HITEQ Health Center Childhood Obesity Preventer Badge

Supporting young patients in achieving and maintaining a healthy BMI and living healthy, active lives is critical to their ability to live full, healthy, and happy lives. Health centers improve the health of their patients and community by addressing child and adolescent weight.

The resources below are the product of a HRSA-MCHB collaboration, highlighting important evidence-based tools from Bright Futures as well as tools from HITEQ to improve the use of your EHR and health IT systems to support implementation of promising practice.

Visit the 4 part webinar series and their related resources linked below on this page and then fill out the submission form on the right and you will be rewarded with a Childhood Obesity Preventer badge!​ 

This is an official badge that is submitted by the HITEQ Center as a proof of completion to the blockchain. Your badge can be added to profiles such as LinkedIn and verified through accreditation services such as Accredible and Open Badge.

 

 

FAQ: How can health centers comply with both 42 CFR Part 2 and the Information Blocking Rule?

July 2023

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Many healthcare providers, including health centers, are concerned about reconciling the need to protect patient privacy under HIPAA and 42 CFR Part 2 while avoiding interference with electronic health information sharing and violating Information Blocking regulations.

SAMHSA 42 CFR Part 2 Revised Rule

HITEQ Highlights Webinar

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New guidelines from SAMHSA released in July 2020 are designed to improve coordination of care for patients in treatment for substance disorder, while protecting confidentiality against unauthorized disclosure and use of patient information. View this HITEQ webinar on changes to SAMHSA’s 42 CFR Part 2 rule (Part 2) which protects individuals receiving substance use disorder treatment by defining privacy and security requirements for written, electronic and verbal information. This webinar features expert presenters from the University of New Hampshire Institute for Health Policy and Practice and the Center of Excellence for Protected Health Information who present on the new final Part 2 rule and future changes in the CARES Act, including what has changed, what has not changed, what this means for health centers in regard to consents and disclosures, and the implications for care coordination. This presentation also addresses privacy considerations for tele-behavioral health and exceptions during the state of emergency waiver.

I Provide SUD Services in an FQHC: Does Part 2 Apply to Me?

A Decision Tree from the Legal Action Center

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This decision tree, developed through funding from the  Substance Abuse and Mental Health Services Administration (SAMHSA) helps organizations determine if Part 2 of CFR 42 applies to them. It should be noted that FQHCs will always be designated as “federally assisted” due to certified status as Medicaid providers and/or federal funding.

Behavioral Health Consent Management

From the Office of the National Coordinator

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The timely exchange of health information between behavioral health providers and physical health providers to support care coordination is a critical element of the National Quality Strategy and health reform efforts. However, privacy and confidentiality concerns are currently limiting the inclusion of behavioral health data in electronic health information exchange efforts.

Center of Excellence for Protected Health Information

FOCUS: PHI is a SAMHSA-funded source for clear and accurate information about patient privacy and confidentiality

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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.

In the face of these overlapping laws, it can be difficult for patients, their families, and health professionals to understand: What exact information can be shared, with whom, and at what times? This resource aims to assist with these determinations.

Compliance with 42 CFR Part 2: A Case Study with Community Medical Centers, Inc.

Developed by HITEQ with Adapt Health Information Technology and Chiron Strategy Group

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Health centers are actively expanding the substance use treatment services they offer in the community to address access to care for opioid use disorders, and more broadly to address better screening, referral and timely access to all substance use disorder (SUD) treatment. The downloadable case study below is an example of how a health center is assessing operations to comply with 42 CFR Part 2, with a particular focus on changes to their health information technology (IT) systems.

Substance Abuse Confidentiality Regulations - 42 CFR Part 2

Frequently Asked Questions (FAQs) and Fact Sheets regarding the Substance Abuse Confidentiality Regulations

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Frequently Asked Questions (FAQs) and Fact Sheets regarding the Substance Abuse Confidentiality Regulations. 

Two fact sheets include: 

FAQs about Applying the Substance Abuse Confidentiality Regulations, answers provided by Substance Abuse and Mental Health Services Administration (SAMHSA)

Webinar: 42 CFR Part 2 Consent Requirements: Creating Electronic Consents

SAMHSA Webinar

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Is your organization looking for a way to electronically manage patient consent that complies with 42 CFR Part 2?

This webinar provided the following:

  • A brief background and consent requirements related to 42 CFR Part 2
  • Examples in which SAMHSA’s online consent management application called Consent2Share meets the consent requirements electronically

Click here to view webinar FAQ

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Health Center Childhood Obesity Preventer Badge