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Indeed, the HHS Bulletin, like many other privacy trends (e.g., CCPA, mobile app store requirements, etc.), reinforces the importance for organizations to utilize technical frameworks to inform and comply with their privacy requirements. [read post]
21 Mar 2024, 1:32 pm by Steve Roosa (US) and Susan Ross (US)
Indeed, the HHS Bulletin, like many other privacy trends (e.g., CCPA, mobile app store requirements, etc.), reinforces the importance for organizations to utilize technical frameworks to inform and comply with their privacy requirements. [read post]
3 Sep 2024, 6:54 am by Jodi G. Daniel and Lorraine M. Campos
”  HHS explains that this would not include activities that are incidental to the contract, such as when a contracted party is performing research and may need to obtain data from a health IT system. [read post]
4 Sep 2014, 8:22 am by Debra A. McCurdy
Hobby Lobby Stores, Inc.) addressing certain religious objections to such coverage. [read post]
16 Mar 2011, 10:19 am by Harley Geiger
HHS’ rule allows covered entities to avoid breach notification requirements if, prior to the breach, the covered entity used encryption or another method to render the data unreadable to unauthorized parties. [read post]
27 Apr 2017, 8:22 am by Wachler & Associates, P.C.
However, through a HHS compliance review in 2015, it was discovered that there was no signed Business Associate Agreement between the parties prior to October 2015. [read post]
11 Jan 2017, 7:09 am by Robert Kraft
” The CBS Evening News reported, “Contaminated foods sometimes remains on store shelves for months because the FDA is slow to order a recall. [read post]
6 Sep 2022, 5:00 am by Wachler & Associates, P.C.
The audit seeks to ensure HHS’s compliance with the Federal Information Security Management Act and OMB Circular A-130 which requires Federal agencies to ensure that service providers meet the security requirements for transmitting, processing, or storing Federal information. [read post]
The use of cookie consent banners does not constitute a valid HIPAA authorization to a vendor when PHI is being collected, disclosed, used, or stored with the vendor. [read post]
13 Jul 2015, 6:27 am by Jessica Webb-Ayer
Under the regulations, eligible organizations could notify HHS in writing of their religious objections to providing such coverage (instead of filling out the DOL form to provide to their insurer or third-party administrator). [read post]
The Omnibus Rule expanded the third-party directive to include patient requests for copies of medical records stored both in EHRs and on paper. [read post]
26 Feb 2016, 5:30 am by Marcy Wilder and Madeline Gitomer
Does the consumer control all decisions about whether to transmit her data to a third party, such as to her health care provider or health plan? [read post]
22 Jul 2015, 8:19 pm
On July 10, 2015, OCR released an HHS OCR Bulletin containing the allegations against SEMC, the parties' settlement agreement and SEMC's corrective action plan. [read post]
28 Nov 2022, 12:56 pm by Cynthia Marcotte Stamer
 These violations mirrored violations OSHA previously at Dollar General locations across the nation, and those identified in the last 11 months at five other stores in the Southeast. [read post]
HHS recognizes that in some cases, requiring more than one party to implement the same safeguards would be redundant. [read post]
15 Jul 2015, 6:06 am by Eric Athey
Hobby Lobby Stores, Inc. et al, that for-profit closely held corporations must be permitted to opt out of the Affordable Care Act’s contraception mandate on religious grounds. [read post]
4 Jun 2012, 5:00 pm by JimWieland
Financial remuneration is defined as “direct or indirect payment from or on behalf of the third party whose product or service is being described,” except payment for treatment of an individual which is exempt. [read post]
28 Jan 2013, 11:06 am by Dena Feldman
  HHS explained that this new definition will include entities that maintain or store PHI, even if they do not actually view the PHI. [read post]