Archive for September, 2010

Dementia – Part II: Best Practices to Consider

Monday, September 27th, 2010

The Mental Health Foundation (2006) defines dementia as “a decline in mental ability which affects memory, thinking, problem-solving, concentration, and perception. Dementia is almost invariably a disease of aging.”

Building upon the ten warning signs (see Part I Dementia), the following dementia best practices from the Alzheimer’s Association and other valued sources, focus on early recognition of symptoms with suggested best practice interventions.

Assess the person to determine level of difficulty with activities listed below. A positive finding may be considered an indication for further screening and history identified. A Home Health Agency protocol will no doubt include a directive to report results to the physician.

The Assessment should include:

Learning of new information

  • Does the person exhibit repetitive stating?
  • Does the person have difficulty remembering recent conversations, events, or
  • placement of personal objects?
  • Does the person utilize memory aids?

Reasoning ability

  • Is the individual able to respond with a reasonable plan for problems at home,
  • such as knowing what to do if there were a kitchen fire?
  • Do they know how to handle telephone calls from family, from telemarketers?

Language recall

  • Does the individual have increasing difficulty finding the correct words to express what he or she wants to say?
  • Do they struggle finding the right work for a sentence or call something by the incorrect name and not correct it?

Handling complex tasks

  • Does the individual have difficulty following a complex train of thought or
  • performing tasks  that require many steps such as following a recipe?
  • When out walking with a family member, can the patient retrace their path home?

Spatial ability and orientation

  • Does the individual have trouble driving, organizing objects around the house, and finding his or her way around familiar places?

Behaviors

  • Does the individual appear silent more frequently?
  • Does the individual appear more passive and less responsive?
  • Is the individual more irritable than usual; is suspicious of others, or misinterprets visual or auditory stimuli?
  • Do certain events trigger behavioral responses?
  • Is there difficulty discussing current event in an area of interest?

The Home Health clinician understands that a thorough assessment of the patient, support services, and environment is necessary so that an appropriate plan of home health care can be implemented. The National Care Forum (2007) supports the need for an overall assessment. They identify that this is crucial to the development of a useful care plan.  The Forum states additional indicators of best practice include:

  • Evaluation and re-evaluation (Specific services are provided based on the patient’s health care, physiotherapy, and nutritional needs)
  • Involve the patient and family with the careplan. Life stories are used to ensure understanding of the individual.
  • Consider cultural needs and their implementation into the plan of care.
  • Promote the well being for the individual. (Develop measurements of well being and satisfaction for the individual)
  • Care Plans will be used as communication tools, so they must be clear and concise but house depth so the team can individualize care.
  • Match personnel with patients. (Suggest to the family that caregivers must match the well being needs of the individual).
  • Actively involve family and friends, not only for the patient’s needs, but also for the respite of primary family caregivers
  • Technology and telecare telemonitoring may be used to complement care to promote safety and maximize independence (Monitoring bracelets may be needed for individuals who attempt to leave the home).

The Alzheimer’s Association of Australia(2007) state that patterns, convenient schedules and consistent personnel are essential for care. Consistency aids to promote calm. A schedule is necessary.  Focus on retained abilities. What are and have been interests of the individual? Incorporate these interests into the careplan and plan of care. Use the familiar environment as a therapeutic psychosocial tool; i.e. continue favorite activities such as have tea in the afternoon using their familiar china so a sense of comfort is encouraged. Have behavioral management guidelines for the patient and family in place and understood.

The Alzheimer’s Association Campaign for Quality Care (2007) states that a developed checklist can assist to identify certain behavioral symptoms. The list includes observing for:

  • Changes in ability to focus
  • Changes in emotional and physical agitation
  • Changes in mood, suspicion of others
  • Hallucinations, illusions, withdrawal from others
  • Wandering, pacing, rocking

Any symptoms from the above list should not routinely be attributed to Alzheimer’s Disease. A health care professional needs to rule out other causes such as environment, medication, or another health condition (infection, pain, depression, or boredom).

Families can provide information regarding the individual’s prior and present life, customary routines, preferences, behavior triggers, and results of attempted interventions. They can help interpret language, nonverbal interactions and the meaning behind the behaviors affected by major life events and traditions. Include caregivers in the assessment process, as they are an integral part as they notice subtle, individual cues they’ve come to understand.

Ask questions in a systematic way, write down the answers, incorporate these interests into the careplan, observe and intervene.

