Agree with all on this as well although we are listing my name on the NPP...

Thomas L. Johnson
Vice President, External Affairs and Compliance
D.C. Chartered Health Plan
820 First Street, N.E. Suite LL100
Washington, DC 20002
(p) 202-408-2034
(f) 202-408-0838 


-----Original Message-----
From: [EMAIL PROTECTED] [mailto:[EMAIL PROTECTED]
Sent: Monday, March 10, 2003 1:30 PM
To: WEDI SNIP Privacy Workgroup List
Subject: Re: named Privacy officer on NPP, posting


I agree with Deborah's response to both questions.  At the HHS/OCR
conference in Atlanta a few weeks ago, Richard Campanelli (Director of OCR)
made it very clear that:  If you don't get a Notice you haven't been
provided with your rights.  Also, that "Notice on the wall is not enough."
He stated that the Privacy Rule's intention is that a direct treatment
provider would provide each patient with a copy of the NPP - it has contact
information on it and the individual should be able to take it home and read
it.  Mr. Campanelli was quite clear as to a CE's obligations relative to the
NPP and that OCR would not look kindly on a CE who tried to cut corners.
Jean Acevedo, LHRM, CPC, CHC.


In a message dated 3/10/2003 12:51:32 PM Eastern Standard Time,
[EMAIL PROTECTED] writes:

> 1) yes, you can just list the title of the Privacy Officer. That is what
we are doing. Otherwise you have to redistribute every time your Privacy
Officer changes.
> 2) I don't think this meets the requirements. But I'd see what everyone
else says. 
> Deborah Campbell 
> Compliance Coordinator 
> Dominion Dental Services, Inc. 
> 115 South Union Street, Suite 300 
> Alexandria, Virginia 22314 
> Phn: (703) 518-5000 ext. 3035 
> Fax: (703) 518-8849 
> Toll Free:  888-518-5338 
> Email: [EMAIL PROTECTED] 
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> -----Original Message----- 
> From: [EMAIL PROTECTED] [mailto:[EMAIL PROTECTED] 
> Sent: Monday, March 10, 2003 12:39 PM 
> To: WEDI SNIP Privacy Workgroup List 
> Subject: named Privacy officer on NPP, posting 
> 
> 
> I have two quick questions for the group: 
> 1.   When your Notice of Privacy Practices (NPP) says to contact the
Privacy Officer for such and such, does the Privacy Officer need to be a
NAMED individual  or can you just list the title of the contact person
(e.g., the Privacy Officer)?
> 2.    Since the law calls for a "posting" of the NPP, can we display a
stapled copy of our 6 page NPP in a locked bulletin board (which would then
just show the first page of the NPP) and then have a sign next to this
"displayed" NPP that tells the inquisitive patient where in our office they
can get a complete copy of the NPP if they wish?  I realize that this
proposal probably goes against the intent of this provision of the law but
would it be technically be sufficient to meet the requirements of this
provision?
> Reasons behind such a proposal are 1.  Space is a problem, 2.  Hanging up
a 6-8 page NPP looks trashy.  3.  All patient's will be personally handed
the NPP so what's the point of posting it anyway?  4.  And we would be
"posting" it, it's just that you could not read all the pages of the posted
version!
> Thanks for all advice provided. 
> Rich Fairley 
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