HIPAA Security Strategy White Paper
This white paper references Health Insurance
Portability and Accounting Act (HIPAA) Security strategies that QSI clients may
pursue to help conform their use of the system to meet the Security Provisions
of the HIPAA legislation[1].� Covered entities under HIPAA must comply with the
requirements by April 20,2005[2].
Software and hardware alone can not make you compliant, but QSI�s products can
be used to facilitate your compliance efforts.
The layout of this document is to first state the
requirements, and then for those aspects of the Security requirements that
specifically apply to the QSI Practice Management system, to offer various QSI
techniques or methodologies that apply.� If you�re already familiar with the
requirements and want to proceed directly to the QSI recommendations, click here.
The key will be in policy development, procedural
checklists, and documentation, Documentation, DOCUMENTATION.�
The requirements are:
Health
Care organizations must protect the integrity, confidentiality, and
availability of electronic protected health information (ePHI).
The Security Rule allows organizations to determine
their own specific implementations of security controls, based upon a risk
assessment, and considering such factors as cost, size, complexity, technical
infrastructure, etc.
1) Start with a full risk assessment of an
organization's security (Risk Analysis).
2) Countermeasures to identified risks must be
implemented proportional to the risks.
3) Risk Management must be continually maintained to
ensure that those countermeasures meet the new or increase risks present as
time goes by.
4) Documentation must be present and kept current for
the risk analysis, reasoning for countermeasure selection, and risk management.
Administrative Safeguards
Security Management Process: 164.308(a)(1):
risk analysis (Required), risk
management (R), sanction policy (R), and information system activity review (R)
Assigned Security Responsibility: (164.308(a)(2): (R) Security Officer or Official
Workforce Security: 164.308(a)(3): authorization and/or supervision (Addressible),
workforce clearance procedure, and termination procedures (A)
Information Access Management: 164.308(a)(4): isolating health care clearinghouse
functions (R), access authorization (A), and access establishment and
modification (A)
Security Awareness and Training: 106.308(a)(5): security reminders (A), protection
from malicious software (A), log-in monitoring (A), and password management (A)
Security Incident Procedures: 106.308(a)(6): response and reporting (R)
Contingency Plan: 106.308(a)(7): data backup plan , disaster recovery plan, emergency
mode operation plan, testing and revision procedures, and applications and data
criticality analysis
Evaluation: 106.308(a)(8):
Periodic technical and non-technical evaluations of the security environment
and processes to ensure that HIPAA security compliance is met regardless of
operational or environmental variations
Business Associate Contract and Other Arrangement: 164.308(b)(1): written contractor other arrangement
Physical
Safeguards
Facility Access Controls: 164.310(a)(1): contingency operations, facility
security plan, access control and validation procedures, and maintenance
records
Workstation Use and Workstation Security: 164.310(B): implement procedures and policies that
specify the proper functions and their manner to be performed on the
workstation, as well as the physical attributes of the surroundings or the
workstation or class of workstations per their access to ePHI
Device and Media Controls: 164.310(d)(1): disposal, media re-use,
accountability, and data backup and storage
Technical
Safeguards
Access Control:
164.312(a)(1): unique user identification, emergency access procedure, automatic
log-off, and encryption and decryption
Audit Controls:
164.312(b): establish audits that record and examine accesses of ePHI and the
systems that store ePHI
Integrity:
164.312(c)(1): mechanism to authenticate electronic protected health information
Person or Entity Authentication: 164.312(d) Implement procedures to verify that a
person or entity seeking access to ePHI is the one claimed
Transmission Security: 164.312(e)(1): integrity controls and encryption
Breakdown
of Requirements with QSI�s Recommendations as Appropriate with the Practice
Management System
Assigned
Security Responsibility
One and only one official must be �designated as
having the overall final responsibility for the security of the entity�s
electronic protected health information�.[3]
QSI recommends
that the security officer be trained in the security aspects of the QSI
system.� QSI offers various training alternatives, including on-site and remote
classes.� Please contact QSI via ,HELP for more information.
Business Associate Contract and Other Arrangement
164.308(b)(1)
QSI believes that our existing agreements and contracts
with our clients and vendors meet the criteria required of the HIPAA security
legislation.
Workforce Security: authorization and/or supervision, workforce clearance procedure, and
termination procedures
System access is controlled by the program, �U.UU�.
Only one client account ID is allowed access to this program.� Program access
is controlled by �,Q.SIGN�.�
QSI recommends,
in addition to whatever workstation-specific or network-specific security our
client�s implement, that they also take the following steps specific to QSI.
�
Clients set up all users with user
and, if desired, role access to the system in U.UU.�
�
All accounts become inactive every
sixty(60) days, with a warning to the users to change their passwords five (5)
days prior to account inactivation.�
�
Passwords should be required to be
six (6) characters long or longer[4].
�
There is also Employee
Numbers/Password logic that can be implemented in addition to Account
ID/Passwords.�� This provides another layer of security and reporting for
certain QSI programs.
