The AIS Guide to Blue Cross and Blue Shield Plans: 2010

Major New HIPAA Rules Issued: Learn What Steps You Need to Take Soon - August 18 Webinar


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Recording and written materials of
AIS's audioconference on
March 11, 2009

Major New HIPAA Requirements: How to Comply With Strong Privacy and Security Measures Signed by President Obama

The mammoth economic stimulus legislation signed by President Obama on Feb. 17 contains the most significant changes to federal health care privacy and security law since the enactment of HIPAA. The new law includes challenging new patient privacy and security requirements that will affect virtually all hospitals and other providers, health plans, and other HIPAA covered entities (CEs), as well as HIPAA business associates. Among other things, it regulates “business associates,” includes a strong security breach notice requirement, tightens rules on when PHI can be used for marketing, modifies the  accounting for PHI disclosures, increases penalties for noncompliance, and funds significantly more aggressive enforcement.

Learn what specific steps your organization must take to incorporate this groundbreaking new federal law into your existing HIPAA compliance program.

Sponsored by Atlantic Information Services, Inc., publisher of Report on Patient Privacy, HIPAA Compliance Center and Report on Medicare Compliance

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There is a new HIPAA sheriff in town. The Obama Administration pledged stronger privacy enforcement and has just “put its money where its mouth is” by funding stronger enforcement, setting far stiffer penalties for noncompliance, and tightening a number of HIPAA compliance provisions, all of which will be effective after regulations are issued.

Piggybacked onto new electronic health records legislation, which was a high priority in President Obama’s stimulus package, new privacy and security measures in the HITECH Act (which is included in the American Recovery and Reinvestment Act of 2009) are now federal requirements for hospitals and other providers, health plans, and countless other HIPAA covered entities ... which must now understand and comply with them.

This is not another round of proposals from some federal subcommittee or privacy advocacy group. This is now federal law, and the financial penalties for noncompliance — in addition to the horrid publicity organizations get for privacy breaches and findings of noncompliance — will increase significantly in the near future.

Veteran HIPAA attorney Reece Hirsch, with Sonnenschein Nath & Rosenthal LLP in San Francisco, outlines the specific steps your organization must take soon to comply with:

  • New requirements related to “covered entities” and “business associates,”
  • The strong new federal security breach notification law,
  • New guidance for satisfying the “minimum necessary” standard,
  • Tighter rules on when PHI can be used for marketing purposes,
  • New rules for fundraising communications,
  • New measures for accounting for PHI disclosures in electronic health records,  
  • Stiffer penalties for noncompliance ... and heightened federal enforcement.

Speaker

REECE HIRSCH, a partner in the San Francisco office of the law firm of Sonnenschein Nath & Rosenthal LLP, is one of the nation's leading health care privacy and security attorneys. Mr. Hirsch counsels hospitals, health plans, insurance companies, pharmaceutical companies, physician organizations and health care technology companies with respect to a wide range of privacy and security compliance issues. He has written and lectured extensively on HIPAA privacy and security, security breach notification issues, and state and federal privacy and security laws. Mr. Hirsch is a contributing author to AIS's HIPAA Compliance Center at www.AISHIPAA.com.

Moderator: Nina Youngstrom, Managing Editor, Report on Patient Privacy and Report on Medicare Compliance

 

Designed Especially For

Compliance officers, privacy officers, data security and IT managers, internal auditors, legal counsel and business managers with:

  • Hospitals and health systems
  • Health plans and insurance companies
  • Health care clearinghouses
  • Billing companies
  • Large medical group practices
  • Ancillary provider groups
  • Pharmaceutical companies
  • E-health companies

...and other health care organizations that are HIPAA covered entities or business associates, which have new obligations under the recently enacted law.

 

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*CDs and MP3 files will be available within three weeks of the conference date.

 

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