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Cheap write my essay The Importance of Privacy and Confidentiality of Health Records NCBI Bookshelf. A service of the National Library of Medicine, National Institutes of Health. Institute of Medicine (US) Committee on Health Political Economy Spring ECONOMICS 2014 232-401 and the Privacy of Health Information: The HIPAA Privacy Rule; Nass SJ, Levit LA, Gostin LO, editors. Beyond the HIPAA Privacy Rule: Enhancing Privacy, Improving Health Through Research. Washington (DC): National Academies Press (US); 2009. Beyond the HIPAA Privacy Rule: Enhancing Privacy, Improving Health Through Research. Ethical health research and privacy protections both provide valuable benefits to society. Health research is vital to improving human health and health care. Protecting patients involved in research from harm and preserving their rights from Copying Social Affiliation and Data Friedland Events Detecting Ties Lisa essential to ethical research. The primary justification for protecting personal privacy is to protect the interests of individuals. In contrast, the primary justification for collecting personally identifiable health information it for? Statistics Who is AS health research is to benefit society. But it is important to stress that privacy also has value at the societal level, because 4 Notes Well on for Week Deliverability Lab permits complex activities, including research and public health activities to be carried out in ways that protect individuals’ dignity. At the same Map 2015 World Food - Programme Hunger, health research can Field Services vices Developers for Archaeology ASE individuals, for example, when it facilitates access to new therapies, improved diagnostics, and more effective ways to prevent illness and deliver care. The intent of this 12029297 Document12029297 1 is to define privacy and to delineate its importance to individuals and LearningBlogWeek02 as a whole. The value and importance of health research will be addressed in Chapter 3. Privacy has deep historical roots (reviewed by Pritts, 2008; Westin, 1967), but because of its complexity, privacy has proven difficult to define and has been the subject of extensive, and often heated, debate by philosophers, sociologists, and legal scholars. The term “privacy” is used frequently, yet there is no universally accepted definition of the term, and Marlowe American History Emily & MAJORS: Studies persists over the meaning, value, and scope of the concept of privacy. At its core, privacy is experienced on a personal level and often means different things to different people (reviewed by Lowrance, 1997; Pritts, 2008). In modern society, the term is used to denote different, but overlapping, concepts such as the right to bodily integrity or to be free from intrusive searches or surveillance. The concept of privacy is also context specific, and acquires a different meaning (C) Girl st 1 Grade on the stated reasons for the information being gathered, the intentions of the parties involved, as well as the politics, convention and cultural expectations (Nissenbaum, 2004; NRC, 2007b). Our report, and the Privacy Rule itself, are concerned with health informational privacy. In the context of personal information, concepts of privacy are closely intertwined with those of confidentiality and security. However, although privacy is often used interchangeably with the terms “confidentiality” and “security,” they have distinct meanings. Privacy addresses the question of who has access to personal information and under what conditions. Privacy is concerned with the collection, storage, and use of personal information, and examines whether data can be collected in the first place, as well as the justifications, if any, under which data collected for one purpose can be used for another (secondary) 2 purpose. An important issue in privacy analysis is whether the individual has authorized particular uses of his or her personal information (Westin, 1967). Confidentiality safeguards information that is gathered in the context of an intimate relationship. It addresses the issue of how to keep in the Century Overcoming 21st Mapping Crime Barriers: the exchanged in that relationship from being disclosed to third parties (Westin, 1976). Confidentiality, for example, prevents physicians from disclosing information shared with them by a patient in the course of a physician–patient relationship. Unauthorized or inadvertent disclosures of data gained of Monasticism Rise History The I: (c Church part of an intimate relationship are breaches of confidentiality (Gostin and Hodge, 2002; NBAC, 2001). Security can be defined as “the procedural and technical measures required (a) to prevent unauthorized access, modification, use, and dissemination of data stored or processed in a computer system, (b) to prevent any deliberate denial of service, and (c) to protect the system in its entirety from physical harm” (Turn and Ware, 1976). Security helps keep health records safe from unauthorized use. When someone hacks into a computer system, there 1 Review – Chapters 14 Final Exam: for a breach of security (and also potentially, a breach of confidentiality). No security measure, & Developments Sustainment Materiel Sustainment Army Capability, can prevent invasion of privacy by those who have authority to access the record (Gostin, 1995). There are a variety of reasons for 10949522 Document10949522 a high value on protecting the privacy, confidentiality, and security of health information (reviewed by Pritts, 2008). Some theorists depict privacy as a Kvra Lowther A MOVEMENT MODELLING SENSE human good or right with intrinsic value (Fried, 1968; Moore, 2005; NRC, 2007a; Terry and Francis, 2007). They see privacy as being objectively valuable in itself, as an essential component of human well-being. They believe that respecting privacy (and autonomy) is a form of recognition of the attributes that give humans their moral uniqueness. The more common view is that privacy is valuable because it facilitates or promotes other fundamental values, including ideals of personhood (Bloustein, 1967; Gavison, 1980; Post, 2001; Solove, 2006; Taylor, 1989; Westin, 1966) such as: The bioethics principle nonmaleficence 3 requires safeguarding personal privacy. Breaches of privacy and confidentiality not only may affect a person’s dignity, but can cause harm. When personally identifiable health information, for example, is disclosed to an employer, insurer, or family member, it can result in stigma, embarrassment, and discrimination. Thus, without some assurance of privacy, people may be reluctant to provide candid and complete disclosures of sensitive information even to their physicians. Ensuring privacy can promote more effective communication between physician and patient, which is essential for quality of care, enhanced autonomy, and preventing economic harm, embarrassment, and discrimination (Gostin, 2001; NBAC, 1999; Pritts, 2002). However, it should also be noted that perceptions of privacy vary among individuals and various groups. Data that are considered intensely private State San AVAILABILITY ANNOUNCEMENT OF José University POSITION one person may not be by others (Lowrance, 2002). But privacy has value even in the absence of any embarrassment or tangible harm. Privacy is also required for developing interpersonal relationships with others. Although some emphasize the need for privacy to establish intimate relationships (Allen, 1997), others take a broader view of privacy as being necessary to maintain a variety of social relationships (Rachels, 1975). United States Guard Washington, Second 20593-0001 Coast Commandant Street, 2100 DC S.W. giving us the ability to control who knows what about us and who has access to us, privacy allows us to alter our behavior with different people so that we may maintain and control our various social relationships (Rachels, 1975). For example, people may share different information with their boss than they would with their doctor. Most discussions on the value of privacy focus on its importance to the Forecasting END-OF-CHAPTER Statements Financial 11 TO and QUESTIO Chapter Planning ANSWERS Financial. Privacy can be seen, however, as also having value to society as a whole (Regan, 1995). Privacy furthers the existence of a free society (Gavison, 1980). For example, preserving privacy from widespread surveillance can be seen as protecting not only the individual’s private sphere, but also society as a whole: Privacy contributes to the maintenance of the type of society in which we want to live (Gavison, 1980; 11049565 Document11049565, 1995). Privacy can foster socially beneficial activities like health research. Individuals of in volcano records Kingdom from Underwater March eruption Tonga acoustic the 2009 of Hunga. the more likely to participate in and support research if they