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As HIPAA Progresses…..

As HIPAA Progresses…. …What you need to know to keep up. HIPAA Progresses. HIPAA EDI (Electronic Data Interchange) HIPAA Unique Provider & Employer ID HIPAA Security HIPAA Privacy Compliance NOA References to help you with HIPAA. HIPAA Progresses. HIPAA EDI (Electronic Data Interchange)

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As HIPAA Progresses…..

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  1. As HIPAA Progresses….. …What you need to know to keep up

  2. HIPAA Progresses • HIPAA EDI (Electronic Data Interchange) • HIPAA Unique Provider & Employer ID • HIPAA Security • HIPAA Privacy Compliance • NOA References to help you with HIPAA

  3. HIPAA Progresses • HIPAA EDI (Electronic Data Interchange) • HIPAA Unique Employer ID • HIPAA Security • HIPAA Privacy Compliance • NOA References to help you with HIPAA

  4. EDI (Electronic Data Interchange) • If you use EDI it must comply with HIPAA • HIPAA does not force you to use EDI except for Medicare claims under limited circumstances

  5. EDI (Electronic Data Interchange) Why HIPAA EDI? • Prior to HIPAA EDI multiple EDI data forms • Different entities could not communicate • Delays and confusion in claims

  6. HIPAA Administrative Simplification • Sets standard data sets • Routine Care (VSP, EyeMed, CVC) • Medical Claims (Medicare, BCBS)

  7. Affects most electronic health data • Claims/Encounter submission • Payment remittance notices • Insurance eligibility • Claim status and…

  8. Additional electronic health data • Group Health enrollment • Health insurance premium payments • Other Internet health data

  9. End Result • When the data ends up at 3rd party payer it must be in HIPAA EDI format • Examples Follow: Current Method vs. HIPAA EDI

  10. Current vs. New: Authorization • Current Method • Provider seeks authorization over Internet  • 3rd Party Payer receives and replies • HIPAA EDI • Provider seeks authorization over Internet  • HIPAA compliant site or program intervenes  • 3rd Party Payer receives in HIPAA format and replies • WYNTD: Test

  11. Current vs. New: Routine Care Claims • Current Method • Provider completes web page form over Internet  • 3rd Party Payer receives and replies • HIPAA EDI • Provider completes web page form over Internet  • HIPAA compliant site or program intervenes  • 3rd Party Payer receives in HIPAA format and replies • WYNTD: Test

  12. Current vs. New: Medical Claims • Current Method • Provider’s paper data  • Billing service - Clearinghouse  • 3rd Party Payer • HIPAA EDI • Provider’s paper data  • HIPAA compliant Billing service - Clearinghouse  • 3rd Party Payer • WYNTD: Test

  13. Current vs. New: Medical Claims • Current Method • Provider’s data  • Computer program  • 3rd Party Payer • HIPAA EDI • Provider’s data  • HIPAA compliant computer program  • 3rd Party Payer • WYNTD: Test

  14. Testing NOW (yesterday!) is imperative • If you wait, you will be delayed by a traffic jam • Payment will be delayed until you comply • It is anticipated that many practitioners will not comply • It is anticipated that back-up systems will be swamped • Fax • Phone • Paper • Non-electronic filers should anticipate delays as well

  15. Contact all 3rd parties for immediate testing if: • You file claims electronically with them. • You communicate with them electronically in any way except • voice phone • paper fax

  16. Contacting 3rd parties • NOA August issue of 3rd Party Newsletter contains pages of information on what questions to ask. • Newsletter available at the NOA Website if you don’t have a printed copy

  17. Contacting 3rd parties • Respective 3rd party contact information should be available in their manual. • NOA 3rd Party HIPAA web page will contain as many contact sites as Dr. Quack can find. • Please email Dr. Quack of other sites not listed on NOA HIPAA Web page so he can add them to the list.

