Difference between revisions of "Safeguards to protected health records"

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Submitted by Sherry Dexheimer
 
Submitted by Sherry Dexheimer
BMI512-SUM-11
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Revision as of 12:53, 16 August 2011

Protected Health Records

Security and privacy go hand in hand. Security is about controlling access to electronic Personal Health Information; privacy is about controlling how electronic, oral, and written Personal Health Information is used and disclosed. Covered entities need to make it a top priority to establish and implement policies and procedures to protect patient information (1).

Compliance Organizations compliance guidelines, like law and industry codes reflect and are intended to serve patients by safeguarding medical information, enabling us to advance patient care while protecting patient privacy.

Fundamental elements to an effective compliance program: 1. Written policies and procedures for compliance 2. A designated compliance officer and committee 3. Effective training and education for employees 4. Effective lines of communication 5. Internal monitoring and auditing procedures 6. Enforcement of standards through disciplinary guidelines 7. Prompt responses to detected problems and implementation of corrective action (2)


Administrative Safeguards The Privacy Rule requires covered entities to perform administrative tasks to protect privacy of health information. Scalable confidentiality and security procedures, designated security officer, sanctions for violations, and signed statement by all employees regarding confidentiality of data (1).

Technical Safeguards Unique ID and password system stores password encrypted, weak passwords not allowed, automatic time logoff, system enforced password changes, firewall, and virus checking. Sharing of passwords between physicians and office managers is not allowed. Computers left open to the internet can leave medical records exposed to outsiders. Games on computers can crash the network and may contain viruses that damage network data. Passwords should give employees the level of information they need for their job.

Protecting Electronic Data Confidential information stored on a portable electronic device such as a laptop, USB drive, CD, DVD or PDA should be encrypted to ensure data cannot be retrieved by an unauthorized person if lost or stolen.

Recycling Placing protected information in an unsecured garbage can (including blue recycle cans) is not an acceptable method of disposal for documents that contain private information. Such information should be secured until shredded or properly destroyed.

Summary Healthcare providers in all settings implement compliance programs to protect patient privacy and to ensure ethical business practices. This is necessary due to the increased severity of penalties established by the Health Insurance Portability and Accountability Act (HIPAA) of 1996 and the Balanced Budget Act of 1997 (public law 105-33). By ensuring ethical business practices through compliance programs, healthcare providers reduce their risk of criminal and civil litigation in regards to privacy and security.(3)

References

1.Hartley, C. & Jones, E. (2004) HIPAA Plain and Simple, a compliance guide for healthcare professionals. AMA Press, Chicago, IL

2.Healthcare compliance-an introductory guide for employees. Johnson and Johnson. Retrieved from: http://www.shareholder.com/Shared/DynamicDoc/jnj/1293/6210%20Overview%20Guide_WEB_single_pg.pdf

3.AHIMA (2011). Healthcare compliance. Retrieved from: http://www.ahima.org/resources/compliance.aspx

Submitted by Sherry Dexheimer