Note: Your progress in watching these videos WILL NOT be tracked. These training videos are the same videos you will experience when you take the full ProHIPAA for Leaders program. You may begin the training for free at any time to start officially tracking your progress toward your certificate of completion.
In this lesson, we'll be going into some detail regarding the duties of both HIPAA Privacy Officers and HIPAA Security Officers and where and how those duties sometimes intersect. At the end of the lesson, we'll provide you with a Word about HIPAA violation classifications.
One important thing to remember is that you are required by law to have someone appointed as a privacy officer and a security officer at your business or practice. However, it's equally important to point out that these roles can be combined in certain situations and given to just one individual.
Pro Tip #1: While you can appoint one person as privacy officer and security officer, it's not something that we would recommend. Separating these duties adds a second pair of eyes or ensures a certain amount of checks and balances.
In order to fulfill the duties of a HIPAA Privacy Officer, you would be responsible for the following:
At this point in your lesson, you may be asking yourself, what is the contrast between a security officer and a privacy officer. (Or you may just be contemplating lunch.)
The duties of a HIPAA Security Officer are in fact similar to those of a HIPAA Privacy Officer, in as much as the appointed person will be responsible for the development of all security policies, the implementation of all procedures, training, risk assessments, and monitoring compliance.
Pro Tip #2: Having said all that, the focus of a security officer is to ensure compliance with the administrative, physical, and technical safeguards of the HIPAA Security Rule.
The duties of a HIPAA Security Officer can include, but aren't limited to, the following:
As previously mentioned, while it isn't ideal or recommended, due to the similarity in duties, the roles of a HIPAA Privacy Officer and a HIPAA Security Officer can be performed by the same person. The one caveat: It works best in smaller businesses, practices, or organizations.
You can complete all the required actions to be HIPAA and HITECH compliant yourself, since all HIPAA and HITECH laws are applicable and must be customized to your exact needs.
If you feel that the technical policies and procedures are too overwhelming, however, we would recommend you use a HIPAA compliance guide (like ourselves at ProHIPAA) who can guide you through your HIPAA journey.
Are you curious about what happens if you violate HIPAA? Well, that depends on the severity of the violation. The Office for Civil Rights prefers to resolve HIPAA violations using non-punitive measures, such as with voluntary compliance or issuing technical guidance to help covered entities address areas of non-compliance.
However, if the violations are serious, have been allowed to persist for a long time, or if there are multiple areas of noncompliance, financial penalties may be appropriate.
There are four categories that are used for the penalty structure. They are as follows:
In the case of unknown violations, where the covered entity could not have been expected to avoid a data breach, it may seem unreasonable for covered entities to be issued with a fine. The Office for Civil Rights understands this and has the discretion to waive a financial penalty. The penalty cannot be waived, however, if the violation involved willful neglect of Privacy, Security and Breach Notification Rules.