Include in the Plan:

  • Many home health assessments for Dementia include the CLOCK Drawing Test (CDT).

This exam includes the patient being asked to:

  1. Draw a clock
  2. Draw in all of the numbers
  3. Set the hands at ten minutes past eleven

The Alzheimer’s Disease cooperative scoring system for the Clock Drawing Test is based on a score of five points.

1 point for the clock circle

1 point for all the numbers being in the correct order

1 point for the numbers being in the proper special order

1 point for the two hands of the clock

1 point for the correct time

A normal score is four of five points

The test assists in identifying general cognitive and adaptive functioning such as memory, information processing, and vision issues. Research supports a normal drawing of a clock almost always predicts cognitive abilities within normal limits. Remember, the Clock Drawing Test does not aid in differentiating between vascular dementia and Alzheimer’s Disease and is not sensitive for mild cognitive impairments.

Best Practices from Alzheimer’s Association (2006) Alzheimer’s Association Australia (2007):

  • Have a well established philosophy of care that is shared with all of the team
  • Establish timelines for ongoing formal assessments
  • Identify the care will be person-centered with flexible scheduling of care
  • Identify there will be interdisciplinary care supported with a consistent approach to care
  • Consistency with personnel and other caregivers.
  • Medication optimization
  • All personnel need to be well trained in dementia care
  • Acknowledgement of previous skills
  • Work closely with the family and caregivers
  • Use the environment as a psychosocial tool
  • Have behavioral management guidelines taught to entire team

Implementing the Practices:

  • Have the baseline Clock Drawing Test available
  • Communication should be open and supportive to patients, family, and caregivers
  • Provide Person-Centered Care Philosophy which honors an individual’s personhood (Kirkwood, 1997)
  • Medication Optimization teaching
  • Optimize functioning to include walks and exercise movement as tolerated
  • Institute a Falls Risk Program with special equipment recommendations
  • Assess environment and institute safety and care suggestions
  • Have extended meal times to allow for conversation and a calming environment
  • Assess and institute a Pain Management Program

Coding Tip: If the physician diagnosis for the patient is dementia, expect the Select Data coding team to code 294.8 (other persistent mental disorders due to conditions classified elsewhere, or dementia). If the physician lists or confirms the clinician’s assessed symptoms, the Select Data team will code them separately such as paranoid state would be coded 297.9 (Unspecified paranoid state) for delusions. Should the physician identify a specific diagnosis, then codes such as 290.3 (Senile dementia with delirium) will be listed. If the dementia is from an underlying condition, the physical condition, such as 331.0 (Alzheimer’s Disease) is listed first then a code from subcategory 294.1 (Dementia in conditions classified elsewhere) will be chosen to capture the related dementia.

Instituting a best practice dementia care practice can be challenging but fulfilling. Momentum can be maintained by frequent case conferences and seeking ongoing feedback from family and caregivers. Ongoing personnel education is needed so competency skill levels remain high.

ADDITIONAL SOURCES:

Alzheimer’s Association Campaign for Quality Care: Dementia Care Practice Recommendations for Professionals Working in a Home Setting, Phase 4, 2009

2010 Alzheimers Facts and Figures
http://www.alz.org/documents_custom/report_alzfactsfigures2010.pdf

Hudson, R. (Ed), (2003). Dementia nursing: a guide to practice. Ausmed Publications, Melbourne Australia

Kirkwood, J. (1997). Dementia reconsidered: The person comes first. Open University Press. Berkshire, UK.

McCann-Beranger, J., (2002). A caregiver’s guide for Alzheimer and related disorders. The Acorn Press, Chalottetown, PEI.

National Care Forum Older People and Dementia Care Committee (2007) Statement of best practice: Key principles of person-centred dementia care. Coventry CV1 2DY www.nationalcareforum.org.uk

Robinson, J. (March/April, 2007). Utilizing best practice in dementia care. In Canadian Nursing Home Journal.

Dementia – Part 1: The Disease Symptomatology

Thursday, September 23rd, 2010

Dementia is a syndrome in which progressive deterioration in intellectual and cognitive abilities is so severe that it interferes with the person’s usual activities of daily living including socialization and occupational functioning. An estimated 5 to 10 percent of the U.S. adult population ages 65 and older is affected by a dementia disorder. In this age group, the dementia incidence doubles every 5 years. Dementia makes it hard for an individual to remember, to learn, and to effectively communicate. The brain disorder may cause lapses in memory and disruptive behavior burdening caregivers. This disorder hurts the person afflicted as well as those around him/her.

