Data Breach, Education, HIPAA / HITECH Enforcement, Meaningful Use, News Events, OCR HIPAA Audits

Susan McAndrew, David Holtzman, RISC Management and HIMSS13

The HIMSS Annual conference is an amazing event. It brings together many thought leaders in the healthcare industry and regulatory bodies once per year in a forum of knowledge transfer and demonstration that is totally unequaled.

RISC Management attended presentations by Leon Rodriguez, Director of the Office for Civil Rights of the Department of Health and Human Services, Susa

n McAndrew,  deputy director for health information privacy, and David Holtzman, OCR’s health information privacy and enforcement specialist. The presentations included a significant amount of information related to the recently-released HIPAA Omnibus Rule, even though HIMSS presentations were submitted six months ago, long before the Omnibus Rule was published.

Susan McAndrew and David Holtzman at HIMSS13
Susan McAndrew and David Holtzman at HIMSS13
Chris Heuman from RISC Management discusses HIPAA enforcement with David Holtzman of OCR
Chris Heuman from RISC Management discusses HIPAA enforcement with David Holtzman of OCR

David Holtzman of the Office for Civil Rights discussed a number of the recent settlement agreements and enforcement actions against organizations, and the reasoning behind some of the significant fines and terms of the agreements. Some quotes worth noting for Covered Entities, Business Associates, and for “conduits” that have traditionally felt that they were not Business Associates are among the following. There were many more of great relevance during Holtzman’s engaging presentation:

Regarding the settlement agreement with Alaska’s DHSS, Holtzman said that the penalty resulted from, “…a systemic failure to implement a coordinated program.” In further detail regarding the Alaska DHSS settlement, the previous day Director Rodriguez indicated that the fine was such a significant amount because of the continued activities of the organization even after the breach was noticed, and that behavior was not modified immediately upon noticing that the breach had occurred. This clearly indicates the expectation of the OCR that an organization modify the behavior or condition that caused a breach as soon as possible after the breach has been identified, not months later when OCR is investigating.

Regarding the settlement with The Hospice of Northern Idaho, Holtzman stated that, “When OCR contacted The Hospice of Northern Idaho, there were no activities put into place regarding policies, procedures, or actions to address the Security Rule, and in 2011 and 2012 we could just not walk away from that.” This was a clear statement to the fact that OCR has an expectation from the industry at this point. That remaining ignorant of the requirements, or choosing to ignore them, is no longer acceptable. Further, Holtzman said, regarding the evident lack of Risk Analysis being performed across the industry, [that there is] “an expectation that every Covered Entity will have engaged in a Risk Analysis process.” The OCR simply will not accept the lack of a formal risk analysis at this point, as the presentation returned to again and again. Blue Cross Blue Shield (BCBS) of Tennessee was also commented on by Holtzman for failing to conduct a Risk Analysis after a change in their environment. This tells us that the expectation is there, as the original law indicated, that a Risk Analysis be conducted both periodically and whenever the environment and technology changes.

Please make sure your organization understands where it falls today with regards to legal standing, for example all of those “Conduit” organizations that have denied being Business Associates for years now, as well as where it’s risks and vulnerabilities are to PHI and ePHI. OCR’s recent job postings that both replace promoted members of the enforcement team, as well as increase the size of the enforcement team provide a clear indication of increased vigilance.

This information provided by RISC Management and Consulting, http://www.RISCsecurity.com

Business Continuity, Data Breach, Disaster Recovery, Education, News Events, Tip of the Week

Meet RISC and Other Security & Compliance Experts at HIMSS13

If you are going to HIMSS13 in New Orleans, and would like to meet up with a member of the RISC Team, one of our strategic partners, the security and compliance focused hosting organization, Online Tech (www.OnlineTech.com), or other industry leaders such as Brian Balow, Dave Bennett, or Peggy McShane, please sign up and let us know how we can help, or topics you would like to chat about while at HIMSS.

Visit http://goo.gl/tFeGu to sign up to meet RISC Practice Leader Chris Heuman, or http://goo.gl/qyg3g to sign up to meet one of the other experts.

HIMSS is an amazing event if you’ve never been. The volume of information, presence of industry leaders, and excitement is second to none in the healthcare IT space! If you haven’t had the chance to go in previous years, we at RISC highly recommend it!

If you can’t make it this year, HIMSS is trying to do a great job of making a lot of the content available online, for a reasonable fee, here.

If local events with smaller crowds and higher value, individual attention and hands-on demos is more your style, keep your eyes open for the RISC Healthcare Information Security Conference inaugural event in 2014. RISC will bring together experts in the industry, focused on Healthcare IT Security and Compliance to provide attendees practical advice, useful tools, and technical demonstrations directly related to your healthcare IT and security role.