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The HIPAA Journal is the leading provider of HIPAA training, news, regulatory updates, and independent compliance advice.

Steve Alder

Steve Alder is the editor-in-chief of The HIPAA Journal. Steve is responsible for editorial policy regarding the topics covered in The HIPAA Journal. He is a specialist on healthcare industry legal and regulatory affairs, and has 10 years of experience writing about HIPAA and other related legal topics. Steve has developed a deep understanding of regulatory issues surrounding the use of information technology in the healthcare industry and has written hundreds of articles on HIPAA-related topics. Steve shapes the editorial policy of The HIPAA Journal, ensuring its comprehensive coverage of critical topics. Steve Alder is considered an authority in the healthcare industry on HIPAA. The HIPAA Journal has evolved into the leading independent authority on HIPAA under Steve’s editorial leadership. Steve manages a team of writers and is responsible for the factual and legal accuracy of all content published on The HIPAA Journal. Steve holds a Bachelor’s of Science degree from the University of Liverpool. You can connect with Steve via LinkedIn or email via stevealder(at)hipaajournal.com

Tennessee Orthopaedic Clinics Settles Class Action Data Breach Lawsuit

Knoxville, TN-based Tennessee Orthopaedic Clinics has agreed to settle a class action lawsuit that was filed in response to a March 2023 cyberattack and data breach that affected 46,679 individuals. The information exposed included names, contact information, dates of birth, diagnosis and treatment information, provider names, dates of service, cost of services, prescription information, and/or health insurance information. The affected individuals were notified about the breach in early May, and a class action lawsuit was rapidly filed that claimed Tennessee Orthopaedic Clinics was negligent by failing to implement reasonable and appropriate cybersecurity measures. According to the lawsuit, the data breach could have been prevented if those measures had been implemented.  Tennessee Orthopaedic Clinics chose to settle the lawsuit with no admission of wrongdoing to avoid further legal costs and the uncertainty of trial. Under the terms of the settlement, individuals who were notified about the data breach may submit claims for ordinary expenses such as communication charges, credit...

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Valley Oaks Health Reports 50,000-Record Data Breach

Cyberattacks and data breaches have been reported by Valley Oaks Health and Sycamore Rehabilitation Services in Indiana, Plymouth Tube Company in Illinois, and Weirton Medical Center in West Virginia. Valley Oaks Health, Indiana Valley Oaks Health in Niles, IL, has recently notified 50,352 individuals about a breach of its network environment. Unauthorized individuals gained access to parts of its network between June 8, 2023, and June 13, 2023. Its network was secured, and third-party cybersecurity experts were engaged to assist with the investigation and confirmed that files containing patient data had been exposed and may have been stolen. The forensic investigation and document review were completed on February 2, 2024. The breach notice sent to the Maine Attorney General has the specific types of compromised data redacted but the notice confirmed that names have been exposed along with Social Security numbers. Consumer notifications were mailed on March 18, 2024, and complimentary credit monitoring services have been offered to individuals whose Social Security numbers were...

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OCR Updates Guidance on the Use of Online Tracking Technologies by HIPAA Regulated Entities
Mar19

OCR Updates Guidance on the Use of Online Tracking Technologies by HIPAA Regulated Entities

The Department of Health and Human Services’ Office for Civil Rights (OCR) has issued updated guidance for entities regulated by the Health Insurance Portability and Accountability Act (HIPAA) on the use of online tracking technologies. The updated guidance is intended to provide greater clarity for HIPAA-regulated entities on the use of these technologies. OCR has changed its position on how HIPAA applies to the use of these technologies, specifically regarding IP addresses, which OCR has clarified are not always considered PHI. Why OCR Issued Guidance on Online Tracking Technologies OCR first issued the guidance in December 2022 after research into the use of these technologies revealed that most U.S. hospitals had added these technologies on their websites, which transmit user data to third parties such as Meta (Facebook), Google, and others. A variety of user data is collected and transmitted about users’ interactions on websites and apps, and some of that data can include protected health information. The initial guidance explained that these technologies could not be...

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The Role of Compliance Officers in HHS OIG Regulations
Mar18

The Role of Compliance Officers in HHS OIG Regulations

The role of compliance officers in HHS OIG regulations is to ensure policies and procedures are in place to mitigate the risk of a healthcare organization violating a law protecting HHS programs and beneficiaries from fraud or abuse. It is also the role of compliance officers in HHS OIG regulations to monitor compliance with the policies and procedures, and to enforce sanctions on workforce members when they fail to comply with the policies and procedures. While this explanation of the role of compliance officers in HHS OIG regulations may sound complicated, it is not as difficult as it seems. There are usually only five healthcare regulations enforced by the Department of Health and Human Services’ (HHS) Office of Inspector General (OIG) – these being: The False Claims Act The Anti-Kickback Regulations The Physician Self-Referral Law The HHS OIG Exclusion Statute The Emergency Medical Treatment and Active Labor Act (EMTALA) The False Claims Act The False Claims Act protects HHS programs from being fraudulently charged for medical items or services. It is an offense to submit any...

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Patient Confidentiality and HIPAA
Mar18

Patient Confidentiality and HIPAA

Patient confidentiality and HIPAA compliance are not the same thing because although one of the primary goals of HIPAA is to protect individually identifiable health information from impermissible disclosures and unauthorized access, confidential patient information consists of more than just health information.   One of the most common misconceptions about patient confidentiality and HIPAA compliance is that all patient information is automatically protected by HIPAA. It’s not. HIPAA automatically protects a patient’s health information, treatment information, and payment information. Any other information that could be used to identity the patient is only protected by HIPAA when it is maintained in the same data set as Protected Health Information (PHI). In many cases, non-health information is maintained in the same data set as patients’ PHI. But there are plenty of exceptions. If, for example, a healthcare provider maintains a separate database of names, ages, genders, and email addresses for marketing purposes, the information could be considered confidential. However, because...

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