The Symptoms

Despite its prevalence, dementia often goes unrecognized in its early stages. Many health care professionals, as well as patients and family members chalk up the symptoms to “old age”.  Dementia is caused by damaged brain cells due to a head injury, stroke, or, a disease like Alzheimer’s. The Ten Warning Signs identified by the Alzheimer’s Association include:

  • 1. Recent memory loss. This is demonstrated in recurrent questions for information already answered.  The Alzheimer’s Association states, in contrast, a typical age-related change would be forgetting a name but remembering it later.
  • 2. Problems with language; speaking and writing. The person with dementia may not understand what they want or how to verbalize the request. They may exhibit difficulty in following a conversation or call familiar items by an incorrect term. In contrast, the Alzheimer’s Association states that an age-related change might be having difficulty finding the correct word in a sentence.
  • 3. Diminished judgment. This person may go outside on a cold day and forget their shoes. They may not pay attention to grooming. In contrast, the Alzheimer’s Association states a typical age-related change might be making a poor decision periodically.
  • 4. Confusion with time and space. This person may become confused regarding dates and seasons. In contrast, the Alzheimer’s Association states that an age-related change may include forgetting what date it is but being able to problem solve to find the correct answer.
  • 5. Misplacing things and losing the ability to retrace steps. The individual may lose items, put the items in unusual places, and have difficulty retracing their steps to locate the items. In contrast, the Alzheimer’s Association states that any individual may misplace items periodically, such as glasses, car keys or the remote.
  • 6. Challenged abstract thinking or solving problems. An individual with dementia may attempt to balance a checkbook but forget the meanings for number categories or they may have trouble following a once familiar recipe. In contrast, the Alzheimer’s Association identifies a typical age- related change might be making an error in the checkbook.
  • 7. Difficulty in completing familiar tasks. Sometimes the person experiencing dementia may not remember rules to a favorite game or driving to a location and forgetting how to return home. In contrast, an age-related change might mean requiring assistance with some technology.
  • 8. Rapid mood shifts and changes in personality. Families frequently report their loved one will be happy one moment and tearful the next and angry within the next moment. They may also report a loving calm friend is now anxious, fearful, and suspicious. In contrast, the Alzheimer’s Association cites an age-related change may include acquiring a specific routine and becoming irritable if it is disrupted.
  • 9. Challenges with initiative and withdrawal from work or social activities. A person suffering from dementia frequently displays lack of initiative and difficulty acquiring new skills or maintaining knowledge of a favorite sport or hobby.
  • 10. Difficulty understanding visual images and spatial relationships. A person with Alzheimer’s Disease may exhibit visual and distance judging difficulty as well as difficulty determining color contrasts. An age-related disease may include visual difficulties due to cataracts.

Dementia displays a non-specific illness syndrome in which affected areas of cognition include memory, language, attention, judgment, and problem solving. In later stages, the affected individual is usually disoriented to time, place, and person.

Careful assessment of history is essential to rule out various diseases and disorders that include organ dysfunction. Certain mental disorders can also produce symptoms.

The Alzheimer’s Association has compiled a detailed 64 page compendium of practice recommendations. The recommendations include a strong person and family – centered approach to dementia care. Individualizing care to the abilities and needs of individuals affected by the disease are stressed. This type of approach respects cultural and family values focusing on maintaining the traditions of the family and encouraging personalized care. Relationship building with family members is a cornerstone to care of an individual with dementia. In part two of this series, care and best practices will be discussed further.

Dementia Care Practice Recommendations for Professionals Working in a Home Setting

http://www.alz.org/national/documents/Phase_4_Home_Care_Recs.pdf

Home Health Quality Manuals & Resources

Tuesday, September 21st, 2010

Just for you, (CMS) has posted new and updated quality manuals and other tools and resources that are now available to help with agency quality improvement initiatives.