�
A member of the Security IT
department, the Security Officer, or the QSI system Manager should maintain the
system access files, spot-check or analyze system access audits (U.ACCT and
Q.AUDIT), and maintain required records or documents.
Information Access Management: isolating health care clearinghouse functions,
access authorization, and access establishment and modification
QSI recommends
�
Q.SIGN be set globally to limit
access to the programs on the system to No Access.� Then, the client should
grant access by role and by user as appropriate to the user�s function(s) on
the system.
�
Access to Q.SIGN should be kept
strictly limited.
Security Awareness and Training: security reminders, protection from malicious
software, log-in monitoring, and password management
QSI recommends,
as mentioned in Workforce Security, passwords should be set to a minimum of six
characters (set by QSI).� QSI also recommends that passwords are stored
encrypted (enter a ,HELP), and that the client creates a strong password policy
such that passwords have the following characteristics:
�
Contain both upper
and lower case characters (e.g., a-z, A-Z)
�
Have digits and
punctuation characters as well as letters e.g., 0-9,
!@#$%^&*()_+|~-=\`{}[]:";'<>?,./)
�
Are at least six
alphanumeric characters long.
�
Are not a word in any
language, slang, dialect, jargon, etc.
�
Are not based on
personal information, names of family, etc.
�
Passwords should
never be written down or stored on-line. Try to create passwords that can be
easily remembered. One way to do this is create a password based on a song
title, affirmation, or other phrase. For example, the phrase might be:
"This May Be One Way To Remember" and the password could be:
"TmB1w2R!" or "Tmb1W>r~" or some other variation.
NOTE:
Do not use either of these examples as passwords!
Security Incident Procedures: response and reporting
QSI recommends
�
A patient form be set up that
pertains to security breaches or incidents.� Program RPG1 can be used for
reporting.�
�
A QSI Editor book can also be used
for general security incident reporting.� The program Q.SIGN should be used to
limit access to the book.
Contingency Plan: data backup plan, disaster recovery plan, emergency mode operation
plan, testing and revision procedures, and applications and data criticality
analysis
QSI recommends
�
Its clients have a minimum of one
monthly backup tape, and a backup tape for each day of the week that it
operates.� Clients working six-day work weeks would have a minimum of seven
tapes.�
�
The System� Manager or the
operator with the delegated duty should check main system printer backup
printout daily OR the BX.CK program daily to ensure the viability of the
backup.�
�
Off-site storage should be used
for backup media.� The only backup media that is on-site should be� that
required for near-term operations (that night�s backup requirements and a blank
spare).
Evaluation:� Periodic
technical and non-technical evaluations of the security environment and
processes to ensure that HIPAA security compliance is met regardless of
operational or environmental variations
QSI recommends
�
The System Manager or
personnel delegated the task periodically review system audits.� Programs that
should be reviewed daily include ,47, U.ACCT, and Q.AUDIT.
�
There should be a month�s worth of
U.ACCT files (contact QSI by ,HELP).
�
Security processes be standardized
and then entered in the F1-Office Notes as appropriate to the topic.� For
example, a F1- Office Note could be set up explaining how you�ve set up and
categorized your users and roles in the system.� This prevents loss of
knowledge due to staff turnover, in addition to standardizing your processes.
Physical
Safeguards
Facility Access Controls: contingency operations, facility security plan,
access control and validation procedures, and maintenance records
QSI recommends
�
An optional Additional Password
should be set for selected ports, such as the QSI Support port or ports
provided to employees accessing the system by modem.�
Device and Media Controls: disposal, media re-use, accountability, and data
backup and storage
QSI recommends
�
Backup media should be stored
off-site, and all on-site tape storage should be in an appropriately protected
and secured area.
Technical
Safeguards
Access Control:
unique user identification, emergency access procedure, automatic log-off, and
encryption and decryption
QSI recommends
�
Account Ids that are system
utility Ids, such as those for the overnight processor, be set to Non-User
status in U.UU, so that personnel are prevented from using them.
�
System access passwords are stored
encrypted (enter ,HELP)
�
Keyboard inactivity timeouts are
set to no more than fifteen minutes (enter ,HELP)
�
For user-shared ports, especially
those in areas visible to non-practice management personnel, the inactivity
timeout byes off the port (set in X.PORT).
Audit Controls:
Implement hardware, software, and/or procedural mechanisms that record and
examine activity in information systems that contain or use ePHI
QSI recommends
�
Any audits stored on QSI, such as
editor books containing the accounting for disclosures per the HIPAA Privacy
legislation, should be protected with Q.SIGN security.
Integrity:
mechanism to authenticate electronic protected health information
QSI recommends
�
Employee Numbers and corresponding
passwords be set up and maintained by our clients.�
�
Many reports and audits can be
used to track employee activity.� Those appropriate to your operations should
be identified and policies regarding running those reports and review them
should be detailed.
Person or Entity Authentication:� Implement procedures to verify that a person or
entity seeking access to ePHI is the one claimed
QSI recommends
�
Clients make it policy that no
users share passwords with other users.