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Vendor Management

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Identify the vendors the covered entity is currently doing business with. ... Instead, Payors will have Companion Guides, for example, specific to adjudication ... – PowerPoint PPT presentation

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Title: Vendor Management


1
Vendor Management
  • Presented by the HIPAA COW
  • EDI Administration Workgroup Co-chairs
  • Christine Duprey, Project Manager, Healthcare
    Solutions - Stratagem, Inc.
  • Suzanne Ronde, Independent Consultant
  • Claudia Egan, Associate - Reinhart Boerner Van
    Dueren

September 27, 2002
2
What is A Vendor?
  • A vendor can be any person, organization or
    software development company that is providing
    services or products on behalf of a covered
    entity.

3
Steps to Vendor Management
  • Step One
  • Identify the vendors the covered entity is
    currently doing business with.
  • Identify whether or not the vendor is a covered
    entity.
  • Identify whether or not each vendor is a business
    associate.
  • Step Two
  • Identify the activities completed throughout the
    organization where information may be used
    electronically.

4
Steps to Vendor Management
  • Step Three
  • Identify the vendors that enable the organization
    to transmit electronic information.
  • Determine whether or not the activity completed
    will require changes due to the compliance
    requirements.

5
Steps to Vendor Management
  • Step Four
  • Review the organization business practices and
    systems to ensure the required components for the
    new electronic transactions can be gathered in
    day to day activities.
  • Step Five
  • Review the vendors HIPAA compliance activity.

6
Responsibilities
  • Covered Entity
  • 1. Comply with all elements of HIPAA.
  • 2. Determine operational impacts of compliance.
  • 3. Determine compliance readiness of the vendors.
  • 4. Monitor the vendor compliance activities.
  • 5. Initiate appropriate agreements.
  • Vendor/Business Associate
  • 1. Not a covered entity not
  • enforced by HIPAA!
  • 2. Comply with agreements with covered entity.
  • 3. Report breach incidents to the covered entity.
  • 4. Clearinghouses special rules for business
    associate activity 7 components of Privacy.

7
Vendor Myths
  • If my vendor makes changes to my system for EDI
    Transactions, then Ill be HIPAA compliant.
  • There is no cost associated with the changes
    vendors are making to the systems.
  • My vendor is already making the changes, there is
    no need to conduct a GAP Analysis.
  • I dont need to file for the ASCA Extension, my
    vendor is probably doing this.
  • After the changes are made to the system, it will
    be an easy implementation process.

8
The Truth Behind the Myth
  • The vendor is not responsible for any entitys
    HIPAA compliance. The HIPAA regulations
    specifically affects the covered entity.
  • Most vendors will be associating a cost with
    changes in regards to HIPAA.
  • GAP Analysis is important for covered entities to
    conduct.
  • It is the covered entitys responsibility for
    filing the ASCA extension. Vendors can assist
    you in completing this.
  • Some organizations may not be aware of the
    training needed or what the implementation
    entails.

9
Information Received from Vendors
  • White Papers
  • Readiness Documents
  • HIPAA 101 Information
  • Implementation Plans
  • Testing Dates
  • What do you do with this information?

10
Information You Need to Know
  • What transactions will they be addressing?
  • What is the release date?
  • Implementation dates?
  • Is the vendor doing testing and certification of
    these?
  • What code sets will be supported?
  • Release dates
  • When the code set is no longer accepted
  • Do you need to file for an extension?

11
Information You Need to Know, Cont.
  • Implementing the Changes
  • Do you have a migration plan?
  • Will there be a need for training of staff for
    the changes?
  • Is there a cost associated with changes?
  • What security measures in regards to HIPAA have
    you addressed?
  • Encryption?
  • Monitoring or tracking mechanisms?

12
Information You Need to Know, Cont.
  • What are the HIPAA initiatives of the vendor?
  • HIPAA Team
  • Implementation plan
  • Conducted HIPAA training or awareness
  • Organizational assessment

13
Which Agreement(s)?
  • Chain of Trust
  • Business Associate or
  • Trading Partner?

14
Chain of Trust Agreement
  • Apportions Contractual Liability for Breaches of
    the Security of Data Exchanged between Parties
  • Not (yet) required by HIPAA

15
Business Associate Agreement
  • PHI Driven
  • Contractual Extension of HIPAA Privacy Rule to
    Non-Covered Entities
  • Required Elements
  • Indemnification

16
Trading Partner Agreement
  • Memorializes Details of Electronic Data Exchange
  • Not Required by HIPAA (like Business Associate
    Agreement)

17
The Big Disappointment (Sort of)
  • The Use of HIPAA Standard Transactions does not
    mean Identical Transactions among all payors and
    providers
  • Instead, Payors will have Companion Guides, for
    example, specific to adjudication

18
Trading Partner Agreement
  • Recommended as a Standard way to
  • Communicate companion guides
  • Set Expectations
  • Assign Responsibilities
  • Allocate Costs

19
Trading Partner Agreement Elements/ Legal
Restrictions
  • Parties May Not
  • Change definition, data condition, use of data
    element or segment
  • Add elements of segments to max. defined data set
  • Use items marked Not Used in IG
  • Change the meaning or intent of implementation
    specification

20
Trading Partner Agreement Elements
  • Testing Requirements Prior to Go Live
  • Communications Details
  • Financial Arrangements
  • Companion Guide Details
  • Security Measures and Responsibilities

21
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