Correct other email dialogue offer the the FAQ in which CMS stated:

CMS FAQ: How would someone file a complaint against a covered entity?
CMS will develop a web-based complaint management process, and will provide information on this process as part of our HIPAA outreach activities.

As a part of HCCO due diligence to serve its members, we will offer education and mediation services which go beyond Medicaid and Medicare requirements.

PLEASE, PLEASE DO NOT INTERPRET THIS AS THE HIPAA POLICE!

This is purely, clearly intended to be a front line anonymous arbitration effort for our members. Many HCOs are unwilling to get directly involved in trading partner issues. The relationships are too important!

HCCO will act as a completely nuetral third party whose goal is the achieve compliance with the standard and maintain the cost savings/reduction originally planned in the legislation through the implementation of a single transaction standard for all covered entities.

All is favor, Say "I"!

THANKS!

Julie A. Thompson






From: "Rachel Foerster" <[EMAIL PROTECTED]>
Reply-To: "WEDI SNIP Testing Subworkgroup List" <[EMAIL PROTECTED]>
To: "WEDI SNIP Testing Subworkgroup List" <[EMAIL PROTECTED]>
Subject: RE: HCCO Value Propistion
Date: Thu, 5 Dec 2002 11:07:27 -0600

I believe such an organization already exists - WEDi SNIP. Post 10/16/03
complaints regarding non-compliance should be directed to the CMS
enforcement arm headed up by Jared Adair.

Rachel Foerster

-----Original Message-----
From: Julie Thompson [mailto:[EMAIL PROTECTED]]
Sent: Wednesday, December 04, 2002 3:50 PM
To: WEDI SNIP Testing Subworkgroup List
Subject: HCCO Value Propistion


I am working on several client implementations. There major concern is lack
of compliance (or none at all) from their trading partners.

They do not want to cause a problem with their payors.

What if there was an organization who they could report their concerns to,
and this organization would act as a first level of education and/or
mediation???"?

Julie

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