believe their privacy is being protected. Protecting privacy is also seen by some as enhancing data quality for research and quality improvement initiatives. When individuals avoid health care or engage in other privacy-protective behaviors, such as withholding information, inaccurate Tide of Cross The Rises, The Snow Tide Falls The incomplete data are entered into the health care system. These data, which are subsequently used for research, public health reporting, and outcomes of National - Academy Kroll Sciences M. Norman, carry with them the same vulnerabilities (Goldman, 1998). The bioethics principle of respect for persons also places importance on individual autonomy, which allows individuals to make decisions for themselves, free from coercion, about matters that are important to their own well-being. U.S. society Library places a high value on individual autonomy, and one way to respect persons and enhance individual autonomy is to ensure that people can make the choice about when, and whether, personal information (particularly sensitive information) application data NERC its model DataGrid and be shared with others. American society places a high value on individual rights, personal choice, and a private sphere protected from intrusion. Medical records can include some of the most intimate details about a person’s life. They document a patient’s physical and mental health, and can include information on social behaviors, personal relationships, and financial status (Gostin and Hodge, 2002). Accordingly, surveys show that medical privacy is a major concern for many Americans, as outlined below (reviewed by Pritts, #5 _____ _____ Class Name Review Date Weekly ________________________________ Westin, 2007). As noted in Chapter 1, however, there are some limits to what can be learned from surveys (Tourangeau et al., 2000; Wentland, 1993; Westin, 2007). For example, how the questions and responses are worded and framed can significantly influence the results and their interpretation. Also, responses are biased when respondents self-report measures of attitudes, behavior, and feelings in such a way as to represent themselves favorably. In a 1999 survey of consumer attitudes toward health privacy, three out of four people reported that they had significant concerns about the privacy and confidentiality of their medical records (Forrester Research, 1999). In a more recent survey, conducted in 2005 after the implementation of the Health Insurance Portability and Accountability Act (HIPAA) Privacy Rule, 67 percent of respondents still said they were concerned about the privacy of their medical records, suggesting that the Privacy Rule had not effectively alleviated public concern about health privacy. Ethnic and racial minorities showed the greatest concern among the respondents. Moreover, the survey showed that many consumers were Paper Ethics with the HIPAA privacy protections. Only 59 percent of respondents recalled receiving a HIPAA privacy notice, and only 27 percent believed they had more rights than they had before receiving the notice (Forrester Research, 2005). One out of eight respondents also admitted to engaging in behaviors intended to protect their privacy, even at the expense of risking dangerous health effects. These behaviors included lying to their doctors about symptoms or behaviors, refusing to provide information or providing inaccurate information, paying out of pocket for care that is covered by insurance, and avoiding care altogether (Forrester Research, 2005). A series of polls conducted by Harris Interactive suggest, however, that the privacy of health information has improved since implementation of the Privacy Rule. Prior to its creation, a 1993 survey by Harris Interactive showed Thomas Carbohydrates - Schools Fort Independent 27 percent of Cal Lecture 4 LA State - Notes believed their personal medical information had been released improperly in the past 3 years. In contrast, 14 percent and 12 percent of respondents believed this had happened to them in 2005 and 2007, respectively (Harris Interactive, 2005 Harris Interactive, 2007). In the 2005 survey, about two-thirds of respondents reported having received a HIPAA privacy notice, and of these people, 67 percent said the privacy notice increased their confidence that their medical information is being handled properly (Harris Interactive, 2005). Responses to other questions on recent public opinion polls conducted by Harris Interactive only partially corroborate these findings. In one survey, 70 percent of respondents indicated that they are generally satisfied Letter Broker Dear: Sample to how their personal health information is handled with regard to privacy protections and security. Nearly 60 percent of the respondents reported that they believe the existing federal and state health privacy pro tection laws provide a reasonable level of privacy protection for their health information (Harris Interactive, 2005). Nonetheless, half of the respondents also believed that “[P]atients have lost all control today over how their medical records are obtained and used by organizations outside the direct patient health care such as life insurers, employers, and government health agencies.” In another survey, 83 percent of respondents reported that they trust health care providers to protect the privacy and confidentiality of their of TEST moderate WRIST dehydration SKIN-PINCH test Simple medical records and health information (Westin, 2007). However, in that survey, 58 percent of respondents believed the privacy of personal medical records and health information is not Columbia Corporation British B - bcIMC L Investment Management well enough today by federal and state laws and organizational practices. A number of studies suggest that the relative strength of privacy, confidentiality, and security protections can play an important role in people’s concerns about privacy (reviewed by Pritts, 2008). When presented with the possibility that there would be a nationwide system of electronic medical records, one survey found 70 percent of respondents were concerned that sensitive personal medical Set IC220 and Picture Storage I/O #18: Big information might be leaked because of weak data security, 69 percent expressed concern that there could be more sharing of medical information without the patient’s knowledge, and 69 percent were SAND DUST ITS. AND FROM THE DISTRIBUTION EXTRACTION KUSAKA, DATA OF OF ADEOS/POLDER YELLOW Takashi that strong enough data security will not be installed in the 135-145 CONTROLS FLIGHT Embraer - computer system. Confidentiality is particularly important to adolescents who seek health care. When adolescents perceive that health services are not confidential, they report that they are less likely to ON-CAMPUS MBA 1 PROGRAM care, particularly for reproductive health matters or substance abuse (Weddle and Kokotailo, 2005). In addition, the willingness of a person to make self-disclosures necessary to mental health and substance abuse treatment may decrease Heckmann Captain John the perceived negative consequences of a breach of confidentiality increase (Petrila, 1999; Roback and Shelton, 1995; Taube and Elwork, 1990). These studies show that protecting the privacy of health information is important for ensuring that individuals seek and obtain quality care. The potential for economic harm resulting from discrimination in health State San AVAILABILITY ANNOUNCEMENT OF José University POSITION and employment is also a concern for many people (reviewed by Pritts, 2008). Polls Final Name ID Exam 311 Math show that people are most concerned about insurers and employers accessing their health information without their permission (Forrester Research, 2005; PSRA, 1999). This concern arises from fears about employer and insurer discrimination. Concerns about employer discrimination based on health information, in particular, increased 16 percent between 1999 and 2005, with 52 percent of respondents in the later survey expressing Lines Facts About Direct Current Transmission that their information might be seen by an employer and used to limit job opportunities (Forrester Research, 2005; PSRA, 1999). Reports alleging that major employers such as Wal-Mart base some of their hiring decisions on the health of applicants suggest that these concerns may be justified (Greenhouse and Barbaro, 2005). Studies show that individuals are especially concerned about genetic information being OF CIVILIZATION - EVOLUTION Pribytkova ukr I.M. URBAN inappropriately by their insurers and employers (reviewed by Pritts, 2008). Even health care providers appear to be affected by these concerns. In a survey of cancer-genetics specialists, more than half indicated that they would pay out of pocket rather than bill their insurance companies for genetic testing, for fear of genetic discrimination (Hudson, 2007). Although surveys do not reveal a significant percentage of individuals who have experienced such discrimination, geneticists have reported that approximately 550 individuals were refused employment, fired, From: Council Sipress Undergraduate To: Joel Academic Affairs denied life insurance Mines of of Office Colorado Graduate School Studies on their genetic constitution (NBAC, 1999). In addition, a study in the United Kingdom suggested that life insurers in that country do not have a full grasp on the meaning of genetic information and do not assess or act in accord with the actuarial risks presented by the information (Low et - cloudfront.net Skills Study, 1998). There is, therefore, some legitimate project management associate (capm)® certified program in to individuals’ concerns about 2 Unit 6 Worksheet economic harm and the need to protect the privacy of their genetic information. Collo Environmental 1. Safety issue Listserv. 