New and Revised Manuals:

  • Process Based Quality Improvement (PBQI) Manual NEW. This is the fourth in the CMS series for OASIS. This manual describes the Process Quality Measure Report in detail. It discusses how the report will be used for quality monitoring purposes.
  • Outcome Based Quality Improvement (OBQI) Manual REVISED AND UPDATED. This manual will also be found under OASIS OBQI.  This manual discusses the thirty seven (37) risk-adjusted outcome measures derived from OASIS data, which will measure changes in a patient’s health status between two or more time points. The manual has a focus  not only on the use of the OBQI Reports but chapters discuss how to interpret those reports as well as how to invest in care processes and plans of action .
  • Outcome Based Quality Management (OBQM) Manual REVISED AND UPDATED. This manual will also be found under OASIS OBQM. This manual describes the OASIS-based reports essentially the Potentially Avoidable Event Report (formerly the Adverse Event Report) and agency Patient Related Characteristics Report (formerly the Case Mix Report). This report will display incidence rates for 12 infrequently occurring untoward events.
  • OASIS-C Guidance Manual/Errata The manual and both errata updates are available online.

As of September 1, OASIS-C Process Measure Reports are available in the CASPER System and QIES Workbench (QW). Please see the QTSO Memorandum #2010-129 dated August. 13, 2010, that contains detailed information and is available at www.qtso.com.

A users’ guide is available to providers on the OASIS State Welcome Pages and to State Agencies on the “QIES to Success” page under “Training and Education.” Home health agencies that have questions concerning this information can contact the QTSO Help Desk by email at help@qtso.com or by phone at (888) 477-7876.

Additionally, CMS has created a training video on the Process Based Quality Improvement (PBQI) process.  CMS plans to place another video on YouTube. This video will review M1810, M2250, and M2400 have scenarios for improved understanding.

Helpful Home Care Websites at Your Fingertips

Monday, September 20th, 2010

Never before has a home health agency leader required such close contact with so many industry regulatory bodies and changes. Operationally, clinically, and financially the need to keep current is fierce. This week we are providing a handy list of key homehealth related websites. You may have websites you think should be added. Please let us know.

ABN, HHABN, and the Notice of Medicare Non-Coverage, aka Expedited Determination Notice:
http://www.cms.gov/BNI/

Abt Associates- “Analysis of Home Health Case-Mix Change 2000-2008:
www.cms.gov/center/hha.asp

Billing in Home Health- Chapter 10 Medicare Claims Processing Manual:
www.cms.hhs.gov/manuals

CASPER Reports:
http://www.cms.gov/HomeHealthQualityInits/16_HHQIOASISOBQI.asp

CMS new URL-
www.cms.gov

CMS Sponsored Calls:
http://www.cms.gov/HomeHealthQualityInits/02_CMSSponsoredCalls.asp#TopOfPage

CMS Website Wheel:
http://www.cms.gov/MLNProducts/02_Catalog.asp

CMS ICD9-CM Coding Guidelines:
http://www.cms.gov/ICD9ProviderDiagnosticCodes/

CMS Interpretive Guidelines:
http://www.cms.gov/GuidanceforLawsAndRegulations/06_HHAs.asp

Conditions of Participation (CoPs):
http://www.cms.gov/CFCsAndCoPs/12_homehealth.asp#TopOfPage

CY2011 HHPPS Proposed Rule:
http://edocket.access.gpo.gov/2010pdf/2010-17753.pdf

False Claims Act:
http://www.cms.gov/smdl/downloads/SMD032207Att2.pdf

Food and Drug Association Safety Communications:
www.CMS.gov/Drugs/DrugSafety/PostmarketdrugSafetyInformationfor PatientsandProviders/ucm204882.htm

GROUPER effective October 1, 2010:
www.cms.gov/homehealthpps/05_casemixgroupersoftware.asp/

HHCAHPs:
Proposed PPS Rule
http://edocket.access.gpo.gov/2009/pdf/R9-18587.pdf
CAHPs Survey
https://www.homehealthcahps.org

Home Health Quality Improvement National Campaign (free resources):
www.homehealthquality.org/hh/about/default.asp
http://www.cms.gov/HomeHealthQualityInits/Downloads/HHQIOBQIManual.pdf

Medicare Administrative Contractors (MACs):
http://www.cms.gov/GuidanceforLawsAndRegulations/06_HHAs.asp

MAC Protest: www.palmettogba.com/palmetto/providers/providers.nsf/DocsCatHome/Jurisdiction%2011%20Pa520A%20B
Medicare Learning Network (MLN): Web-based training courses:
www.cms.hhs.gov/MLNProducts/downloads/NPIBooklet.pdf

Medicaid Integrity Contractors (MICs):
http://www.cms.gov/ProviderAudits/Downloads/mipmicontractors.pdf

New York Compliance Program for hints of what may be coming nationally: www.omig.state.ny.us/data/images/stories/provider_compliance/adopted_regulations_521.pdf

