Time is up, and the enforcement infrastructure is now live. OCR’s complaint portal is open to 42 CFR Part 2, and Part 2 breach reporting is no longer a future workflow. A live portal changes behavior: it lowers the friction to file, increases complaint volume, and accelerates how quickly organizations receive the familiar “we have
Latest Post
More Posts
HTI-5 and Information Blocking: Your Bots Are Covered, and Your Excuses Are Getting Smaller
ONC Quietly Dropped Four (4) New Information Blocking FAQs
Are You Blocking? The Coming Crackdown on Information Blocking: What It Means for HIE/HINs, Developers of Certified HIT, & Health Care Providers
Bookmark This! Copies of All 42 CFR Part 2 Rules Published from 1974 to 2024
Beware! New Breach Reporting Obligations Under 42 CFR Part 2 — Even When HIPAA Wouldn’t Require It
From Dragging Feet to Dragged Along: The Uneven March Into TEFCA
Audacious Inquiry Sues CRISP: A Patent Showdown with National Interoperability Implications
Regulatory Roller Coaster: District Court Judge Vacates HIPAA Reproductive Health Privacy Rule
Does the TEFCA Exception Hinder Participation?
Subscribe: Subscribe via RSS