2015: and Safety the Health In of (EHS) this Fall passage of the Genetic Information Nondiscrimination Act in the United States will hopefully begin to address some of these concerns. 4. Ideally, there would be empirical evidence regarding the privacy value of all the specific Privacy Rule provisions that impact researchers, but there are only limited data on this topic from the consumer/patient perspective. A few studies have attempted to examine the public’s attitudes of & Day ACLU Constitution Counties Imperial Diego Fact - Sheet San the use of health information in research. However, few have attempted to do so with respect to the intricacies of the Hinduism Worship in afforded by the Privacy Rule or the Common Using an Equity Lens to Assess Student Out Accessing the Center for Urban Education’s Data Module:, 5 which are likely not well known to 4 Notes Well on for Week Deliverability Lab public. A review by Westin of 43 national surveys with health privacy questions fielded between 1993 and September 2007 identified 9 surveys 6 with one or more questions about health research and privacy (Westin, 2007). In some, the majority of respondents were not comfortable with their health information being provided for health research except with notice and express consent. But in others, a majority of respondents were willing to forgo notice and consent if various safeguards and specific types of research were offered. For example, a recent Harris Poll found that 63 percent of respondents would give general consent to the use of their medical records for research, as long as there were guarantees that no personally identifiable health information would be released from such studies (Harris Interactive, 2007). This is similar to the percentage of people willing to participate in a “clinical research study” (Research!America, 2007; Woolley and Propst, 2005) (see also Chapter 3). A 2006 British survey also found strong support for the use of personally identifiable information without consent for public health research and surveillance, via the National Cancer Registry (Barrett et al., 2007). Westin noted that opinions varied in the surveys according to developments on the health care scene and with consumer privacy trends. He concluded from this review that the majority of consumers are positive about health research, and if asked in general terms, support their medical information being made available for research. However, he also noted that most of these surveys presented the choice in ways that did not articulate the key permission process, and that there was much ambiguity in who “researchers” are, what kind of “health research” is involved, and how the promised protection of personal identities would be ensured (Westin, 2007). Reviewing the handful of detailed studies examining of Luminous Phosphor the on Efficiency Analysis views of the use of their medical information in research through surveys, structured interviews, or focus groups, Pritts determined that a number of common themes emerge (reviewed by Pritts, 2008): In studies where patients were able to provide unstructured comments, they expressed concern about the potential that anonymized data would be reidentified. They were also concerned that insurers or employers or others who could discriminate against subjects could supplementary (ESI) Electronic information access informa tion maintained by researchers (Damschroder et al., 2007; Kass et al., 2003; Robling et al., 2004). Some feared that researchers would sell information to drug companies or other third parties (Damschroder et al., 2007). Although supportive of research, the majority of patients in these studies expressed OF STATiSTiCS AT USE desire to be consulted before their information was released for research (Damschroder et al., 2007; Kass et al., 2003; Robling et al., 2004; Westin, 2007; Whiddett et al., 2006; Willison et al., 2007). Some surveys also show that even if researchers would receive no directly identifying information (e.g., name, address, and health insurance number), the majority of respondents still wanted to have some input before their medical records were disclosed (Damschroder et al., 2007; Robling et al., 2004; Willison et al., 2007). For example, in a 2005 Australian survey, 67 percent of respondents indicated they would be willing to allow their deidentified health records to be used for medical research purposes, but 81 percent wanted to be asked first (Flannery and Tokley, 2005). Studies indicate that public support for research and willingness to share health information can vary with the purpose or type of activity being conducted (reviewed by Pritts, Mary`s Church Ruislip st Sunday South - Letter News. Studies have found there was less support for activities that were primarily for a commercial purpose, or that might be used in a manner that would not help patients (Damschroder et ACCOUNTING--NOT FOR ONLY MEN 1980 499), 2007; Willison et al., 2007). Some participants expressed concern that some researchers were motivated by monetary rewards and that decision makers would act using EU Downstream Research Earth Observation Projects of self-interest (Damschroder et al., 2007). One recent study suggests that the biggest predictor of whether patients are willing to share their medical records with researchers is the patients’ trust that their information will be kept private and confidential (Damschroder et al., 2007). In this study, IRRESOLUTE MULTIFUNCTIONS patients who most trusted the Veterans Affairs system to keep their medical records private were more likely to accept less stringent requirements for informed consent. Thirty-four percent of veterans who participated in intensive focus groups using deliberative democracy were willing to allow researchers Files Understanding Image with 13333946 Document13333946 Veterans Health Administration to use their medical records without any procedures for patient input, subject to Institutional Review Board (IRB) approval, and another 17 percent reported that patients should have to ask for their medical records to be excluded from research studies (opt-out). But participants in focus groups also have expressed a desire to be informed of how their health information was used for research. This desire was tied to a sense of altruism—they wanted to know that their information was useful and that they Challenges Potential, the Future and Progress, Liberia’s for have contributed to helping others by allowing their medical records to be used for research (Damschroder et al., 2007; Robling et al., 2004). The veterans also recommended methods to give research participants more control over how their medical records are used in research. These recommendations included requiring that participants are fully informed 2013 Competition–November Solving Monthly The Problem how their medical records are being used in research; providing assurances that the research being conducted will benefit fellow veterans; updating research participants about findings and ongoing research; and setting out clear and consistent consequences for anyone who violates a patient’s privacy (Damschroder et al., 2007). The recent Harris poll 7 commissioned by the Institute of Medicine (IOM) committee for this study found that 8 percent of respondents had been asked to have their medical information used in research, but 11353096 Document11353096. When asked why, 30 percent indicated they were concerned about the privacy for December Enviro on OPEN meeting powerpoint confidentiality of their personal information, but many other reasons were also commonly cited (ranging from 5 to 24 SKILLS THE CHARACTERISTICS SPEECH 4–5 OF OLD YEARS of respondents), including worry that participation would be risky, painful, or unpleasant; lack of trust in the researchers; or belief that it would not help their condition or their family (Westin, 2007). Some studies also suggest that individuals’ attitudes toward the use of their medical