In Part 1 of our series on the information blocking exceptions, Gravely Group explained the rationale behind the creation of a set of exceptions for certain Practices that, while otherwise constituting information blocking, are nonetheless permitted because such Practices serve a greater public good. We also described the two categories of information blocking exceptions created by ONC, and we introduced the eight information blocking exceptions from the Final Rule and the operative question under each.
If you have not yet read Gravely Group’s overview of the information blocking exceptions, we suggest you check it out!
In this post, we will cover two of the exceptions that involve not fulfilling a request to access, exchange, or use EHI:
- The Security Exception
- &
- The Health IT Performance Exception
As we mentioned in the overview, each of the information blocking exceptions is narrowly defined, and an Actor must meet every element of an exception in order to be certain that its Practice is protected from information blocking penalties or disincentives. Meeting most of the requirements of an exception (or a combination of partial requirements from different exceptions) is NOT sufficient to fit within the “safe harbor” of an exception.
With that, let’s dive into the first of our eight information blocking exceptions…
To satisfy this exception, the Practice must be:
- Directly related to safeguarding the confidentiality, integrity, and availability of EHI;
- Tailored to the specific, identified security risk(s); AND
- Implemented consistently in a non-discriminatory manner.
If the Practice is based on an organizational security policy, that policy must:
- Be in writing;
- Address specifically identified and assessed risk(s);
- Be based on consensus-based standards and/or best practices; AND
- Contain objective timelines and other parameters for identifying, responding to, and addressing security incidents.
- The Practice is necessary to mitigate the security risk to the EHI; AND
- There are no reasonable alternatives that would address the security risk while being less likely to interfere with the access, exchange, or use of EHI.
Health IT Performance Exception
Therefore, under the Health IT Performance Exception, an Actor may implement a Practice EITHER:
- For the maintenance or improvement of health IT systems/networks that results in the temporary unavailability or temporary degradation of the Actor’s health IT; OR
- Against a third-party application that is negatively affecting the performance of the Actor’s health IT
Provided that such Practice is:
- Implemented to last no longer than necessary to complete the maintenance/improvements or to resolve any negative impacts;
- Implemented in a consistent and non-discriminatory manner; AND
- Implemented consistent with existing service level agreements or, if unplanned, as agreed to by the Actor’s customer, where applicable.
UP NEXT …
Gravely Group’s next post in this series on the information blocking exceptions will cover the Privacy Exception. Stay tuned!