The terms privacy and security are linked together in this material. These terms, while related, are distinct in relation to the protection of the information accessed through ministry health information exchange (HIE) services.
Training staff is a critical component of privacy and security. Everyone needs to understand the importance of protecting health information and his or her role in its safekeeping. Most importantly, staff need to know the policies and procedures they are expected to follow. Therefore, all staff, including contractors, must receive privacy and security training annually. Training must include specific instruction on the following topics.
Policies and procedures established at your point of service must address the following:
Your policies and procedures are to be reviewed and updated regularly to ensure they are current.
Confidentiality is a key component of privacy and security. It is assurance that health information is revealed to only those who need to know. You are obligated to protect the data you receive from HIE systems as you would with any other information contained in the patient's record.
To adhere to the Freedom of Information and Protection of Privacy Act (FOIPPA) and ministry agreements, ministry HIE systems must not be accessed from outside of Canada. If users are permitted to connect to their POS application from outside of Canada, they are to disable their connection to HIE systems prior to doing so.
Anyone accessing clinical or patient information must sign a confidentiality agreement. This agreement will specifically detail the obligation and expectations for accessing health information and define the repercussions for inappropriate collection, use or disclosure of personal information.
Each year, all employees, contractors and third party confidentiality agreements must be reviewed and renewed.
If you have contracts with third parties that involve personal information, those contracts must contain specific clauses defining privacy protection obligations.
Your organization must have procedures established for managing suspected and actual privacy and security incidents and breaches. At minimum, these procedures must meet the requirements recommended by the Office of Information Privacy Commissioner for British Columbia:
Examples of common privacy breaches include:
When a privacy or security incident involves access to or data received from HIE systems, you must promptly notify the province according to your systems access agreement.
User access audits are fundamental to information security. Audits create and maintain a culture of compliance, protect your organization, and protect your patients. Audits are conducted to:
An authorized person in your organization will be given access to the audit tools and audit logs. This person will be responsible for routine and periodic (spot audit) monitoring of user access audit trails for unusual patterns or anomalies in use. All potential security weaknesses or breaches will be reported to the management of the point of service.
Maintaining high standards for privacy and confidentiality is a key component of providing quality health care and of fostering the confidence of patients in the health care system. It is also part of delivering health care in a professional manner.
Your organization's procedures to handle patient requests for information, corrections, and complaints must be established and communicated openly (e.g., via poster or pamphlet).
Notices or other communication materials related to privacy practices must be readily available to patients.
Before disposing of computer equipment, all personal health information must be removed in a way that it cannot be reconstructed.