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Speaker |
Brian L. Tuttle |
Industry |
HIPAA and Compliance Conference |
Speciality |
HIPAA and Compliance Conference |
Available |
All Days |
Duration |
90 Minutes |
Description
This lesson will address how practice/business managers (or compliance offers) need to ensure their organization is complying with the Federal Substance Abuse and Mental Health Administration (SAMHSA) regulations (42 CFR Part 2).
This lesson will cover the latest updates released in January 2024 and multiple scenarios and FAQs relating to Substance Abuse Records, Mental Health Records, Alcohol Abuse Records, and the proper ways to secure this information and/or release this information. An overview of a comparative analysis will be presented comparing SAMHSA to the HIPAA laws relating to protected health information in general.
Who Should Attend
( CPHIT, CHP, CBRA, Net+, A+, CCNA, MCP)
Brian L. Tuttle is a Certified Professional in Health IT (CPHIT), Certified HIPAA Professional (CHP), Certified HIPAA Administrator (CHA), Certified Business Resilience Auditor (CBRA), Certified Information Systems Security Professional (CISSP) with over 17 years of experience in Health IT and Compliance Consulting.
With vast experience in health IT systems (i.e., practice management, EHR systems, imaging, transcription, medical messaging, etc.) as well as over 22 years of experience in standard Health IT with multiple certifications and hands-on knowledge, Brian serves as a compliance consultant. He has conducted onsite and remote risk assessments for over 1000 medical practices, hospitals, health departments, insurance plans, and business associates throughout the United States.
In addition, Mr Tuttle has served in multiple litigated court cases as an expert witness, offering input on best practices and requirements for securing and providing patient access to protected health information. Mr. Tuttle has also worked directly with the Office of Civil Rights (OCR) in defending covered entities and business associates and being asked by the Federal government to audit covered entities and business associates on behalf of the OCR.