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HIPAA, Privacy

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Protecting the privacy of our veterans. Assuring the confidentiality of research ... voice prints (16) Full-face photographic images and any. comparable images ... – PowerPoint PPT presentation

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Title: HIPAA, Privacy


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HIPAA, Privacy Confidentiality
  • Local Accountability for Research Protection in
    VA Facilities
  • VA Office of Research Development
  • Baltimore, February 2008

3
  • I have as much privacy as a goldfish in a bowl.
  • Princess Margaret

4
The Goal of VA Privacy
  • Protecting the privacy of our veterans
  • Assuring the confidentiality of research
    subjects data
  • Ensuring research will continue

5
VHA Privacy
  • VHA privacy program is complex
  • Must comply with 6 statutes that govern
    collection, maintenance release of information
  • Investigators must have the authority to collect,
    use, or disclose private information
  • VHA Handbook 1605.1 addresses most requirements

6
Privacy Related Statutes
  • HIPAA Privacy Rule
  • Privacy Act of 1974
  • FOIA
  • VA Claims Confidentiality
  • Confidentiality of medical records about
  • Drug Abuse,
  • Alcoholism Alcohol Abuse,
  • HIV, and
  • Sickle Cell Anemia
  • Confidentiality of Healthcare Quality Assurance
    Review Records

7
HIPAA the Privacy Rule
  • Title I Health Care Access, Portability,
    Renewability
  • Title II Preventing Healthcare Fraud Abuse
    Administrative Simplification Medical Liability
    Reform
  • Privacy Rule,
  • Transactions,
  • Security
  • Enforcement

8
HIPAA The Common Rule
  • Represents 2 different, but NOT contradictory
    regulations
  • Many terms similar but not the same
  • IRB must make 2 separate determinations when
    reviewing approving applicable research
  • The Common Rule
  • HIPAA

9
HIPAA Research
  • Defines specific HIPAA identifiers
  • Controls use of Personal Health Information (PHI)
  • Within the covered entity
  • Disclosures outside the covered entity
  • Allows only the Minimum Necessary information
  • Use of PHI requires an authorization or waiver of
    authorization. Exceptions
  • Preparatory to research Note It does not include
    recruiting subjects
  • Use of limited data sets as defined by HIPAA

10
HIPAA Identifiers Remove All 18 to De-identify
for HIPAA
  • (1) Names
  • (2) All geographic subdivisions smaller than a
    state, except
  • for the initial three digits of the zip
    code if the
  • geographic unit formed by combining all zip
    codes with
  • the same three initial digits contains more
    than
  • 20,000 people
  • (3) All elements of dates except year and all
    ages over 89
  • (4) Telephone numbers
  • (5) Fax numbers
  • (6) E-mail addresses
  • (7) Social security numbers
  • (8) Medical record numbers

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HIPAA Identifiers (Cont.)
  • (9) Health plan beneficiary numbers
  • (10) Account numbers
  • (11) Certificate or license numbers
  • (12) Vehicle identifiers and license plate
    numbers
  • (13) Device identifiers and serial numbers
  • (14) URLs
  • (15) IP addresses
  • (16) Biometric identifiers
  • Full-face photographs and any comparable
  • images

12
HIPAA Identifiers (Cont.)
  • Any other unique identifying number,
    characteristic
  • or code, unless otherwise permitted by
    the Privacy
  • Rule for re-identification
  • Scrambled SSNs
  • Initials
  • Last four digits of SSN
  • Employee numbers
  • Etc.
  • (19) A caveat HIPAA also states that the
    entity does not have actual
  • knowledge that the remaining
    information could be used alone
  • or in combination with other
    information to identify an individual
  • who is the subject of the information
  • If you can strip all 18 identifiers, it still may
    not be de-identified

13
Applicability of Identifiers
  • HIPAA identifiers apply to
  • The individual
  • The individuals relatives
  • The individuals employers
  • The individuals household members

