For those looking into email issues specifically, please see HealthyEmail,
www.healthyemail.org . It's a nonprofit, I'm on the board, and the point of
the exercise is to get policy and procedural tools out to support the
clinical (principally physician practice) use of email. The other advisors
Folks -
The plain language requirement for the NPP incorporates regulatory
requirements that include translation into other languages if they are a
material element of the population you serve. I did the research well over a
year ago so don't recall the citations, and don't have time to dig it up
Not
that knowing that is much help in figuring out what you need to do . .
.
John R. Christiansen Preston | Gates |
Ellis LLP 925
Fourth Avenue, Suite 2900 Seattle, Washington
98104 (Direct: 206.370.8118 (Cell:
206.683.9125 * [EMAIL PROTECTED] Notice: Internet e-mail is inherently
Who's
doing this?
Can
you guess what law schools are promoting coursesin
successful litigation under HIPAA regulations? Wehave
at least one here in Florida I am aware of.
Please let me know, I'd
love to see the curriculum andfigure out the holes in it, perhaps work up
articles to help
rección mostrada y elimine el
mensaje original. Gracias.
-Original
Message-From:
Christiansen, John (SEA) [mailto:[EMAIL PROTECTED]] Sent: Thursday, January
16, 2003 7:09
PMTo: WEDI SNIP Privacy Workgroup
ListSubject: RE: Here is a
good Privacy Issue that will cause p
Hate
to say it, but I disagree: Under HIPAA a pharmacist's job is to establish and
comply with certain policies for privacy, security and electronic claims
processing. It is a pharmacist's *professional* obligation to avoid (or
mitigate) harm to individuals, and HIPAA is not intended to
I can send you a copy of a presentation I did on employer compliance
obligations as plan sponsors, etc., if you like but we should do so
off-list. Let me know.
From: John R. Christiansen
Preston | Gates | Ellis LLP
701 Fifth Avenue, Seattle, Washington 98104
*Direct: 206.613.7118 - *Cell: