I think many of the .512 disclosures will be non-routine and non-recurring.  For example, I think many covered entities will have requests from law enforcement only very occasionally.
 

Chris Williams
Employee Benefits Group
Gordon, Feinblatt
233 E. Redwood St.
Baltimore, MD  21202
Voice:  410-576-4122
Fax:  410-576-4246

-----Original Message-----
From: Bard, Greg [mailto:[EMAIL PROTECTED]]
Sent: Wednesday, February 19, 2003 9:31 AM
To: WEDI SNIP Privacy Workgroup List
Subject: Non-Routine and Non-Recurring

Does anyone have some good examples of non-routine and non-recurring disclosures?

 

I have included marketing as a non-routine and non-recurring for a policy example but was hopeful someone had some additional examples.

 

Thanks!

 

Greg Bard

NASCO

HIPAA Privacy and Security Project Manager

(W) 678.441.6059

(F)  678.441.6359

[EMAIL PROTECTED]

 

 

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