OASIS-C:
http://www.cms.gov/HomeHealthQualityInits/12_HHQIOASISDataSet.asp#TopOfPage

Office of Civil Rights (OCR): HIPAA:
http://www.hhs.gov/ocr/office/index.html

OIG 194 page report:
www.oig.hhs.gov/publications/docs/compendium/compendium2010.pdf

Physician certification Limitation of Liability Language, CMS Publication 100-4, Chapter 30, 10
www.cms.hhs.gov/manuals/downloads/clm104c30.pdf

Potentially Avoidable Event Report (Formerly, the Adverse Events Report):
www.cms.gov/HomeHealth QualityInits/18_HHQIOASISOBQM.asp

Quality Measures- HHQI Home Health Quality Measures
www.cms.gov/HomeHealthQualityInits/10_HHQIQualityMeasures.asp
http://www.cms.gov/HomeHealthQualityInits/15_PBQIProcessMeasures.asp#TopOfPage

Recovery Audit Contractors (RACs):
http://www.cms.gov/rac/

Red Flags Rule:
http://www.ftc.gov/opa/2008/10/redflags.shtm

Zone Z-PICs:
http://www.cms.gov/manuals/downloads/pim83c04.pdf

Wound, Ostomy, Continence Nurses (WOCN)
http://www.wocn.org/

HIPAA HITECH Act Update

Wednesday, September 8th, 2010

On July 14, 2010, Health and Human Services (HHS) published a notice of proposed rulemaking that would modify the HIPAA Privacy, Security, and Enforcement Rules. The Proposed Rule implements the requirements of the HITECH Act as well as expands upon the statutory provisions of the HITECH Act. On March 15, 2010 HHS stated that other than the security breach notification rule and new penalty levels, the new regulation would be enforced. The compliance date for all provisions of the Proposed Rule is 180 days after publication of the Final Rule. HHS accepted comments on the Proposed Rule through September 13, 2010.

The proposed Rule, 58 pages, can be found at: http://edocket.access.gpo.gov/2010/pdf/2010-16718.pdf

Though there are proposed clarifications to the present rule, organizations must realize that HIPAA privacy, security, and enforcement rules are already statutes. An example is, as of February 17, 2010, Business Associates (BAs) must comply with HITECH. A schedule for fines and penalties is already in effect.
HITECH made BAs subject to compliance with the Security Rule and the use and disclosure provisions of the Privacy Rule. The Proposed Rule will expect BAs to comply with nearly all rules applying to Covered Entities (CE).
The American Recovery and Reinvestment Act of 2009

  • The American Recovery and Reinvestment Act of 2009 (ARRA) was signed into law on February 17, 2009. Title XIII of ARRA is the Health Information Technology for Economic and Clinical Health Act (HITECH Act). HITECH legislation is meant to affect health care delivery
  • One way to affect change is to provide financial stimulation to create and have physicians and hospitals adopt electronic health records (EHR). Another way was to make BAs equally responsible for entering in to a BA contract with Covered entity (CE) customers. BAs must ensure that contracts include language that puts the CE on notice that the BA is required to inform the CE if the CE appears to be violating the HIPAA Privacy and Security rules. If CEs do not comply, the BAs are to report them to the Office of Civil Rights (OCR).

The Federal operating plan can be found at: http://www.hhs.gov/recovery/reports/plans/onc_hit.pdf

This act includes $20 billion in funding for health information technology projects.
These projects include reimbursement incentives for health care providers to acquire electronic health record technology. Hospitals are being advised to move toward becoming paperless.

The HITECH Act has gotten TEETH

The HITECH Act has given the HIPAA Privacy and Security Rules real teeth by strengthening business associates agreements. One of the major goals of the HIPAA Privacy Act was and is “to assure that individuals health information is properly protected while allowing the flow of health information needed to provide and promote high quality health care and to protect the public’s health and well being.” HIPAA ensures that personal health information given to covered entities is protected, even information shared with home health agencies, physicians, hospitals, third party billing providers, coding specialists, and others who provide or pay for healthcare services. But Business Associates were not held to the same standards as covered entities. HIPAA HITECH moved to correct this weakness.

