HITEQ Health Center Information Blocking Avenger

Information blocking is different from HIPAA and other existing rules in that it defines the only things that are not to be shared, with the implicit requirement that everything else is to be shared. The information blocking rule only provides eight exceptions or situations in which an actor is permitted to 'block' sharing of information.

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 Information Blocking Avenger (hiteqcenter.org)

 

Information Blocking Avenger Curriculum
FAQ:  How will the upcoming changes to the Information Blocking and EHR certification requirements impact health centers?

FAQ: How will the upcoming changes to the Information Blocking and EHR certification requirements impact health centers?

October 2022

 

When will the new information blocking and EHR certification requirements be in effect?

What are the upcoming changes?

How will these changes impact health centers?

How will the scope of Information Blocking requirements change?

How should health centers expand their EHI scope?

How will EHR certification requirements change?

How should health centers leverage the new FHIR R4 capabilities?

 

 

When will the new Information Blocking and EHR certification requirements be in effect?

During the 4th quarter (October to December) of 2022, there are two major health information technology (HIT) requirement changes, with potential for significant implications to health centers. 

 

 

What are the upcoming changes?

  1. Expanding the scope of information required to be shared under the information blocking rule to include more EHR contents as of October 6, 2022; and
  2. Including Fast Healthcare Interoperability Resources (FHIR), release 4 (r4) as part of EHR certification requirements as of December 31, 2022.

 

 

How will these changes impact health centers?

The first will impact health centers immediately, starting in October 2022, with changing requirements for the information blocking regulations of the Cures Act for providers such as health centers; the second will change the functionalities of certified electronic health record (EHR) systems going into 2023 and beyond, with promising new capabilities for health centers.

 

 

How will the scope of Information Blocking requirements change?

As indicated in the ONC graphic below, as of October 6, 2022, one of the provisions of the Content and Manner Exception to the Information Blocking will expire.1 This means that the electronic health information (EHI) scope will include more than just data represented by the United States Core Data for Interoperability (USCDI) v1.2 

 

 

The above infographic shows the relationship between EHI and other relevant health care terminology. EHI includes electronic protected health information (ePHI) to the extent that it would be included in a designated record set (DRS), regardless of whether the group of records is used or maintained by or for a covered entity or business associate.

How should health centers expand their EHI scope?

To be compliant with the information blocking rule, health centers should ensure that their EHR will start to make available all EHI in the Designated Record Set (DRS),3 excluding psychotherapy notes. The scope of the DRS is defined by HIPAA,4 and includes all medical records used to make care decisions. For many providers this means making billing and claims records available, as well as the entire medical record. While this will simplify provider education and information segmentation, it will still be important for health centers to formally define their DRS, which is most commonly the official medical and billing records, excluding draft reports and intermediary notes.  

 

 

How will EHR certification requirements change?

As mentioned above, health center information blocking compliance is often dependent on EHR capabilities. By December 31, 2022,5 all certified EHR technologies should be updated to provide customers with FHIR R4 capabilities. 

FHIR, the Fast Healthcare Interoperability Resources standard, is an Application Programming Interface (API) that is designed to support patient and provider access to electronic health information “without special efforts.” Common technologies that use FHIR include mobile applications, the COVID Electronic Case Reporting (eCR) Now reporting effort, and the forthcoming Bureau of Primary Health Care (BPHC) Uniform Data System Patient-Level Submission (UDS+) reporting requirement.6 

 

 

How should health centers leverage the new FHIR R4 capabilities?

As vendors prepare to update and make FHIR R4 available to providers, health centers should explore their vendor’s support for these technologies, and how FHIR apps can be added to their EHR environment. In addition, health centers should anticipate the need to upgrade their EHR systems in early 2023 to access these new capabilities, if that is not already on their roadmap.

Health centers can expect to leverage the SMART-on-FHIR platform to expand their EHR’s functionalities.7 Based on FHIR and common internet standards, and increasingly adopted by EHR vendors, SMART-on-FHIR aims to create an “App store for Health'' model that makes it easier for programmers and researchers to create Apps that work broadly across different EHR platforms. Conceptually, this allows for functional extension to the EHR, similar to how apps extend smartphone functionalities. Making Electronic data More Available for Research and Public Health (MedMorph)8 is an example of SMART-on-FHIR technology that enables clinical data exchange between EHR systems, public health systems/authorities, data repositories, and research organizations. MedMorph is referenced as a key HL7 FHIR resource to review in preparation for UDS+.9  

The HITEQ Center is a HRSA-funded National Training and Technical Assistance Partner operated by JSI Research & Training, Inc. and Westat.This project is supported by the Health Resources and Services Administration (HRSA) of the U.S. Department of Health and Human Services (HHS) as part of awards totaling $779,625 with 0% financed with non-governmental sources. The contents are those of the author(s) and do not necessarily represent the official views of, nor an endorsement, by HRSA, HHS, or the U.S. Government. For more information, please visit HRSA.gov.

References

1 ONC, Understanding Electronic Health Information (EHI). https://www.healthit.gov/sites/default/files/page2/2021-12/Understanding_EHI.pdf
2 U.S. Core Data for Interoperability, 2019, version 1. https://www.healthit.gov/isa/sites/isa/files/inline-files/USCDI-v1-2019.pdf
3 Designated Record Set, 45 CFR 164.501.
https://www.hhs.gov/hipaa/for-professionals/faq/2042/what-personal-health-information-do-individuals/index.html#:~:text=Designated%20record%20sets%20include%20medical,See%2045%20CFR%20164.501.
5  ONC, On the Road to Cures Update: Certified API Technology. https://www.healthit.gov/buzz-blog/healthit-certification/on-the-road-to-cures-update-certified-api-technology
6 Fast Healthcare Interoperability Resources (FHIR) release 4 (R4), http://www.fhir.org/
7 https://smarthealthit.org/smart-on-fhir-api/
8 https://build.fhir.org/ig/HL7/fhir-medmorph/
9 bphc.hrsa.gov/data-reporting/uds-training-and-technical-assistance/uniform-data-system-uds-modernization-frequently-asked-questions-faq

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