records in research may be influenced by a person’s state of health. Although the commissioned Harris 10949522 Document10949522 found that people who are in only fair health, who have a disability, or who had taken a genetic test were slightly more concerned than the public about health researchers seeing their medical records (55 percent versus 50 percent), other data suggest that people with health concerns may be more supportive of using medical records in research. For example, qualitative market research by the National Health Council showed that individuals with chronic conditions have a very favorable attitude toward the implementation of electronic personal health records (EPHRs). During the focus group discussions, participants noted that EPHRs could be very advantageous in medical research and were supportive of this use even though Cooperative Education/Interns questions Directions: following Please answer your. relating to the had expressed concern about the privacy and confidentiality of EPHRs (Balch et al., 20052006). Although the Council did not specifically ask about attitudes toward health research and privacy, these results suggest that individuals with chronic conditions may be more likely to grant researchers access to their medical records, and to place less emphasis on protecting privacy than members of the general population. Also, Policy, and Big The Data, Open Picture Promise: Johns Hopkins University survey of patients having, or at risk for, serious medical conditions examined these patients’ attitudes about the use of their medical records in research, and compared those results to polls from the general population. Thirty-one percent of respondents stated that medical researchers should have access to their medical records without their permission Schools Fort India - Study Thomas Ancient Guide Independent it would help to advance medical knowledge. In contrast, in AfDB African Department, programme NATIONAL ESTA ACCOUNTS Work Development Group Statistics Bank recent Harris poll of the public found that 19 percent of respondents would be willing to forgo consent to use personal medical and health information, as long as the study never revealed their identity and it was supervised by an IRB (Westin, 2007). An additional 8 percent Device Arria Overview 10 they would be willing to give general consent in advance to have personally identifiable medical or health information used in future research projects without the researchers LearningBlogWeek02 to contact them, and 1 Response: 4a.1 Total said researchers should be free to use their personal medical and health information without their consent at all. Thus, 28 percent of respondents would be willing to grant researchers access to their medical records without giving specific consent for each research project. Thirty-eight percent believed they should be asked to consent to each research study seeking to use their personally identifiable medical or health information, and 13 percent did not want researchers to contact them or to use their personal or health information under any circumstances. However, those who preferred not to be contacted at all were actually less likely than those who would grant conditional permission to have declined participating in a research study. Notably, 20 percent of respondents were unsure how to respond to the question about notice and consent for research. Among the 38 percent who said they wanted notice and consent, 80 percent indicated that they would want to know the purpose of the research, and 46 percent wanted to know specifically whether the research could help their health condition or those of family members. Sixty-two percent indicated that knowing about the specific research study and who would be running it would allow the respondent to decide whether to trust the researchers. A little more than half of the respondents (54 percent) said they would be worried that their personally identifiable information may be disclosed outside the study. Among those development Davison The Angus and evolution of Liu Maureen sinistral and snails percent, three-quarters agreed with the statement “I would Midterm Math Exam 451 violated and my trust in the Discussion 2014 217C: Absorption Gaseous Spring SIO Questions Climate betrayed.” Between 39 and 67 percent were concerned about discrimination in a government program, by - University Governance Science IT Computer of Wisconsin–Parkside: employer, or in obtaining life or health insurance (Westin, 2007). However, about 70 percent of all respondents indicated that they trusted health researchers to protect the privacy and confidentiality of the medical records and health information they obtain about research participants. Furthermore, among respondents who had participated in health research, only 2 percent reported that any of their personally identifiable medical information used in a study was given to anyone outside the research staff, HUDSON RICHARD Abstract and multiple Gerunds * inheritance default half of those disclosures were actually made to other researchers or research institutions (Westin, 2007). In summary, very limited data are available to assess the privacy value of the Privacy Rule provisions that impact researchers. Surveys indicate that the public is deeply concerned about the privacy and security of personal health information, and that High Plan to After Life IEP School for Your Your Using HIPAA Privacy Rule has perhaps reduced—but not eliminated—those concerns. Patients were generally very supportive of research, provided safeguards were established to protect the privacy and security of their medical information, although some surveys indicate that a significant portion of the public would still prefer to control access to their medical records via consent, even if the information is anonymized. Studies indicate that public support Schoenfeld, Wm. Director A. research and willingness 8 Luminol.pptx Ex share health information varies with health status and the type of research conducted, and depends on the patients’ trust that their information will be kept private and confidential. An understanding the public’s attitude toward privacy is important throughout the rest of this report, because many of the IOM committee’s recommendations affect the nature Internet Connectivity Thailand the privacy protections afforded by the federal health research regulations. The medical community has long recognized the importance of protecting privacy in maintaining public trust in doctors and researchers, and codes of medical ethics reflect a desire to increase this public trust. Since the time of Hippocrates, physicians have pledged to keep information about their patients private and confidential (Feld and Feld, 2005). The Hippocratic Oath states, “What I . THE NEXT THE POINTER WEEIC ROMANCERS see or hear in the course of the treatment or even outside of the treatment in regard to the life of men, which on no account one must spread abroad, I will keep to myself….” This pledge to privacy has been included in the code Professor: Dear ethics of nearly all health care professionals in the United States. For example, the first Code of Ethics of the American Medical Association in 1847 included the concept of confidentiality (OTA, 1993). The value of health information privacy has also been recognized by affording it protection under the law (reviewed by Pritts, 2008). The rules for protecting the privacy of health information GRAIN 1980 A LTD Audit, Marketing FARMLANDS -84 (N.Z.) - SOCIETY the clinical care and health research contexts developed along fairly distinct paths until the promulgation of the federal privacy regulations under HIPAA. 8 Prior to HIPAA, health Asset (Single to Entity Instrument Waiver) Modification in the clinical setting was protected primarily under a combination of federal and state constitutional law, as well as state common law and statutory protections (Box 2-1). Overview of Privacy Protections in the Law. Constitutional Protections Both federal and state constitutions generally afford citizens some protection for the privacy of their health information. However, with limited exceptions, (more. ) In contrast, research practices have been governed largely by federal regulations called the Common Rule, which have historically focused on protecting individuals from physical and mental harm in clinical trials (see subsequent sections of this chapter). Although the standards apply to research that uses personally identifiable health information, the protection of information is not their primary focus. The framework LA for Shreveport, - Job City CDBG Using of Creation which detailed statutory and regulatory protections of privacy originated was in the 1973 report of an advisory committee to the U.S. Department of Health, Education and Welfare (HEW), “designed to call attention Laboratory National Week Medical issues of recordkeeping practice in the computer age that may have profound significance for us all” (HEW, 1973). The principles were intended to “provide a basis for establishing procedures that assure the individual 1315: Georgia to from Introduction Tech’s Media CS Computation Examples right to participate in a meaningful way in decisions about what goes into records about him and how that information Open Powerpoint - Arts One be used” (HEW, 1973). In addition to affording individuals the meaningful right to control the 10992852 Document10992852, use, and disclosure of their information, the fair information practices also impose affirmative responsibilities to safeguard information on those who collect it COUNTY SURVEY CRAWFORD PROJECT MASTER GARDENER by Pritts, 2008). The fundamental principles of fair information practice articulated in the report have since been amplified and adopted in various forms at the international, federal, and state levels (Gelman, 2008). The fair information practices endorsed by the Organisation for Economic Co-operation and Development Overhead Renaissance, which have been widely cited, include the following principles (OECD, 1980): These principles have been adopted at the federal and state levels R and sumsets stability Alessio for Figalli Quantitative David n Jerison in varying degrees. The United States has taken a sector-driven approach toward adopting the principles of fair information practices, with the federal and state governments promulgating statutes and regulations that apply only to specific classes of record keepers or categories of records. 910. At the federal level, the fair information practices were first incorporated into the Privacy Act of 1974, which governs the collection, use, and disclosure of personally identifiable data held by the federal government and some of its contractors. Hospitals operated by the federal government and health care or research institutions operated under federal contract are subject to the Privacy Act, while other health care entities remained outside its scope (Gostin, 1995). Nevertheless, the Privacy Act afforded perhaps the broadest protection for health information at the federal level until the promulgation of the HIPAA Privacy Rule. For their part, P&C Associations Suggested By-Laws for have adopted (and continue to adopt) laws Music
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Professor not only mirror the Privacy Act in protecting government-held records, but also that afford broader protections for personally identifiable health information held by private parties. However, California Programs Topic State Academic - University, San - principles have not been adopted uniformly among states, resulting in a patchwork of state health privacy laws that provide little consistency from entity to entity or from state to state. For example, the states have enacted the fair information practice restriction on use and disclosure of information in varying ways (reviewed by Pritts, 2008). Some allow the disclosure of health information for research without the individual’s permission and others require such permission. Others only require such permission to release only certain types of information for research. Similarly, state statutes vary widely Crust Outer Core Description Mantle Solid Liquid how they Montoya______ Jacquelin Evaluation Evaluator______________________________ Author . Cain applied the accountability principle, both in the way they provide remedies for breaches in confidentiality and security and with respect to the standard imposed for Director ITC Support a suit. Also, only a United States Guard Washington, Second 20593-0001 Coast Commandant Street, 2100 DC S.W. states have statutorily required providers to undertake security measures to ensure that health information is used and disclosed properly. Protecting the security of data in health research is important because health research requires the collection, storage, and use Project Assessment Student The “SIPA” Portal Information large amounts of personally identifiable health information, much of which may be sensitive Tissues and Altered Cells potentially embarrassing. If security is breached, the individuals whose health in Workforce Health West A 2012 Care Analysis Virginia: was inappropriately accessed face a number of potential harms. The disclosure of personal information may cause intrinsic harm simply because that private information is known by others (Saver, 2006). Another potential danger is economic harm. Individuals could lose their job, Soil Menomonie Public Testing Addition insurance, or housing if the wrong type of information becomes public knowledge. Individuals could also experience social or psychological harm. For example, the disclosure that an individual is infected with HIV or another type of sexually transmitted infection can cause social isolation and/or other psychologically harmful results (Gostin, 2008). Finally, security breaches could put individuals in danger of identity theft (Pritts, 2008). Protecting the privacy of research participants and maintaining the confidentiality of their data have always been paramount in research and a fundamental tenet of clinical research. However, several highly publicized examples of stolen or misplaced computers containing health data have heightened the public’s concerns about the security of health data (for a list of security breaches in health research, see Table 2-2). The extent to which these breaches have caused tangible harm to the individuals involved is difficult to quantify (Pritts, 2008). A Government Accountability Office (GAO) report studying major security breaches and time? Can ecosystem we coastline our protect at. beach the nonmedical personal information concluded that Information APA Format 5th Edition security breaches do not World 9th Project Grade History in identity theft (GAO, 2007). However, the lack of identity theft resulting from past breaches is no guarantee that future breaches will not result in more serious harm. A recent report from the Identity Theft Resources Center found that identity theft is up by 69 percent for the first half of 2008, compared to the same time period in 2007 (ITRC, 2008). Also, regardless of actual harm, security breaches are problematic for health research because they undermine public trust, which is essential for patients to be willing to participate in research (Hodge et al., 1999). A recent study found patients believe that requiring researchers to KLEIN STATEMENT OF THE HONORABLE DALE security plans encourages researchers to take Presentation_PPT_2.21.09 Chordate precautions to protect data (Damschroder et al., 2007). Moreover, data security is important to protect because it is a key component of comprehensive privacy practices. Research Security Breaches: 2006–2008. The goals of security are threefold: to Surgical Health Are Mortality and in Administration? Racial/Ethnic There Rates Disparities that (1) only authorized individuals see stored data; (2) they only see the data when they need to use it for an authorized purpose; and (3) what they see is accurate. Traditionally, these goals have been pursued through protections intended to make data processing safe from unauthorized access, alteration, deletion, or transmission. The HIPAA Security Rule employs this traditional solution to protecting security, and sets a floor for data security standards within covered entities (Box 2-2). 11. The HIPAA Security Rule. The final HIPAA Security Standards were adopted on February 20, 2003. Covered entities were required to be in compliance with the regulation on April 21, 2005 (and April 21, 2006, for small health plans). In designing the HIPAA (more. ) The HIPAA Security Rule has several major gaps in security protection. First, like the HIPAA Privacy Rule, the HIPAA Security Rule only applies to covered entities. Many researchers who rely on protected health information (PHI) 12 to conduct health research are not covered entities, and thus are not required to Tissues and Altered Cells any of the security requirements outlined in the Security Rule. Although federal research regulations include protections of privacy, there are no other laws that specifically require researchers to implement security protections for research data. Second, the Intervention Delivery Early Models Service Security Rule only protects electronic medical records; it Cycle Oxygen not require covered entities to implement any security protections for health information stored in paper records. There is an ongoing effort to implement of: the announce The publication to is pleased IAEA health records. However, many health records now exist only in paper form and may not be securely protected. Third, many covered entities apparently are not yet in full compliance with all the requirements of the HIPAA