HITEQ Health Center Behavioral Health Integrator Badge
Health centers are increasing the integration of behavioral health in primary care, spurred by an increased focus on whole person care and additional funding. Effective use of health IT in conjunction with patient privacy and confidentiality is imperative to support behavioral health.

According to the Office of the National Coordinator, "Health information technology can help to improve behavioral health care and can further enable care coordination and integration, increase information sharing, and support prevention, treatment, and recovery activities. Access to and the exchange and use of behavioral health information as part of routine care can help to improve continuity in care services and support efforts toward achieving an interoperable health care system across the continuum."

Take some time to read through some of the articles on this page and then fill out the submission form on the right and you will be rewarded with a Health Center Incredible Behavioral Health Integrator badge! This is an official badge that is submitted by the HITEQ Center as a proof of completion to the blockchain. Your credentials can be added to profiles such as LinkedIn and verified through accreditation services such as Accredible and Open Badge.

https://hiteqcenter.org/Services/Badges-Self-paced-Learning/Behavioral-Health-Integrator

 

Health Center Guidelines for Implementing FHIR and the Information Blocking Rule

Health Center Guidelines for Implementing FHIR and the Information Blocking Rule

HITEQ Center, September 2023

The 21st Century Cures Act and the ONC Health IT Certification Program include rules for technical configuration and use of Health Level 7® (HL7) Fast Healthcare Interoperability Resources® (FHIR) for health data exchange and accessibility. Health centers are directed to enable and publish their healthcare data locations, known as FHIR endpoints,* to and from their electronic health record (EHR). Part of the Cures Act, known as the Information Blocking Rule, mandates that patients have “easy” access to their digital medical information, costs and claims associated with their health record, and whom the data can be shared with. FHIR is a standard information protocol that is widely used in the health IT community to meet Cures Act compliance.

*An endpoint describes the technical details of a location that can be connected to for the delivery/retrieval of information. For a list of resources that are   typically used to identify where to locate endpoint details, visit https://build.fhir.org/endpoint.html.

 

FHIR interface specifications define how health data is exchanged for interoperability, retrieval, use, and transmission. Getting Started with FHIR outlines these specifications and contains information on the following: 

How will information be exchanged? (see Foundation Module)
How will the data be secured? (see Security and Privacy Module)
When and what data is exchanged? (see Workflow Module)
How does the data conform to the FHIR specification and Implementation Guides? (see Conformance Module)

The following sections provide guidance to health centers for implementing FHIR in compliance with the Information Blocking Rule.  

Administrative Practices

  • Review the Cures Act rule: API Conditions and Maintenance of Certification requirements to ensure that FHIR endpoints and Application Programming Interfaces (API) are properly registered and accessible for use. These requirements provide details for FHIR endpoints, or “service base URLs” to be published.
  • Establish appropriate data exchange and network transmission agreements, such as business associate agreements and Data Use Agreements (DUA), and incorporate them into local health center HIPAA policy and procedures.  Health centers should document and inventory “actors'' such as systems, users, software, and data requests to align appropriate security configurations on networks. For further guidance on implementing agreements, see NIST 800-66 special publication and CMS HIPAA and Administrative Simplification.

FHIR API Practices

  • Test, review, analyze, and continually monitor third-party FHIR Apps and APIs through integrated information security controls. 
  • Review the CMS article: Best Practices for Payers and App Developers to learn about resources and how to establish and maintain a secure, FHIR-based healthcare API.

Cybersecurity Management 

  • Implement information security best practices, user access agreements, regular monitoring of systems' software, and apply recommended configurations and patches. 
  • Engage the use of subject matter experts and cybersecurity resources available through the HITEQ center.

Practices for Securing FHIR endpoints

  • Utilize a threat management system for mobile apps and FHIR API endpoints.
  • Ensure API authentication keys are secured using valid certificate key exchange, Transport Layer Security (TLS), and certificate pinning
  • Use standard authentication and access controls to ensure users and systems are authorized. 
  • Review the API security checklists that are available via the Open Web Application Security Project (OWASP) GraphQL - OWASP Cheat Sheet Series
  • Validate hosts, ensure proper web and software security configurations within the platform or FHIR “framework,” implement web application firewalls (WAFs), and access audit logs and monitoring. 

Resources 

  1. Cures Act Final Rule: Information Blocking Exceptions (healthit.gov)
  2. Policies and Regulations | CMS
  3. CMS Interoperability and Patient Access Final Rule (CMS-9115-F) | CMS 
  4. The Cures Act
  5. Best Practices for Payers and App Developers (cms.gov)
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HRSA Center of Excellence for Behavioral Health Technical Assistance

HRSA Center of Excellence for Behavioral Health Technical Assistance

The HRSA Center of Excellence for Behavioral Health Technical Assistance (COE for BHTA) helps grantees integrate substance use and mental health (behavioral health) services in primary care settings.

Focus: PHI

Focus: PHI

Patient privacy and confidentiality form a crucial component of the patient-doctor treatment relationship, particularly when seeking treatment for mental health or substance use disorders. Multiple federal privacy laws, in addition to state laws, provide privacy protections for mental health and substance use disorder treatment records, while permitting communication of these records to other healthcare providers, patients’ families, and others.

Behavioral Health Integration Compendium

Behavioral Health Integration Compendium

Many health centers collaborate with external behavioral health providers or provide co-located or integrated behavioral health services within their health center. Some of the most significant challenges are determining which data to share, how to store it within the Electronic Health Record, and how to use it within primary care. This compendium of literature and resources offers some guidance related to behavioral health data integration, complete with key health center considerations for each.

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