14
Whats De-identified?
  • If some one tells you data is de-identified, ask
    them how they define de-identified!

15
De-identified VHAs Definition
  • Information or data that meets the HIPAA Privacy
    Rule and the Common Rule definitions of
    de-identified
  • Does not contain any of the 18 HIPAA identifiers
  • Has not been statistically de-identification
    using HIPAA criteria
  • Identity of the subject is not readily
    ascertained by the information remaining

16
Remember
  • Scrambled Social Security
  • Numbers are identifiers!!!

17
Protected Health Information (PHI)
  • PHI is individually identifiable health
    information (IIH)
  • IIH Health information including demographics
  • Collected from an individual
  • Relates to
  • The past, present, or future physical, mental
    health, or condition of an individual
  • Provision of health care to the individual
  • Identifies the individual or there is a
    reasonable basis to believe the information can
    identify the individual
  • Is retrieved by name or other unique identifier

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Preparatory to Reach
  • VHA Handbook 1605.1 states that contacting
    research subjects or conducting pilot studies are
    not activities Preparatory to Research
  • HHS states that the Preparatory to Research
    provisions allow an investigator to use PHI to
    contact prospective research subjects

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Limited Data Sets
  • HIPAA authorization or waiver of authorization
    not required
  • Use allowed only for
  • Research,
  • Public health, or
  • Health care operations
  • Requires a DUA
  • May contain identifiable information such as
    scrambled SSNs, therefore may still be
  • PHI
  • Human subjects research

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Limited Data Set (Cont.)
  • Excludes certain direct identifiers
  • Excluded identifiers apply to
  • The individual,
  • The individuals relatives
  • The individuals employers
  • The individuals household members
  • May contain
  • City, state, ZIP code,
  • Elements of a date other numbers,
  • Characteristics or codes not listed as direct
    identifiers

21
Limited Data Sets Direct Identifiers
  • (1) Names
  • (2) Postal address other than town, city, state,
  • and ZIP code
  • (3) Telephone numbers
  • Fax numbers
  • Electronic mail address
  • (6) SSNs
  • (7) Medical Record number
  • (8) Health plan beneficiary numbers
  • (9) Account numbers

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Limited Data Set Direct Identifiers (Cont.)
  • (10) Certificate/license numbers
  • (12) Vehicle identifiers and serial numbers
  • including license plate numbers
  • (12) Device identifiers serial numbers
  • (13) Web universal resource locators (URLs)
  • (14) Internet protocol (IP) address
  • (15) Biometric identifiers, including
    fingerprints
  • voice prints
  • (16) Full-face photographic images and any
  • comparable images

23
Business Associate Agreements
  • Business Associate An individual or entity who
    on behalf of VHA
  • Performs functions, services, or activities
    involving the use or disclosure of PHI
  • Must be related to treatment, payment, or health
    care operations

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Business Associate Agreements
  • BAAs required for
  • Any person or entity meeting the definition of
    Business Associate
  • BAAs not required for research or research
    sponsors
  • Research is not a function or activity regulated
    by HIPAA (treatment, payment, or health care
    operations)

25
HIPAA Authorization
  • Authorization requirements
  • Handbook 1605.1 Privacy Release of
    Information
  • Poor authorizations
  • Inadequate description of the data
  • Does not specifically state if PHI related to
    drug or alcohol abuse alcoholism HIV or Sickle
    Cell Anemia will be used
  • Statements regarding who will see data are to
    general
  • Failure to state what will happen with the data,
    where it is sent, and how it is secured
  • My be stand alone or incorporated into informed
    consent

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Waiver of Authorization
  • IRB or Privacy Board (PB) may approve
  • Full waiver of authorization
  • Partial waiver of authorization
  • Alteration of the disclosure
  • IRB or Privacy Board
  • Must make specific determination prior to
    approving waiver
  • Must document specific findings

