You are absolutely correct that there is much in HIPAA than what is in 42
C.F.R. Part 2. Isn't it nice that SAMHSA et al are being so timely with
their assistance? The Legal Action Center, a well-known, well-respected
non-profit based in New York that has done a lot of work in interpreting 42
C.F.R
mparison to 42 C.F.R. Part 2 (Al
cohol and Drug Patient Privacy)
Matt-
I'll take a stab at answering your question. Please remember that in an
effort to keep it relatively brief, this is a fairly simplistic, high-level
overview.
Under 42 C.F.R. Part 2 (which I'll refer to as the AOD (Alco
Matt-
I'll take a stab at answering your question. Please remember that in an
effort to keep it relatively brief, this is a fairly simplistic, high-level
overview.
Under 42 C.F.R. Part 2 (which I'll refer to as the AOD (Alcohol and Other
Drugs)regs), disclosure within a "program" is allowed on a