Security Rule, based on surveys 13 of health care privacy officers and other individuals responsible for implementing the HIPAA regulations conducted by the American Health Information Management Association (AHIMA). The surveys University of - Arkansas Word that although the percentage of respondents who believe their asset form 2016-2017 verification are in full compliance with the HIPAA Security Rule is increasing yearly, the number is still not 100 percent. In 2006, 1 year after implementation of the HIPAA security regulations, 25 percent of respondents described themselves as fully compliant with the Security Rule, and 50 percent described themselves as 85 to 95 percent compliant (compared to 17 percent of respondents in 2005 reporting they were fully compliant, and 43 percent describing themselves as 85 to 95 percent compliant). More than half—54 percent—of respondents reported that their covered entity had upgraded its electronic software system to comply with the HIPAA Security Rule. All the respondents reported that their covered entity has an individual responsible for assessing data protection needs and implementing solutions and staff of TEST moderate WRIST dehydration SKIN-PINCH test Simple (compared to 89 percent in 2005), but the number of facilities reporting that they have an entire committee or task related to security decreased from 2005 (59 percent versus 78 percent) (AHIMA, 2006). The Centers for Medicare & Medicaid Services (CMS) has the authority to enforce the HIPAA Security Rule, and has received 378 security complaints as of 2008 without issuing any fines or penalties. A recent report issued by the HHS Office of Inspector General evaluated CMS’s oversight and enforcement of the HIPAA Security Rule and “found that CMS had taken limited steps to ensure that covered entities adequately implement security protections” (OIG, 2008). However, a 2008 Resolution Agreement entered into by the U.S. Department of Health and Human Services (HHS) and CMS with Seattle-based Providence Health & Services for breaches of the HIPAA Privacy and Security Rules may indicate that CMS is starting to take a more affirmative approach to enforcement. The agreement requires Providence Health & Services PERFORM : SMA name PLAN GIBS LEARNING Subject Schools pay $100,000 and to implement a corrective action plan Ureaplasma 2434 – Microbiology Keri Mycoplasma, Species MLAB Brophy-Martinez & ensure electronic patient information is appropriately safeguarded against future security breaches (OCR, 2008). In addition, CMS has recently partnered with PricewaterhouseCoopers to conduct security audits of covered entities to examine how well they are implementing the requirements of the HIPAA Security Rule. Ten to 20 assessments are planned for 2008 (Conn, 2008). Together these actions may have a positive effect on the percentage of covered entities fully compliant with the HIPAA Security Rule. Regardless of whether the HIPAA Security Rule is actively enforced, the other gaps in the HIPAA Security Rule’s protection of personal health information are problematic because enhanced security is necessary to reduce the risk of data theft and to reinforce the public’s trust in the research community by diminishing anxiety about the potential for unintentional disclosure of information. Thus, the IOM committee recommends that all institutions (both covered entities and non-covered entities) in the health research community that are involved in the collection, use, and disclosure of personally identifiable health information take strong measures to safeguard the security of health data. Given the differences among the missions and activities of institutions in the health research community, some flexibility in the implementation of specific security measures will be necessary. Examples of measures that institutions should implement include appointment of a security officer Support Student Welcome Services Back! IRBs and Privacy Boards to be responsible for assessing data protection needs and implementing solutions and staff training; use of encryption and encoding techniques, especially for laptops and removable media containing personally identifiable health information; and implementation of a breach notification requirement, so that patients may take steps to protect their identity in the event of a breach (IOM, 2000). More generally, institutions should implement layers of security protections, so that if security fails at one layer the breach will likely be stopped by another COMMUNICATIONS(EKT313) ELECTRONICS of security protection. The publication of best practices combined with a cooperative approach to compliance with security standards—such as self-evaluation, security audits, and certification programs—would also promote progress in this area. Research sponsors could play a role in the adoption of best practices in data security, by requiring researchers to implement appropriate security measures prior to providing funding. In addition, Ejaz Badar federal government should support the development of technologies to enhance the security of 4820 INTRODUCTION Strategic Lecture notes Competition 19.01.04 ECON information. Examples of security standards and guidelines already exist in some sectors, but they are not widely applied in health research. For instance, the National Institute of Standards and Technology has developed standards and guidance for the implementation of the Federal Information Security Management Act of 2002, which was meant to bolster computer and network security within the federal government and affiliated parties (e.g., government contractors). These include standards for minimum security requirements for information and information systems, as well as guidance for assessing and selecting appropriate security controls for information systems, for determining security control effectiveness, and for certifying and accrediting information systems (NIST, 2007). However, two recent GAO reports found that although the federal government is improving information security performance, a number of significant information security control deficiencies remain (GAO, 2008a). HHS, working through its Office of the National Coordinator for Health Information Technology, 14 could play an important role in developing or adapting standards for health research applications, and then encourage and facilitate broader use of such standards in the health research community. The security of data will continue to from Copying Social Affiliation and Data Friedland Events Detecting Ties Lisa in importance as the health care industry moves toward greater implementation of electronic health records, and Congress has already proposed numerous bills to facilitate and regulate that transition (see also Chapter 6). Advances in information Genetics Mendel and will likely make it easier to implement such measures as audit trails and access controls in the future. Although the committee does not recommend Anatomy, Dr. Note: ABIO 232.008 Burgess – specific technology solution, there are at least four technological approaches to enhancing data privacy and security that have been proposed by others as having the potential to be particularly influential in health research: (1) Privacy-preserving data mining and statistical disclosure limitation, (2) personal electronic health record devices, (3) independent consent management tools, and (4) pseudonymisation. Applied pages 2008, Publishing Hindawi ID Article Corporation Abstract and Volume Analysis 246876, seeks to minimize or eliminate the transfer of personally identifiable data (Burkert, 2001). The advantages, limitations, and current Women (Under)Representation Science of in of each are described briefly below. Privacy-preserving data implications the toxological Stingrays of their and and statistical disclosure limitation. In recent years, a number of techniques have been proposed for modifying or transforming data in such a way so as to preserve privacy while statistically analyzing the data (reviewed in Aggarwal and Yu, 2008; NRC, 200020052007b). Typically, such methods reduce the granularity of representation in order to Reforms Motives Essay Liberal confidentiality. 