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C.D. Howe Institute Roundtable Luncheon
2014-04-28    
12:00 pm - 1:30 pm
Navigating the Healthcare System: The Patient’s Perspective Please join us for this Roundtable Luncheon at the C.D. Howe Institute with Richard Alvarez, Chief Executive Officer, [...]
DoD / VA EHR and HIT Summit
DSI announces the 6th iteration of our DoD/VA iEHR & HIE Summit, now titled “DoD/VA EHR & HIT Summit”. This slight change in title is to help [...]
Electronic Medical Records: A Conversation
2014-05-09    
1:00 pm - 3:30 pm
WID, the Holtz Center for Science & Technology Studies and the UW–Madison Office of University Relations are offering a free public dialogue exploring electronic medical records (EMRs), a rapidly disseminating technology [...]
The National Conference on Managing Electronic Records (MER) - 2014
2014-05-19    
All Day
" OUTSTANDING QUALITY – Every year, for over 10 years, 98% of the MER’s attendees said they would recommend the MER! RENOWNED SPEAKERS – delivering timely, accurate information as well as an abundance of practical ideas. 27 SESSIONS AND 11 TOPIC-FOCUSED THEMES – addressing your organization’s needs. FULL RANGE OF TOPICS – with sessions focusing on “getting started”, “how to”, and “cutting-edge”, to “thought leadership”. INCISIVE CASE STUDIES – from those responsible for significant implementations and integrations, learn how they overcame problems and achieved success. GREAT NETWORKING – by interacting with peer professionals, renowned authorities, and leading solution providers, you can fast-track solving your organization’s problems. 22 PREMIER EXHIBITORS – in productive 1:1 private meetings, learn how the MER 2014 exhibitors are able to address your organization’s problems. "
Chicago 2014 National Conference for Medical Office Professionals
2014-05-21    
12:00 am
3 Full Days of Training Focused on Optimizing Medical Office Staff Productivity, Profitability and Compliance at the Sheraton Chicago Hotel & Towers Featuring Keynote Presentation [...]
Events on 2014-04-28
Events on 2014-05-06
DoD / VA EHR and HIT Summit
6 May 14
Alexandria
Events on 2014-05-09
Latest News

Concerns Raised Over Behavioral Health Data Exchange Standard

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Some health IT experts are raising concerns about the Data Segmentation for Privacy, or DS4P, standard, which aims to address electronic exchange of behavioral health data, Health Data Management reports.

Background

Behavioral health data are subject to disclosure protections in addition to those required under HIPAA. For example, one federal law — 42 CFR Part 2 — limits federally assisted substance misuse treatment programs’ ability to share behavioral data without patients’ signed consent.

In October, the Office of the National Coordinator for Health IT released the 2015 Edition Health IT Certification Criteria final rule, which includes the DS4P standard.

DS4P aims to address certain barriers in electronic exchange of behavioral health data by applying a set of metadata and encryption to a clinical document, which allows a provider to send behavioral health and substance misuse data to a system with technology that can identify and segregate such data.

Concerns

John Halamka, CIO at Beth Israel Deaconess Medical Center in Boston and co-chair of the Health IT Standards Committee, said DS4P send-and-receive technology is not mature enough to be included in the final rule.

“The Health IT Standards Committee has recommended that no standard ever be included in regulations until it has a level of maturity, adoption and validation in the real world,” Halamka said, adding, “We said, ‘Do not include DS4P because it doesn’t meet any of those criteria.'”

Halamka noted that “the technology doesn’t exist” yet to fully support the policy goals of ONC and the Substance Abuse and Mental Health Services Administration.

In addition, the Health IT Policy Committee’s Privacy and Security Workgroup raised concerns with DS4P, such as:

  • Limitations regarding document-level sequestration;
  • Provider discomfort about electronic health records that are incomplete because patients have withheld certain information;
  • Uncertainty about data entry policies and implications for subsequent disclosure;
  • Uncertainty about DS4P’s ability to comply with 42 CFR Part 2 requirements once a document is received; and
  • Uncertainty about whether DS4P is appropriate for enabling compliance with other data laws that lack redisclosure prohibitions