  18. Medicare and EDI • If you have 10 or more FTE employees you must file with Medicare via EDI • Most offices of this size already use EDI • If you have less employees you do not have to tell Medicare (no waiver needed) • No official employee counter has been appointed to Dr. Quack’s knowledge

  19. Medicare and EDI • Electronic filers should TEST as described • Delays in paper claim payments expected since more paper claims -with errors- are anticipated

  20. HIPAA EDI Bottom Line: TEST IMMEDIATELY

  21. HIPAA Continues • HIPAA EDI (Electronic Data Interchange) • HIPAA Unique ID • HIPAA Security • HIPAA Privacy Compliance • NOA References to help you with HIPAA

  22. National Identifiers • Requires standard Identifier for • Health care providers • Health-related Employers

  23. Applies to • All health plans, • All health care clearinghouses, and • Any health care providers that transmit any health information in electronic form

  24. Electronic transmissions include all media: • Magnetic tape • Disk • CD media

  25. Transmissions include • Internet • Extranet • Leased lines • Dial-up lines • Private networks.

  26. Not Included • Telephone voice response • “Fax back” systems

  27. Estimated time of implementation: • Mid-2004 (Dr. Quack wonders…)

  28. Action needed at this time: • None

  29. HIPAA Continues • HIPAA EDI (Electronic Data Interchange) • HIPAA Unique Employer ID • HIPAA Security • HIPAA Privacy Compliance • NOA References to help you with HIPAA

  30. HIPAA Security and Electronic Signature Standards • Requires health care information be protected to ensure privacy and confidentiality when electronically • stored, • maintained, or • transmitted.

  31. HIPAA Security and Electronic Signature Standards • The proposed security standards also specify a standard for electronic signature • …but does not require the use of an electronic signature

  32. Applies to • All health plans, • All health care clearinghouses, and • Any health care providers that transmit any health information in electronic form

  33. Electronic transmissions include all media: • Magnetic tape • Disk • CD media

  34. Transmissions include • Internet • Extranet • Leased lines • Dial-up lines • Private networks.

  35. Not Included • Telephone voice response • “Fax back” systems

  36. Estimated time of implementation: • 2005

  37. Action required at this time: • None

  38. HIPAA Continues • HIPAA EDI (Electronic Data Interchange) • HIPAA Unique Employer ID • HIPAA Security • HIPAA Privacy Compliance • NOA References to help you with HIPAA

  39. HIPAA PRIVACY What do we do now? • Dr. Quack has been receiving many Questions regarding HIPAA Privacy • Some show fear and over-reaction • Others reflect lack of compliance • ERGO: • 15 Minute review of HIPAA Privacy basics • For those that already understand, please be patient!

  40. HIPAA PRIVACY What do we do now? • Read aloud your Notice of Privacy Practices at staff meetings once a quarter. • Follow it with a HIPAA discussion of • reasonable safeguards • minimum necessary • Your Privacy Officer should review and update your HIPAA Privacy Manual once a quarter.

  41. OCR Guidance • Privacy Rule permits certain incidental uses & disclosures of PHI when the covered entity uses • reasonable safeguards • minimum necessary policies & procedures

  42. Reasonable Safeguards • Speaking quietly when discussing a patient’s condition with family members in a waiting room or other public area; • Avoiding using patients’ names in public hallways & elevators

  43. Reasonable Safeguards • Posting signs to remind employees to protect patient confidentiality; • By supervising, isolating, or locking file cabinets or records rooms; • By providing additional security, such as passwords, on computers maintaining personal information.

  44. More Safeguards • Ask waiting customers to stand a few feet back from a counter used for patient counseling. • Use of cubicles, dividers, shields, curtains, or similar barriers where multiple patient-staff communications routinely occur

  45. OCR Guidance • Privacy Rule permits certain incidental uses & disclosures of PHI when the covered entity uses • reasonable safeguards • minimum necessary policies & procedures

  46. Minimum Necessary Rule • Requires limit of access to PHI, based on needs to perform job duties. • Unimpeded access to PHI, where not necessary for the job at hand, is not applying the minimum necessary standard. • Any incidental use or disclosure that results from not applying the Minimum Necessary Standard would be an unlawful.

  47. Minimum Necessary Rule • The minimum necessary standard does not apply to disclosures, including oral disclosures, among health care providers fortreatment purposes

  48. FAQs Frequently Asked Questions….

  49. OCR Guidance FAQs....... confidential conversations • Q: Can health care providers engage in confidential conversations with other providers or with patients, even if there is a possibility that they could be overheard? • A: Yes, when using reasonable safeguards.

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