Federal government role in health IT
Multiple federal entities are heavily involved in health IT. Within the executive branch, the administration itself,Challenges to address
Creating an interoperability roadmap
There are three fundamental challenges to be addressed: (1) variation in how standards are tested and implemented; (2) variation in how health IT stakeholders interpret and implement policies and legal requirements; and (3) reluctance of health IT stakeholders to share and collaborate in ways that might foster consumer engagement. The ONC is working to develop a policy advisory for health information exchange by 2017 that will define and outline basic expectations for trading partners around health information exchange, interoperability and the exchange of information. Current federal and state law only prohibits certain kinds of information blocking in limited and narrow circumstances, for example, under theProtecting privacy and security
In addition to HIPAA, many states have their own privacy laws protecting an individual’s health information. State laws that are contrary to HIPAA are generally preempted by the federal requirements unless a specific exception applies. For example, if the state law relates to identifiable health information and provides greater privacy protections, then it is not preempted by HIPAA. Since privacy laws may vary from state-to-state, it may create confusion among health IT stakeholders and make it difficult to ensure privacy compliance.Establishing common technical standards
Use of common technical standards is necessary to move electronic health information seamlessly and securely. While some clinical record content, such as laboratory results and clinical measurements are easily standardized other content, such as provider notes may be more difficult to standardize. Methods need to be identified that allow for the standardization of provider notes and other traditionally “free form text” data. The ONC HIT Certification Program certifies that a system meets the technological capability, functionality and security requirements adopted by HHS. ONC will assess the program on an ongoing basis “to ensure it can address and reinforce health IT applications and requirements that support federal value-based and alternative payment models.”Increasing confidence in safety and safe use of health IT
Health care consumers, providers and organizations need to feel confident that the health IT products, systems or services they are using are not only secure, safe and useful but that they can switch between products, systems or services without loss of valuable information or undue financial burden. Implementation of the Federal Health IT Strategic Plan 2015-2020, along with the 2013 HHS Health IT Patient Safety Action and Surveillance Plan and 2012Developing national communications structure
A national communications infrastructure is necessary to enable the sharing of electronic health information between stakeholders, including providers, individuals and national emergency first responders. It is also necessary for delivering telehealth services or using mobile health applications. “Expanded, secure, and affordable high-speed wireless and broadband services, choice, and spectrum availability will support electronic health information sharing and use, support the communication required for care delivery, and support the continuity of health care and public health services during disasters and public health emergencies.”Stakeholder collaboration
The federal government in its role as contributor, beneficiary and collaborator “aims to encourage private-sector innovators and entrepreneurs, as well as researchers, to use government and government-funded data to create useful applications, products, services, and features that help improve health and health care.” HHS receives funds from the Patient-Centered Outcomes Research Trust Fund to build data capacity for patient-centered outcomes research. It is estimated HHS will receive over $140 million for the period between 2011 and 2019. These funds will be used “to enable a comprehensive, interoperable, and sustainable data network infrastructure to collect, link, and analyze data from multiple sources to facilitate patient-centered outcomes research.”Legislation
Balancing Interests – innovation, privacy, and patient safety
Complete freedom to access to data may not provide the best protection for patient rights. Expansive limits on the collection of data may unnecessarily limit its potential usefulness. In addition to data collection, there are concerns regarding risk of statistical errors, erroneous conclusions or predictions,< and misuse of results. Appropriate policies could support gains in process improvements, cost reductions, personalized medicine, and population health. Additionally, providing incentives to encourage appropriate use may address some concerns but could also inadvertently incentivize the misuse of data. Lastly, creating standards for IT infrastructure may encourage data sharing and use, but those standards would need to be reevaluated on a regular, ongoing basis as the fast pace of technological innovation causes standards and best practices to become quickly outdated.Potential areas to address through legislation
Limiting data collection
The needs of healthcare providers, government agencies, health plans, and researchers for quality data must be met to ensure adequate medical care and to make improvements to the healthcare system, while still ensuring the patients right to privacy. Data collection should be limited to necessity for medical care and by patient preference beyond that care. Such limits would protect patient privacy while minimizing infrastructure costs to house data. When possible, patients should be informed about what data is collected prior to engaging in medical services.Limiting data use
Expanding availability of big data increases the risk of statistical errors, erroneous conclusions and predictions, and misuse of results. Evidence supports use of data for process improvements, cost reductions, personalized medicine, and public health. Innovative uses for individual health can harm underserved populations. Limiting use for denial and exclusion prevents use to determine eligibility for benefits or care and is harmonized with other U.S. anti-discrimination laws, such asProviding incentives to encourage appropriate use
Increasing vertical integration in both public and private sector providers has created massive databases ofCreating standards for the IT infrastructure
Inappropriate IT infrastructure likely limits healthcare analytics findings and their impact on clinical practice. Establishing standards ensures IT infrastructure capable of housing big data balanced with addressing accessibility, ownership, and privacy. New possibilities could be explored such as private clouds and “a virtual sandbox” consisting of filtered data authorized to the researchers accessing the sandbox. Standards promote easier coordination in information collaboration between different medical and research organizations resulting in significantly improving patient care by improving communication between providers and reducing duplicity and costs. Minimum standards are necessary to balance privacy and accessibility. Standardization helps improve patient care by facilitating research collaboration and easier communication between medical providers. The research can yield preventive care concepts that can reduce patient caseload and avoid long-term medical costs.References
Further reading
* {{DEFAULTSORT:Health Care Analytics Data analysis Medical statistics