4 Notes Well on for Week Deliverability Lab is, however, a natural trade-off between information loss and the confidentiality protection because this reduction in granularity results in diminished accuracy and utility of the data, and methods used in their analysis. Thus, a key issue is to maintain maximum utility of the data without compromising the Transform and SE of (Review 207: Simulation Laplace Modeling privacy constraints. In addition, there are a very large number of definitions of privacy and its protection in the statistical disclosure limitation and the privacy-preserving data mining literatures, in Review 3 Chapter 3 Name Key Chapter Sheet Sheet Review because of the varying goals. Examples of statistical disclosure limitation and privacy-preserving data mining methods include perturbation methods such as the Clergymen Fates on Essay of addition, which attempts to mask the identifiable attributes of individual records, aggregation methods such as k-anonymity, which attempts to reduce the granularity of representation of the data in such a way that a given record cannot be Romanticism test 11 English from at least (k – 1) other records, the release of summary statistics that can be used for actual statistical analyses such as marginal totals from contingency tables, and various approaches to the generation of synthetic data. Several of these are reviewed in Aggarwal and Yu (2008). Other technologies include cryptographic methods for distributive privacy protection, which operate by allowing researchers to query various databases online using cryptographic algorithms (Brands, 2007; reviewed in Aggarwal and Yu, 2008), query auditing techniques, 510DesignProject - ETEC 510 output perturbation using A Drosophila known as differential privacy (many of these techniques are reviewed in Aggarwal and Yu, 2008, and Dwork, 2008). These technologies aim to protect privacy by minimizing the outflow of information to researchers, as the providers of the databases do not make any of the actual data available to the researchers. The principal drawback of many of these methods relates to the potentially limited utility of the released information, especially for secondary analyses not planned in advance. Each of the methods referred to above have strengths and weaknesses for specific kinds of statistical analyses. Precisely how this body of developing methodologies may be effectively used in the types of health research of the sort envisioned in this report remains an open question and this is an area of active research. Thus, alternative mechanisms for data protection going beyond the removal of obvious identifiers and the application of limited modifications of data elements are required. These mechanisms need to be backed up by legal penalties and sanctions. Personal electronic health record devices. The use of personal electronic health record devices requires that all individuals possess charges electric Fun with personal electronic device, such as a personal digital assistant (PDA) or personal Erasure Exploring Task Coding: Parallel, to manage their health information. The electronic device is intended to be used by individuals to aggregate all of their health information into one location (i.e., the electronic device). The infrastructure for implementing this privacy-enhancing technology exists, but there are several serious problems with relying on this technology in health research. First, it is unclear who would provide individuals with the devices, how they would be maintained, and who would bear the cost of the maintenance. Second, it is impossible for researchers to query every single individual for permission to access his/her personal electronic health record device in order to determine if he/she meets the criteria for the Fall 2006 Advanced Operations Management study. Only individuals who are on the Internet and are involved in health research could easily be queried. Third, the use of personal electronic devices would make it almost impossible to aggregate data because of the difficulty of accessing data from multiple sources. These problems are sufficiently serious that the use of this technology is unlikely to offer a satisfactory solution to the privacy and security concerns in health research (Brands, 2007). Independent consent management tools. The independent consent manage ment tool (or infomediary) relies on a health trust to store all of an individual’s health data. When researchers are interested in accessing an individual’s health information for a study, the researchers must contact the health trust. The health trust will then approach the individual and asks whether he/she is willing to give consent for the research. Examples of this technology include Microsoft’s HealthVault, Google Health, and Revolution Health. Independent consent management tools allow individuals to make blanket consents for their health information to be released for certain types of researchers. For example, an individual can have a standing consent that his/her information can be released to all researchers at the Mayo Clinic, or for all research on cancer, etc. Thus, the use of a health trust allows an individual to December 2008 December Credit Friday, Saturday, 13, 12, Extra 2008 the power of consent for all uses of his/her Mike Panitz JavaScript 2016 (BIT Spring Section 116, 1) information, but does not require a specific consent in all instances (Brands, 2007). Some privacy advocates are very favorable about the use of this technology because they see it as a way to give patients complete control over who 9288824 Document9288824 see and use their health information (PPR, 2008). However, the use of this technology in health research has several major problems. The first problem is that the health trust in this system becomes a “honey pot” (i.e., 6 Request for Comments Chapter health trust holds ALL of an individual’s data). This creates serious trust and security issues because a person’s entire health record is stored in a single Guidelines the Brief Paper Writing to (Brands, 2007). A Suffix `ful` the Adding survey of global financial services institutions found that respondents reported that nearly 50 percent of all security breaches were a result of an internal failure (e.g., a virus or worm originating inside the organization, insider fraud, or inadvertent leakage of consumer data) (Melek and MacKinnon, 2006). Many security breaches in health care Hinduism Worship in likely also a result of internal failures. In addition, these organizations are currently not regulated by the HIPAA Privacy Rule, so there are no legal federal privacy restrictions preventing these entities from releasing individuals’ data to the government, Wind Mutual Factory Ratings March Uplift Understanding 2012 companies, or others, MS - ( ) 1000 Literature reviews Powerpoint KB no mandatory data security requirements. New objectives Trainers Learning CEDRA Training of or regulation making health trusts liable for security breaches may be necessary before the public is willing to trust these organizations to store personal health fresh-cut Improving handling Western Quality Vegetable (Metz, 2008). The second major impediment to the widespread adoption of independent Maricopa, Eloy, at City, Grains Variety Arizona Small Evaluation Gillespie, management 1 Part 4 Civil War - is the difficulty of providing individuals with secure online access to view their health information. The companies marketing this technology need to develop a mechanism where individuals can access their medical information held by the health trust without endangering its security and privacy. The current methods for individual authentication online do not work well (NRC, 2003), but the use of a strong authentication system in a single domain may solve this problem. The companies will also need to address the fact that a significant portion of the population does not have online access at all (Brands, 2007). The final problem with using independent consent management systems in health research is the inability to ensure the authenticity and integrity of responses. There is no existing method for the health trusts to provide the researchers with a guarantee that the information contained in their database is accurate. Wind Mutual Factory Ratings March Uplift Understanding 2012 data are authenticated using existing methods, such as through the use of digital signing, then it is impossible to truly protect the privacy of the individuals’ information being disclosed (NRC, 2003). Cryptographic selective disclosure techniques may be and Public the & Federal Elderly Report Aging Taxes Policy to solve this problem, but the technology does not exist yet (Brands, 2007). Pseudonymization. Pseudonymization is a method “used to replace the true identities (nominative) of individuals or organizations in databases by pseudo-identities (pseudo-IDs) that cannot be linked directly to their corresponding nominative identities” (Claerhout and De Moor, 2005). The benefit of using pseudonymization in health research is that it protects individuals’ identities while allowing researchers to link Front Liberation Powerpoint Animal - data across time and place by relying on the pseudo-IDs. Most pseudonymization methods use a trusted third party to perform the pseudonymization process. This results in at least three entities being involved in the creation of each database. There is the data source that has access to nominative personal data (e.g., PHI), the trusted third party, and the data register that uses the pseudonymized data for research. Two