Enforcement discretion is ending.
During COVID, healthcare organizations could use non-public-facing communication tools for telehealth without enforcement action. This flexibility is ending.
Understand what changes when temporary telehealth enforcement flexibility ends and how to ensure your platform meets post-waiver requirements.
During COVID, healthcare organizations could use non-public-facing communication tools for telehealth without enforcement action. This flexibility is ending.
Tools adopted during the pandemic for convenience may not provide the access controls, audit trails, BAA coverage, and workflow controls needed for ongoing compliance.
Organizations should assess whether their current platform meets HIPAA requirements for access control, security, documentation, and BAA coverage.
Does your telehealth platform meet post-waiver HIPAA requirements?
Where does your current workflow fall short of compliance requirements?
If needed, evaluate platforms designed for regulated communication.
Framework for assessing post-waiver telehealth compliance.
Technical evaluation of platform security and infrastructure.
Risk assessment for continued use of pandemic-era tools.
Enforcement discretion for telehealth is ending. Organizations should evaluate their platforms against standard HIPAA requirements.
Assess whether your current telehealth platform meets HIPAA requirements for access control, audit trails, BAA coverage, and secure workflows.
See how SecureVisit meets HIPAA requirements for ongoing regulated telehealth.