy and security policies and practices that well help build public trust in health information technology and efficiency, particularly as related to the American Recovery and Reinvestment Act (ARRA) of 2009 and the Affordable Care Act (ACA) which mandates a number of duties to the ONC relative to privacy and security.”
Their findings were put out for public comment April 11 –May 11, 2011. Below is a series of excerpts from the comments which represent the major points of discussion. The full set of comments can be viewed on the HHS Federal Advisory Committee Blog.
There should be a health industry discussion on general tracking and accounting of disclosures. ARRA-HITECH proposed rules have not been released and there has been little industry discussion regarding how disclosures can be tracked especially in larger organizations where disclosure may occur. This is both a policy and a technology issue.
Methods for tracking exchange partners need to be developed. Web site info with the ability for the patient to print should cover it, and maybe an annual signoff indicating they know where to find it if they want it. A NwHIN participant will have difficulty keeping track of all the potential indirect participants. If the level of HIEs gets to 225-250-plus keeping a list of the possible exchange partners becomes overwhelming and probably complicated for the individual to understand.
Confidentiality is crucial to reducing barriers to care for adolescents. It has long been recognized that if adolescents do not believe […]