of 1996 or HIPAA, was put in place as an attempt to reform health care during the Clinton administration by making it possible for workers, of any profession, to change jobs regardless if the worker, or any member of their family, have a pre-existing medical condition, decreasing paperwork which is associated with the processing of health claims, and by reducing health care abuse and fraud, and by assuring the privacy and security of health information. HIPAA’s standards for privacy of individually
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groups, and making the assets easier to find. 3. For the scenario you picked, give three (3) examples of customer privacy data elements. 4. Why is your organization’s website classification minor but its e-commerce server considered critical for your scenario? a. Because there is customer’s credit card information stored on the servers 5. Why would you classify customer privacy data and intellectual property assets as critical? a. These are things that can be damaging to not just an organization
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Diagnostic codes and Claims Process. ▪ Expertise in EDI and HIPAA Testing Privacy with multiple transactions exposure such as Inbound Claims 837-Institutional, 837-Professional, 837-Dental, 835-Claim Payment/Remittance Advise, 270/271-Eligibility Benefit Inquiry/Response, 276/277-Claim Status Inquiry/Response Transactions and testing in Client Server systems and Mainframe Applications. ▪ Experience in Conversion of HIPAA X12 4010 codes to X12 5010 codes and ICD 9 codes to ICD 10 codes
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Riordan Corporate Compliance Plan LAW/531 October 2012 University of Phoenix Riordan Corporate Compliance Plan The Corporate Compliance Plan will provide standard of conduct for the internal operations of the company to limit and reduce violations of the law within an organization. The plan is to reduce negative events from becoming legal liabilities. Definitions The people involved in this Compliance Plan are any person who is involved in business activities and transactions within
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report of offices should be conducted to ensure security policies and procedures are followed. Security Management Currently, PFCH has a Chief Compliance Officer in place to ensure the hospital meets all laws and regulations regarding patient privacy. The CCO is responsible for developing, implementing, and maintaining a system-wide Corporate Compliance program. The COO also oversees the Security Officer, the Director of Medical Records and the Director of Q.A. / Risk Management. In addition to
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Sunshine State Medical Billing Service Legal Issues in Business BUSI 561-D05 LUO 12/16/2011 This paper explores the legal challenges faced when forming and operating the Sunshine State Medical Billing Service. The legal issues surrounding the business will be analyzed using a business law perspective, as well as a Christian worldview. This legal business plan was prepared by Karri-Marie Baskin, Suzanne Ludikhuize, Renada Manning, Susan Schaeffer, and Dixie Wallace. Executive Summary
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Project for IS4550 Shurleen E. Wilson-Fye ITT-Duluth Ms. Brown Contents Coversheet ……………………………………………………………………………… 1 Glossary…………………………………………………………………………………….2-3 Overview, Purpose, Scope……………………..4-5 Training………………………………………………….5-6 Procedure………………………………………………….6 Policy……………….………………………………….….6-9 Policy 1: Information Systems Policy..…..10-13 Policy 2: Security of Laptop…………………..14-16 Policy 3: Clean Desk policy…….……………..17-18 Policy 4: Workstation Policy………………………19 Policy 6:
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Health Law and Regulations Federal regulations play a major role in the health care industry. Federal laws and regulations protect the American public from a number of health risks and administer programs for public welfare. Federal regulations also regulate the health insurance industry by implementing cost-containment measures. Through various regulatory bodies, Department of Health and Human Services (HHS) protects and regulates public health at every level. HHS is the United States principal
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Overview Heart-Healthy Insurance (HHI) is a company that is required by the federal government to keep the customer's information confidential, available and safe. The HHI is required to comply with PCI-DSS regulations, GLBA regulations, federal privacy laws, and HIPAA and HITECH regulations. 2. Scope The scope of this task is to develop a new policy statement with two modifications for the new users and password requirements that follow all the federal laws and regulations. 3. Policies of the HHI
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review of “privacy” concept indicated that it is accentuated since Hippocrate, s oath at the first time (1، 2). Thereafter, It was argued as “the right to be let alone” by Samuel Warren and Louis Brandies in 1890s, then it evolved as “informational privacy,” which is defined by Allen Westine suggesting it is considered as an individual’s right to control personal information(3). Privacy, confidentiality and security are three interwoven concepts concerning personal information. Privacy refers to
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