Memorial Hermann Health
System (MHHS) has agreed to pay $2.4 million to the U.S. Department of Health
and Human Services (HHS) and adopt a comprehensive corrective action plan to
settle potential violations of the Health Insurance Portability and
Accountability Act (HIPAA) Privacy Rule. MHHS is a not-for-profit health system
located in Southeast Texas, comprised of 16 hospitals and specialty services in
the Greater Houston area.
The HHS Office for Civil
Rights (OCR) initiated a compliance review of MHHS based on multiple media
reports suggesting that MHHS disclosed a patient’s protected health information
(PHI) without an authorization. In September 2015, a patient at one of MHHS’s
clinics presented an allegedly fraudulent identification card to office staff.
The staff immediately alerted appropriate authorities of the incident, and the
patient was arrested. This disclosure of PHI to law enforcement was permitted
under the HIPAA Rules. However, MHHS subsequently published a press release
concerning the incident in which MHHS senior management approved the
impermissible disclosure of the patient’s PHI by adding the patient’s name in
the title of the press release. In addition, MHHS failed to timely document the
sanctioning of its workforce members for impermissibly disclosing the patient’s
information.
“Senior management
should have known that disclosing a patient’s name on the title of a press
release was a clear HIPAA Privacy violation that would induce a swift OCR
response,” said OCR Director Roger Severino. “This case reminds us that
organizations can readily cooperate with law enforcement without violating
HIPAA, but that they must nevertheless continue to protect patient privacy when
making statements to the public and elsewhere.”
In addition to a $2.4
million monetary settlement, a corrective action plan requires MHHS to update
its policies and procedures on safeguarding PHI from impermissible uses and
disclosures and to train its workforce members. The corrective action plan also
requires all MHHS facilities to attest to their understanding of permissible
uses and disclosures of PHI, including disclosures to the media.
The resolution agreement
and corrective action plan may be found on the OCR website at http://www.hhs.gov/hipaa/for-professionals/compliance-enforcement/agreements/MHHS/index.html
To learn more about
non-discrimination and health information privacy laws, your civil rights, and
privacy rights in health care and human service settings, and to find
information on filing a complaint, visit us at http://www.hhs.gov/hipaa/index.html
No comments:
Post a Comment