The Business Associate Agreement
The BAA states that the Business Associate is obligated to:
• Use/disclose PHI only as permitted or required by the agreement and by law.
• Use appropriate safeguards to prevent use or disclosure of PHI other than as permitted by the BAA.
• Report to the healthcare entity any use or disclosure of PHI not permitted.
• Require all subcontractors and agents that create, receive, use, disclose, or have access to PHI to agree, in writing, to be held to the same restrictions and conditions on use or disclosure of PHI.
HIPAA HITECH imposed breach notifications on both covered entities and business associates and increased individual rights with respect to PHI maintained in EHRs. In addition, there is increased enforcement of, and penalties for HIPAA violations (see ezine April 20, 2010).

Prior to the HITECH Act, a Business Associate (BA) was not directly subject to HIPAA privacy and security requirements. The BA obligations were to the CE under the terms of the agreement. The BA was subject to contractual remedies
only for any breach of the business associate agreement (BAA).

  • Prior to ARRA HITECH Business Associates were not required to meet the obligations for Administrative, Physical, and Technical safeguards and Procedure and Documentation Requirements.
  • NOW…the BAA must clearly require the BA to comply with HIPAA regulations just as the CE
  • Penalties for the BA are the same as the CE

The HITECH Act and the Proposed Rule require business associates to comply with the requirements of the HIPAA Security Rule and implement policies and procedures in the same manner as the CE. Also, subcontractors to business associates must develop Security Rule compliance programs. Rules to be followed include:
Security and Incident response policies

  • Breach Log
  • Every employee must understand they have personal responsibility for intentional breaches
  • Email is to be encrypted

BA must demonstrate understanding of HIPAA and ARRA.

Interestingly, the HIPAA HITECH Act does not impose all Privacy Rule obligations upon Business Associates, however, the BA is subject to penalty for violation of BA required terms. The BA is expected to comply with the “minimum necessary standard” of the Privacy Rule and must limit uses and disclosures of PHI.

The Proposed Rule would require that agreements between BAs and subcontractors be enforced. There is an obligation to enter into a BAA with a subcontractor and it will rest solely on the BA, not the CE. If a BA becomes aware of a pattern of practice of subcontractor activity that would constitute a material breach, then the BA must take reasonable steps to cure the breach and/or end the agreement.

Under HITECH, HHS created uncertainty when they did not clarify BAA amendment requirements however, the Proposed Rule would require new provisions that include simplified language regarding BA security obligations. This is called the “safeguard” provision. Business Associates must report a breach of unsecured PHI to the CE. Subcontractors are to be held to the same privacy and security obligations that apply to business associates. Business Associates are required to comply with the Privacy Rule and are subject to HIPAA penalties, not just contractual remedies.

Expect to see…

Look to HHS to provide sample simple language when the Final Rule is issued. Agencies should also look at the transition period to amend BAAs with HITECH-related provisions.

Agencies should also look at CE liability as the Proposed Rule has distinct differences than the present Enforcement Rule which, for instances, when the CE is not liable for the acts of an agent. Agencies now should have a BAA developed by counsel as BAs will be liable for actions of subcontractors and a CE may be liable for actions of an agent BA even if no BAA is executed.

The Privacy Rule gives individuals the right to obtain copies of their PHI from a CE including the extent that the HITECH Act expanded those access rights to PHI maintained in an EHR.

The HITECH Act has introduced new measures that are directed toward strengthening HIPAA enforcement. The Enforcement Rule of October, 2009 effected changes of the HITECH Act and the Proposed Rule makes further modifications to the Enforcement Rule including a tiered penalty structure.

ARRA prepares for the government goal of establishing electronic health records for all Americans by 2014

  • to accomplish this goal, privacy rules have been strengthened and the requirements for breach notification and responsibilities of business associates have been greatly increased.

CEs must prepare processes in response to the requirements and have updates to the BAA.

Select Data enforces HIPAA

At Select Data,

  • We believe in Corporate Compliance
  • We have a strong HIPAA Awareness and Corporate Compliance Plan which assertively strives to protect PHI.
  • We notify the Corporate Compliance Officer of suspected or actual incidents of PHI disclosure

At Select Data, we want to comply with the regulations and we want to protect health information because, not only is it the law, but, it is the right thing to do.

To Read the Federal Register…
To read more about HITECH, please refer to Federal Register/Vol 75, No. 134/Wednesday, July 14, 2010/Proposed Rules
Department of Health and Human Services, Office of the Secretary
45 CFR Parts 160 and 164
Modifications to the HIPAA Privacy, Security, and Enforcement Rules Under the Health Information Technology for Economic and Clinical Health Act
Agency: Office for Civil Rights