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HHS Office for Civil Rights Settles HIPAA Security Rule Failures for $950,000

Posted on July 2, 2024 by Dissent

Settlement with Heritage Valley Health System marks OCR’s third ransomware settlement as the agency sees 264% increase in large ransomware breaches since 2018

The U.S. Department of Health and Human Services’ (HHS) Office for Civil Rights (OCR) announced a settlement with Heritage Valley Health System (Heritage Valley), which provides care in Pennsylvania, Ohio and West Virginia, concerning potential violations of the Health Insurance Portability and Accountability Act (HIPAA) Security Rule, following a ransomware attack. Ransomware and hacking are the primary cyber-threats in health care. Since 2018, there has been a 264% increase in large breaches reported to OCR involving ransomware attacks.

“Hacking and ransomware are the most common type of cyberattacks within the health care sector. Failure to implement the HIPAA Security Rule requirements leaves health care entities vulnerable and makes them attractive targets to cyber criminals,” said OCR Director Melanie Fontes Rainer. “Safeguarding patient protected health information protects privacy and ensures continuity of care, which is our top priority. We remind and urge health care entities to protect their records systems and patients from cyberattacks.”

OCR enforces the HIPAA Privacy, Security, and Breach Notification Rules, which sets forth the requirements that covered entities (health plans, health care clearinghouses, and most health care providers), and business associates must follow to protect the privacy and security of protected health information.  The settlement resolves OCR’s investigation concerning Heritage Valley’s compliance with the HIPAA Security Rule.

OCR’s investigation revealed multiple potential violations of the HIPAA Security Rule, including failures by Heritage Valley  to: conduct a compliant risk analysis to determine the potential risks and vulnerabilities to electronic protected health information in its systems; implement a contingency plan to respond to emergencies, like a ransomware attack, that damage systems that contain electronic protected health information; and implement policies and procedures to allow only authorized users access to electronic protected health information.

Under the terms of the resolution agreement, Heritage Valley agreed to pay $950,000 and implement a corrective action plan that will be monitored by OCR for three years. Under the plan Heritage Valley will take a number of steps to resolve potential violations of the HIPAA Security Rule and protect the security of electronic protected health information, including:

  • Conduct an accurate and thorough risk analysis to determine the potential risks and vulnerabilities to the confidentiality, integrity, and availability of its electronic protected health information;
  • Implement a risk management plan to address and mitigate security risks and vulnerabilities identified in their risk analysis;
  • Review and develop, maintain, and revise, as necessary its written policies and procedures to comply with the HIPAA Rules; and
  • Train their workforce on their HIPAA policies and procedures.

OCR recommends health care providers, health plans, clearinghouses, and business associates that are covered by HIPAA take the following steps to mitigate or prevent cyber-threats:

  • Review all vendor and contractor relationships to ensure business associate agreements are in place as appropriate and address breach/security incident obligations.
  • Integrate risk analysis and risk management into business processes; conducted regularly and when new technologies and business operations are planned.
  • Ensure audit controls are in place to record and examine information system activity.
  • Implement regular review of information system activity.
  • Utilize multi-factor authentication to ensure only authorized users are accessing electronic protected health information (ePHI).
  • Encrypt ePHI to guard against unauthorized access to ePHI.
  • Incorporate lessons learned from incidents into the overall security management process.
  • Provide training specific to organization and job responsibilities and on regular basis; reinforce workforce members’ critical role in protecting privacy and security.

The resolution agreement and corrective action plan may be found at: https://www.hhs.gov/hipaa/for-professionals/compliance-enforcement/agreements/hvhs-ra-cap/index.html

Source:  HHS OCR

Category: Health DataMalwareU.S.

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