Security management process is the foundation for compliance with HIPAA Security Rule

Security management process can be an organization’s biggest strength or biggest weakness, and most organizations lack one or all of the components that establish a security management process. In a Health Care Compliance Association (HCCA) webinar entitled, “Is Your Security Management Process Your Biggest Risk?” presenters Kezai Cook-Robinson and Ahmad M. Sabbarini of Ernst & Young LLP emphasized that a security management process is the foundation for an organization’s compliance with the Health Insurance Portability and Accountability Act’s (HIPAA) (P.L. 104-191) Security Rule.

Under 45 C.F.R. Sec. 164.308(a)(1) a covered entity or business associate is required to implement policies and procedures to prevent, detect, contain, and correct security violations. This process requires covered entities and business associates to implement standards and required implementation specifications and to implement, when appropriate and reasonable, addressable implementation specifications through risk analysis, risk management, sanction policy, and information system activity review.

Risk analysis

Covered entities and business associates must conduct an accurate and thorough assessment of the potential risks and vulnerabilities to the confidentiality, integrity, and availability of electronic protected health information held by the covered entity or business associate. This means, said the presenters, that covered entities and business associates must conduct an enterprise-wide risk analysis and develop a current, comprehensive, and thorough risk analysis of security risks and vulnerabilities to include the electronic personal health information (e-PHI) created, received, maintained, or transmitted by the organizations’ facilities and applications. This should be done periodically (calendar-based) and in response to events (event-based triggers).

As part of the risk analysis, organizations should conduct a comprehensive inventory of e-PHI. Assets can be grouped into a common grouping for purposes of the inventory—for example, if work stations have the same number and type of e-PHI, they can be grouped into one asset category. In addition, to save time and money, organizations should start with lists that have already created from financial statements and privacy compliance activities.

Risk management

Covered entities and business associates should establish and implement an organization-wide risk management plan to address and mitigate any security risks and vulnerabilities found in the risk analysis. It should include a process and timeline for an organization’s implementation, evaluation, and revision of its risk remediation activities. The presenters noted that the higher the risk, the more robust controls are needed.

Sanctions policy and information system activity review

The security management process also requires covered entities and business associates to apply appropriate sanctions against workforce members who fail to comply with security policies and procedures and to implement procedures to regularly review records of information system activity, such as audit logs, access reports, and security incident tracking reports.

Documentation

“Document, document, document,” said Cook-Robinson, because “it does not exist unless it’s in writing.” She advised that covered entities and business associates document and keep as records the analyses, decision making, and rationale for overall risk assessments, as well as individual risk analyses for implemented safeguards.

NIST guidelines

Cook-Robinson and Sabbarini also advised organizations to align as necessary with the guidelines and frameworks that HHS leverages, including the National Institute of Standards and Technology (NIST) Framework for Improving Critical Infrastructure Cybersecurity (CSF) and NIST 800-30.