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Nebraska Statewide Telehealth Network Privacy and Security

Nebraska Statewide Telehealth Network Privacy and Security. Reta Studnicka RStudnic@alegent.org Laura Meyers laurameyers@charter.net. Mission of the Nebraska Statewide Telehealth Network (NSTN).

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Nebraska Statewide Telehealth Network Privacy and Security

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  1. Nebraska Statewide Telehealth Network Privacy and Security Reta Studnicka RStudnic@alegent.org Laura Meyers laurameyers@charter.net

  2. Mission of the Nebraska Statewide Telehealth Network (NSTN) • To increase the quality, availability and accessibility of health care throughout the state of Nebraska, particularly as it impacts the rural population within the state. • To create video-conferencing capability allowing the rural areas of the State to have access to other health providers and information without the need for extensive travel within a Private Network.

  3. Patient Benefits • Decreases travel time • Lowers job absenteeism • Cost savings • Provides earlier disease intervention: Screening opportunities • Increased availability of local follow-up care may decrease ALOS in tertiary center

  4. Community Benefits • Improves Quality of Medical Services • Strengthens Ties to Specialty Care • Increases Confidence in Local Providers • Alleviates Isolation of Rural Providers • Increases Diagnostic Resources

  5. Provider Benefits • Potential for decreasing outmigration • Enhances clinical support • Increased referral opportunities • Provides the opportunity to enhance and supplement the services provided at existing outreach clinics

  6. Provider Benefits • Easy access to continuing education • Opportunities to consult with other professionals, even internationally

  7. Connection Status Today • Hub Sites: • UNMC (Omaha) • St. Elizabeth’s Regional Medical Center (Lincoln) • BryanLGH Medical Center (Lincoln) • St. Francis Medical Center (Grand Island) • Good Samaritan Hospital (Kearney) • Great Plains Regional Medical Center (North Platte) • Faith Regional Health Services (Norfolk) • Regional West Medical Center (Scottsbluff)

  8. Connection Status Today • Sixty-seven rural hospitals are connected to these hubs. • Nineteen public health departments will be connected (15-17 are connected at this time) • Also have connections to all but one bioterrorism lab • Omaha hospitals: Immanuel, Bergan Mercy, Creighton, Childrens, Methodist, Midlands, The Nebraska Medical Center • Other connections on the horizon: Winnebago Indian Hospital and Tecumseh State Correctional Institution

  9. Network Uses: Clinical • Clinical Consults • Rehabilitation Therapy • Disease Management • Emergent Care: Trauma, EPC, Mental Health • Family Advocacy Network: abuse and sexual abuse • Deaf and Hard of Hearing • On the horizon: Telepharmacy and Teledentistry

  10. Services Approved for Reimbursement • Consultations (CPT Codes 99241-99275) • Office or Other Outpatient Visits (99201-99215) • Individual Psychotherapy (90804-90809) • Pharmacologic Management (90862) • Psychiatric Diagnostic Interview Exams (90801) • End Stage Renal Disease (HCPCS codes G0308, G0309, G0311, G0312, G0314, G0317, G0318)

  11. Sites Approved for Reimbursement • Hospitals (inpatient/outpatient) • Critical Access Hospitals • Physician/Practitioner Offices • Rural Health Clinics • Federally Qualified Health Centers

  12. Network Uses: Education • Education • CMEs and CEUs • Grand Rounds • EMS Continuing Training/Considering Initial Training • RN/Allied Health Professional Degree Programs • Community Education/Support Groups • www.netelehealth.org

  13. Network Uses: Other • Administrative Meetings • Health Alert Network • Routine Testing • Lung Surgery “Scared Straight” • Language Interpretation

  14. Network Uses at This Time • Telehealth Education and Training • On-Going • Conducting Clinical Consults for Practitioners • Peripheral Devices • Creating a Telehealth Business Plan • Privacy and Security • Community Mental Health and Telehealth • Electronic Health Records

  15. The NSTN: Current Decision Making Structure, Priorities, Committees • Network Advisory Committee • Network Operations Group • NSTN Education Committee • Scheduling • Website • Evaluation • Privacy & Security Subcommittee

  16. HIPAA PRIVACY, SECURITY, and TELEHEALTH Covered Entities that must comply with the HIPAA Privacy and Security Standards • Health Care Providers • Health Plans • Health Care Clearinghouses

  17. A Reminder…. The HIPAA Privacy Regulation ensures that covered entities will comply with the HIPAA Privacy standards to protect patient’s health information from non-permitted uses and disclosures. For many covered entities, this required the development and implementation of over 50 new policies and procedures with related forms!

  18. Adding Telehealth Policies:Telehealth Encounters Must Protect Patient Health Information • Proper patient admission/registration • Notice of Privacy Rights and Practices • Acknowledgement • Telehealth Visit Consent Form • Providing a Private and Secure Telehealth Transmission • Providing a Private and Secure physical location for the telehealth encounter • Authorized personnel in attendance for telehealth medical visit

  19. ...couple of more requirements • Properly credentialed healthcare providers (Recommendation to credential as you would all “in person” healthcare providers) • Organized Healthcare arrangements “OHCA” – with the properly credentialed healthcare providers

  20. HIPAA SECURITY REGULATION • Ensures that covered entities will comply with the HIPAA standards to protect the confidentiality, integrity and availability of Electronic Protected Health Information (EPHI). • In the final rule, CMS divides security into three categories – these implementation specifications may be Required or Addressable: • Administrative safeguards (164.308) • Physical safeguards (164.310) • Technical safeguards (164.312)

  21. Required vs. Addressable Required • Must implement the specification in order to successfully implement the standard Addressable • Consider the specification, and implement if reasonable and appropriate • If not, document why it would not be reasonable and appropriate to implement the specification; and • Implement an equivalent alternative measure if reasonable and appropriate

  22. Security Standards • Protect against any reasonably anticipated threats or hazards to the security or integrity of such information • Protect against any reasonably anticipated uses or disclosures of such information that are not permitted or required under the security standards • Ensure compliance with the security standards by the workforce • Ensure confidentiality, integrity and availability of all EPHI the covered entity creates, receives, maintains, or transmits

  23. Next Steps • Coordination between Privacy and Security Officer within the organization • Include Telehealth when performing the required HIPAA Security Risk Analysis • Include Telehealth when considering Risk Management • Include Telehealth when developing and implementing Policies and Procedures

  24. Nebraska Statewide Telehealth Network Privacy and Security Subcommittee Goals: • Conduct the HIPAA Security Risk Analysis for the NSTN • Develop policy and procedure templates for Privacy and Security that are applicable to telehealth for the NSTN • Gather input from NSTN providers for best practices regarding privacy and security

  25. Questions?

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