Now Available:

line

Featured Resources:

line

Newsletter

Email Address:


line

Ask the Expert

Have a question for our resident expert? Email your questions to Rebecca.

« 12 Privacy-Impacting U.S. Federal Bills Introduced on January 4 | Main | Outsourcing: Dubai Strengthens Data Protection Law »

HIPAA Mobile and Remote Computing Security Guidance from CMS

Today I received notice that the Centers for Medicare & Medicaid Services (CMS) just issued a new publication, "Security Guidance for Remote Use” which is actually dated 12/28/2006.

"This document is intended to provide HIPAA covered entities with general information on the risks and possible mitigation strategies for remote use of Electronic Protected Health Information (EPHI)."

It provides basic, common-sense recommendations for securing mobile computing devices and remote work locations.

Covered entities (CEs) should review it closely, though, since it is issued by the regulatory oversight agency for the HIPAA Security Rule. Yes, it is true that there have not been any HIPAA penalties applied...yet. However, keep in mind we have a new congress, and new pressures to safeguard all types of personally identifiable information (PII), along with getting more aggressive with regulatory enforcement. Plus, also remember that the U.S. Department of Justice is also in the picture with regard to enforcement actions, which I blogged about a few weeks ago.

The paper emphasizes some of the important basics of information security that are HIPAA requirements that, unfortunately, far too many CEs still do not follow:

"Specifically, with respect to remote access to or use of EPHI, covered entities should place significant emphasis and attention on their:  Risk analysis and risk management strategies;  Policies and procedures for safeguarding EPHI;  Security awareness and training on the policies & procedures for safeguarding EPHI."

It is too bad the paper is not more directive about their recommendations. It often makes that statement that CEs "are strongly urged" to do what really should MUST be done with regard to protecting PHI.

I am glad they discuss encryption as a risk management strategy for mobile computing devices containing PHI, but it still should have been required instead of offered as a "possible" strategy.

"Require that all portable or remote devices that store EPHI employ encryption technologies of the appropriate strength;"

Plus, they do not provide guidance on what they mean by "appropriate strength." Many small to medium-sized CEs do not have dedicated information security personnel who can make the determination for what "appropriate strength" would be.

This paper certainly is a good start for a large majority of the CEs when addressing mobile and remote computing that involves PHI. However, it needs to go further to more clearly specify what actions CEs *MUST* take to adequately address the risks involved with storing PHI on mobile computing and storage devices, and accessing PHI from remote locations.

TrackBack

TrackBack URL for this entry:
http://www.realtime-itcompliance.com/type/mt-tb.cgi/279

Post a comment

(All comments are approved by site leader before appearing here. Thanks for commenting!)

line

Rebecca Herold's Bio:

Rebecca Herold,CISSP, CIPP, CISM, CISA, FLMI, has been providing information security, privacy and regulatory assistance and services to organizations from a wide range of industries for over 18 years. Rebecca was instrumental in building the information security and privacy program while at Principal Financial Group, which was awarded the CSI Information Security Program of the Year Award in 1998. IT Security ranked Rebecca as one of the top 59 IT security influencers, and Computerworld put Rebecca their list of the 25 top privacy experts and on their list of the 9 best privacy consulting firms. Rebecca has been CPO for two consulting organizations, and has had her own information privacy, security and compliance business since 2004. Rebecca has written chapters for several books, dozens of articles, and has been writing a monthly privacy column for the CSI Alert newsletter since the beginning of 2001, and is working on her 11th book. Some of her other books include The Privacy Papers, Managing an Information Security and Privacy Awareness and Training Program, The Definitive Guide to Security Inside the Perimeter (Realtime Publishers), The Shortcut Guide to Improving IT Service Support through ITIL (Realtime Publishers), and The Practical Guide to HIPAA Privacy and Security Compliance. In addition, Rebecca is the leader of The Realtime IT Compliance Community where she posts to her IT Compliance weblog. You can contact Rebecca at: rebecca_herold@realtimepublishers.net.