27
Required Determinations 3 Criteria
  • 1. The use or disclosure of PHI involves no more
    than a minimal risk to the individual based on
    at least the presence of the following elements
  • An adequate plan to Protect the identifiers from
    improper use disclosure
  • An adequate plan to destroy the identifiers at
    the earliest opportunity consistent with the
    conduct of the research unless there is health
    or research justification for retaining them or
    retention or the retention is required by law
    and
  • Adequate written assurance that the PHI will not
    be reused or disclosed to any other person or
    entity, except as required by law, for authorized
    oversight of the research study, or for other
    research for which the use of disclosure of PHI
    would be permitted by this subpart

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Required Determinations 3 Criteria (Cont.)
  • 2. The research could not practicably be
    conducted without the waiver
  • 3. The research could not practicably be
    conducted without access to and use of the
    protected health information

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Required Documentation
  • Name of IRB or PB date approved
  • Statement IRB or PB determined the alteration or
    waiver of authorization, in whole or in part,
    satisfies the 3 criteria in the Rule (list
    criteria)
  • A brief description of the PHI for which use or
    access has been determined to be necessary
  • A statement that the alteration or waiver of
    authorization has been reviewed and approved
    under either normal or expedited review
    procedures, and
  • Signature of the chair or other voting member, as
    designated by the chair, of the IRB or PB, as
    applicable.

30
Data Use Agreements (DUA)
  • Originally VHA (in addition to HHS) required a
    DUA for use of limited data sets
  • VHA and ORD policy now requires a combined DUA
    and Data Transfer Agreement (DTA/DTA) for
    anytime you transfer data within or outside VHA
    for research purposes unless
  • The consent allows transfer to the sponsor
  • The transfer is within the scope of the protocol
    e.g., transferring data to a data coordinating
    center
  • DUA/DTA requirements will be published soon

31
  • Privacy Act of 1974

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  • An American has no sense of privacy.
  • He does not know what it means.
  • There is no such thing in the country.
  • George Bernard Shaw

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Privacy Act of 1974
  • Purpose To balance the governments need to
    maintain information about individuals with the
    rights of individuals to be protected against
    unwarranted invasions of their privacy
  • Background Watergate era and Congress concerned
    with
  • Curbing illegal surveillance investigations
  • Potential abuses presented by governments
    increasing use of computers to store retrieve
    personal data

34
Privacy Act Objectives
  • Restrict disclosure of personally identifiable
    records by agencies
  • Grant individuals
  • Increased rights of access to agency records
  • The right to seek amendment of agency records
  • Establish code of fair information practices for
    agencies

35
A Privacy Act Requirement
  • Agencies that maintain a system of records "shall
    promulgate rules, in accordance with notice and
    comment rulemaking
  • Systems of Records (SOR) A group of records
    under agency control from which information is
    retrieved by the name of the individual or by
    some identifying number, symbol, or other
    identifying particular assigned to the
    individual.

36
System of Records Content
  • Category of individuals covered by the system
  • Categories of records in the system
  • Purpose of the records
  • Routine uses of records
  • Storage (storage medium)
  • Retrievability (name, numbers or identifier)

37
SORs and Research
  • 34VA12 -- Veteran, Patient, Employee, and
    Volunteer Research and Development Project
    Records
  • 121VA19 -- National Patient Databases VA
  • 97VA105 Consolidated Data Information System
    VA (contains Medicare data)

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SORs Major Impact on Research
  • All release/disclosure of information must be
    consistent with the SOR and routine uses
  • Investigators can not release information to
    non-VA investigators or institutions unless
  • Written permissions/authorization from individual
    or
  • Permission of the USH or designee
  • Release of information is through or at the
    direction of the Privacy Office
  • Privacy Officer approval
  • ISO secure release transmission

39
Privacy Issues Resources
  • VHA Privacy Officer Stephania Putt
  • Local privacy officer
  • VHA privacy program
  • http//vaww.vhaco.va.gov/privacy/
  • Links to all Federal statutes, regulations,
    policies including security policies
  • Privacy Fact Sheets

40
Is This True?
  • "The more the data banks record about each one of
    us, the less we exist
  • Marshall McLuhan
  • Canadian philosopher educator

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