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The HIPPA task force must inventory the organization's systems, processes, policies, procedures and data to determine which elements are critical to patient care and central to the organizations business. All must be inventoried and listed by

  1. by priority as well as encryption levels, authenticity, storage-devices, availability, reliability, access and use. The person responsible for criticality analysis must remain mission-focused and carefully document all the criteria used.
  2. by priority and cost as well as availability, reliability, access and use. The person responsible for criticality analysis must remain mission-focused and carefully document all the criteria used.
  3. by priority as well availability, reliability, access and use. The person responsible for criticality analysis must remain mission-focused but need not document all the criteria used.
  4. by priority as well as availability, reliability, access and use. The person responsible for criticality analysis must remain mission-focused and carefully document all the criteria used.

Answer(s): D



Are there penalties under HIPPA?

  1. No penalties
  2. HIPPA calls for severe civil and criminal penalties for noncompliance, including: -- fines up to $25k for multiple violations of the same standard in a calendar year -- fines up to $250k and/or imprisonment up to 10 years for knowing misuse of individually identifiable health information.
  3. HIPPA calls for severe civil and criminal penalties for noncompliance, includes: -- fines up to 50k for multiple violations of the same standard in a calendar year -- fines up to $500k and/or imprisonment up to 10 years for knowing misuse of individually identifiable health information
  4. HIPPA calls for severe civil and criminal penalties for noncompliance, including: -- fines up to $100 for multiple violations of the same standard in a calendar year -- fines up to $750k and/or imprisonmentupto20years for knowing misuse of individually identifiable health information

Answer(s): B



HIPPA gave the option to adopt other financial and administrative transactions standards, "consistent with the goals of improving the operation of healthcare system and reducing administrative costs" to

  1. ASCA prohibits HHS from paying Medicare claims that are not submitted electronically after October 16, 2003.
  2. ASCA prohibits HHS from paying Medicare claims that are not submitted on paper after October 16, 2003
  3. ASCA prohibits HHS from paying Medicare claims that are not submitted electronically after October 16, 2003, unless the Secretary grants a waiver from this requirement
  4. No

Answer(s): C



May a health plan require a provider to use a health care clearinghouse to conduct a HIPPA-covered transaction, or must the health plan acquire the ability to conduct the transaction directly with those providers capable of conducting direct transactions?

  1. A health plan may conduct its covered transactions through a clearinghouse, and may require a provider to conduct covered transactions with it through a clearinghouse. But the incremental cost of doing so must be borne by the health plan. It is a cost-benefit decision on the part of the health plan whether to acquire the ability to conduct HIPPA transactions directly with other entities, or to require use of a clearinghouse.
  2. A health plan may not conduct it's covered transactions through a clearinghouse
  3. A health plan may after taking specific permission from HIPPA authorities conduct its covered transactions through a clearinghouse
  4. is not as per HIPPA allowed to require provider to conduct covered transactions with it through a clearinghouse

Answer(s): A






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