HIPAA Security Rule Step #1: Perform a Risk Analysis

In a recent discussion with a practice administrator, I discovered a pretty important misconception about what should really be included in a proper HIPAA Risk Analysis.  Not that the administrator was doing anything wrong but the understanding of what is a Risk...

Privacy Rule under HIPAA 2.0: Is it easier to just start over?

Changes to the Privacy Rule under the Omnibus Ruling require ALL CEs update and distribute their Notice of Privacy Practices (NPP).  There is no option, it is stated specifically.  A review of the changes makes it obvious why updates must be done, though. The original...

Business Associates: Step up Now to Protect your Covered Entities

The definition of a Business Associates (BAs) changed under HIPAA 2.0 to broaden the scope of who is considered a BA as well as exactly what a BA is obligated to do for compliance.  While the changes seem obvious and not too complicated to implement according to those...

Plan of Attack for HIPAA 2.0

Where do you get started with all these changes? It is important to understand that HIPAA 2.0 compliance means more than just having an annual training session and a book of policies on the shelf.  HIPAA 2.0 means regular training in all areas of your business and...

Omnibus Final Rule Quick Overview

There is a lot of information to cover in the details of the Final Rule. This article only contains a list of bullet points.  All changes in the 2013 Omnibus Rule are not guaranteed to be included in this list. Each entity should make sure they review all aspects of...

Small Providers and Business Associates – The Numbers

This blog focuses on Small Providers and Business Associates because they need help getting the compliance requirements under control and documented properly.  The data included in the Final Rule along with recent presentations by the Office for Civil Rights providing...