If this is an old issue, excuse my going over old ground. But, I would appreciate any guidance.
Here is the situation. A self-funded health plan sends a monthly electronic enrollment roster to its plan administrator. That roster contains personal information on individuals being added to and deleted from the health plan. I know this roster must meet privacy and security requirements. My question is: Must this roster be formatted to meet HIPAA EDI transaction requirements? Thanks in advance for any help. Si Nahra