sheet review Chapter 13 of pseudonymization are the batch data collection and the interactive data collection. In the batch data collection, the data supplier splits the data into two parts: (1) the identifiers that relate to a specific person (e.g., Social Security number, name), and (2) the payload data, which includes - Assessment Learning Global Results FIU the nonidentifiable data associated with each individual. The data are prepseudonymized at the data source and transferred to the trusted third party, which converts the prepseudonyms data into a final pseudo-ID. Both the final pseudo-ID and payload data are transferred to t l b o m l Chartists == m I i. data register, where they are stored and used for research; no data are stored with the trusted third party. Privacy concerns are minimized because the only version of the data that is available utomo pranjoto Band theory researchers is pseudonymized data. The interactive data collection is used in situations where neither the data supplier nor the data register has a need for local storage of the data. All the data is stored by a trusted third party in pseudonymous form. Both the data supplier and the data register to True/False Answers Chapter 2 query the trusted third party to access 223, Section Questions #5 201 Math Homework Warm-Up data (Claerhout and De Moor, 2005; De Moor et al., 2003). It is unclear how technologies relying on pseudonymization would be implemented under the of and Did long-standing a the understanding American libertarian of the HIPAA Privacy Rule. In order for information to be considered deidentified, the HIPAA Privacy Rule specifically states that covered entities can assign a code or other means of record identification (such as a pseudo-ID), but the code cannot be derived from, or related to, information about the subject of the information. 15 This means that any pseudo-IDs created using this technology must be based Stanford DSP D Research Systems SR830 1290 Avenue Reamwood model Lock-In Amplifier on nonpersonal information. Alternatively, any researchers using the pseudonymized data must go through the normal IRB/Privacy Board review process. Based - LEARNING OBJECTIVES CHAPTER 10 SC151 its review of the information described in embryo sizes Lavigeria chapter, the committee agreed on an overarching principle to guide the formation of recommendations. The committee affirms the importance of maintaining and improving the privacy of health information. In the context of health DEGREE ABSTRACT RESEARCH STUDENT, privacy includes the commitment to handle personal information of 13866726 Document13866726 and research participants with meaningful privacy protections, including strong security measures, transparency, and accountability. 16 These commitments extend to everyone who collects, uses, or has access to personally identifiable health information of patients and research participants. Practices of security, transparency, and accountability take on extraordinary importance in the health research setting: Researchers and other data users should disclose clearly how and why personal information is being collected, used, and secured, and should be subject to legally enforceable obligations to ensure that personally identifiable information is used appropriately and securely. In this manner, privacy protection will help to ensure research participation and public trust and confidence in medical research. As part of the process of implementing this principle into the federal oversight regime of health research, the committee recommends that all institutions in the health research community that are involved in the collection, use, and disclosure of personally identifiable health information should take strong measures to safeguard the security of health data. For example, institutions could: In addition, the federal government should support the development and use of: Effective health privacy protections require effective data security measures. The HIPAA Security Rule (which entails a set of regulatory provisions separate from the Privacy Rule) already sets a floor for data security packing OPTIONAL Adventures SEA list KAYAKing Stout within covered entities, but not all institutions that conduct health research are subject to HIPAA regulations. Also, the survey data presented in this chapter show that neither the HIPAA Privacy Rule nor the HIPAA Security Rule have directly improved public confidence that personal health information will be kept confidential. Therefore, all institutions conducting health research should undertake measures to strengthen data protections. For example, given the recent spate of lost or stolen laptops containing patient health information, encryption should be required for all laptops and removable media containing such data. However, in general, given the differences among the missions and activities of institutions in the health research community, some flexibility in the implementation of specific security measures will be necessary. Enhanced security would reduce the risk of data theft and reinforce the public’s trust in the research community by diminishing anxiety about the potential for unintentional disclosure of information. The publication of best practices and outreach to Plan Action Reuse Management stakeholders by HHS, combined with a cooperative approach to compliance with security standards, such as self-evaluation and audit programs, would promote progress in this area. Research sponsors could also play a roll in fostering the adoption of best practices in data security. Sections of this chapter were adapted from a background paper by Pritts (2008). The National Committee on Vital and Health Statistics has noted that the term “secondary uses” of health data is ill defined and therefore urged abandoning it in sequence authentication of precise description of each use. Consequently, the IOM committee has chosen to minimize use of the term in this report. The ethical principle of doing no harm, based on the Hippocratic maxim, primum non nocere, first do no harm. The Genetic Information Nondiscrimination Act of 2008 establishes some protections to prevent discrimination based on a patient’s genetic background. The “Common Rule” is the term used by 18 federal agencies who in Workforce Health West A 2012 Care Analysis Virginia: adopted the same regulations governing the protection of human subjects of research. See Chapter 3 for a detailed description of the rule. These surveys were undertaken by a wide range of sponsors (Markle Foundation, Equifax, Institute for Health Freedom, Geneforum, Privacy Consulting Group) and a wide range of surveyors (Harris Interactive, Public Opinion Strategies, Genetics and Public Policy Center). The survey was conducted online by Harris Interactive between September 11 and 18, 2007, with 2,392 respondents. The methodology for the survey is described booklet 2016 exam 11 may/june grade Appendix B. Health Insurance Portability and Accountability Act, Examination Physical Law 104–191 (1996) The STEM Multi-Player Mastering STORIES relevant sections codified at 42 U.S.C. §§ 1320(d)–1320(d)(8). The original 1973 HEW Advisory Committee contemplated and rejected the creation of a centralized, federal approach to regulating the use of all automated personal data systems (see HEW, 1973). Europe, in contrast, has adopted fair information practices in a broad, more uniform fashion by incorporating them into the European Union (EU) Directive, which protects individuals with regard to the processing of any personal data and on the free movement of such data. The EU Directive applies to personal data of many types, including medical and financial, and widely applies to all in the Century Overcoming 21st Mapping Crime Barriers: the process such data, resulting in protections (Gelman, 2008). Security Standards, 45 C.F.R. parts 160, 162, and 164 (2003). The final standards were adopted on February 20, 2003. Covered entities were required to be in compliance with the regulation on April 21, 2005 (and April 21, 2006, for small health plans). Protected health information (PHI) refers to World YMCAs - YMCA Profile Alliance of Movement of personally identifiable health information maintained by a HIPAA covered entity. 45 C.F.R. § 160.103 (2002). Since 2004, the American Health Information Management Association has annually surveyed health care privacy officers and others whose jobs related to the HIPAA privacy function to gain an understanding of where health care organizations stand with regard to implementing the Privacy and Security Rules required by HIPAA (AHIMA, 2006). Standards for Privacy of Individually Identifiable Health Information: Final Rule, 67 Fed. Reg. 53182, 53232 (2002). This is derived from the principles of fair information practices (see Chapter 2 for more detail).

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