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UW MEDICINE WORKFORCE

UW MEDICINE WORKFORCE. PERSONAL ACCOUNTABILITY FOR DATA STEWARDSHIP. Agenda. Define personal and professional accountability Explain elements of data stewardship Tools Case Studies DO ’ s and DON ’ Ts Closing the Loop – Your Role. Personal and Professional Accountability.

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UW MEDICINE WORKFORCE

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  1. UW MEDICINE WORKFORCE PERSONAL ACCOUNTABILITY FOR DATA STEWARDSHIP

  2. Agenda • Define personal and professional accountability • Explain elements of data stewardship • Tools • Case Studies • DO’s and DON’Ts • Closing the Loop – Your Role

  3. Personal and Professional Accountability • Personal Accountability = Being answerable for the outcome of your actions or inactions • Professional Accountability = Demonstrating excellence, integrity, respect, compassion, accountability and a commitment to altruism in all your work interactions and responsibilities (UW Medicine Professionalism Policy)http://uwmedicine.washington.edu/Global/policies/Pages/Professional-Conduct.aspx • As representatives of UW Medicine, you are personally, professionally, ethically and legally responsible for your actions • The public, our patients, employees and students place their trust in us

  4. Your Accountability for Data Stewardship • All UW Medicine workforce members are personally responsible for ensuring the security and integrity of all confidential, restricted, and proprietary information (electronic or paper) to which they are given access. • Workforce members include: faculty, staff, students and trainees, volunteers, and other persons who perform work for UW Medicine • Workforce members must safeguard the security and integrity of the information entrusted to them

  5. Data Security Safeguard and promote privacy of employees, patients and students Safeguard access to University and UW Medicine information systems Safeguard institutional data, systems, and devices

  6. Data Integrity Ensure that data is only accessed by authorized users Ensure that data is not changed, corrupted, or tampered with Ensure that data is retrievable and usable, backed up and managed in a reliable way

  7. Confidential Data and Information Definition of Confidential Data: Confidential data and information is very sensitive in nature and typically subject to federal or state regulations. Unauthorized disclosure of this information could seriously and adversely impact the University or the interests of individuals and organizations associated with the University.

  8. Confidential Data and Information Examples of Confidential Data/Information • HIPAA – protected health information (PHI), including patient names, addresses, social security numbers, health conditions and symptoms, prescriptions, medical record numbers • FERPA – individual student records, including grades, courses taken, schedule, test scores, advising records, educational services received, disciplinary actions, student identification number, social security number • Gramm-Leach-Bliley (GLB) – employee financial account information, student financial account information (aid, grants, bills), individual financial information, business partner and vendor financial account information • Export Controls (e.g., EAR, ITAR) • Employee employment records including performance information applications for employment, resumes and related material • Donor information • Trade secrets, intellectual and/or proprietary research information • Vendor non-disclosure agreements • Information required to be protected by contract • Computer account passwords

  9. Restricted Data and Information • Definition of Restricted Data: • Data and information that is circulated on a need-to-know basis or sensitive enough to warrant careful management and protection to safeguard its integrity and availability, as well as appropriate access, use, and disclosure. • Examples of Restricted Information • Telephone billing information • Parking permits • Location of assets • Critical infrastructure blueprints or schematics • Specific physical security measures • Proprietary research

  10. Tools to Assist You in Safeguarding Data • Privacy, Confidentiality and Information Security Agreement (PCISA) and discussion outline https://security.uwmedicine.org/training/data_stewardship/PCISA.pdf • https://security.uwmedicine.org/training/data_stewardship/PCISA_discuss_tool.pdf • Citrix or VPN remote access https://networks.uwmedicine.org/content/secure-remote-access • Encryption https://security.uwmedicine.org/guidance/technical/encryption/default.asp • http://ciso.washington.edu/site/files/Whole_Disk_Encryption_Guideline.pdf

  11. Tools - Continued Complex passwords https://security.uwmedicine.org/guidance/role_based/end_user/default.asp Education and training materials https://security.uwmedicine.org/Training/Sec_Aware/default.asp Role based guidelines https://security.uwmedicine.org/guidance/role_based/default.asp Policies restricting removal of data from worksites https://security.uwmedicine.org/guidance/policy/electronic_data/sp-01%20electronic%20data%20ver%203.0.pdf Physical Security: remember to always lock offices and files

  12. Privacy, confidentiality and information security agreement • PCISA must be signed by all UW Medicine workforce members annually. • Reminder of what and how to safeguard confidential and restricted information • Circumstances change and this gives supervisors and managers an opportunity to review and update • Provides units with information that can be used in asset management (e.g. what systems have confidential or restricted data) • May help identify needed resources to help people do their jobs (e.g. can someone use VPN instead of transporting data to their home to work at night?) • https://security.uwmedicine.org/training/data_stewardship/PCISA.pdf

  13. SAFEGuarding research Information The following slide is key to protecting research information

  14. Safeguarding Research Information • Proprietary research data, at a minimum, is considered restricted • University policy (GIM 37) requires research data be preserved, protected and sharable in accordance with academic, scientific and legal norms • http://www.washington.edu/research/osp/gim/gim37.html • Research data that includes protected health information, personally identifiable data or student data must follow federal requirements for data security and privacy • http://depts.washington.edu/comply/training_hipaa.shtml • Consequences of lost research data can be significant: • May negatively impact the research team, department or University • Human subjects may be affected

  15. SAFEGuarding Patient Information The following set of slides are key to protecting patient information

  16. Uw Medicine Healthcare Components UW Medicine Healthcare components include the following: UW Medical Center and Clinics Harborview Medical Center and Clinics Northwest Hospital and Medical Center and Clinics Valley Medical Center and Clinics UW Neighborhood Clinics Airlift Northwest Hall Health Primary Care Center UW Medicine Sports Medicine Clinic The Association of University Physicians (UWP)

  17. Safeguarding Patient Information • Consequences of lost patient information (PHI) are significant, costly and can tarnish our reputation. • Comply with UW and UW Medicine policies: • Privacy: http://depts.washington.edu/comply/privacy.shtml • Information Security: http://security.uwmedicine.org/guidance/policy/default.asp • Privacy Policy PP-30 • http://depts.washington.edu/comply/docs/PP_30.pdf

  18. HIPAA Breach Notification Rules • Definition of Breach: “acquisition, access, use or disclosure of PHI … that compromises the security or privacy of the PHI.” • Notification requirements apply only to “unsecured” PHI. PHI is deemed unsecured unless rendered “unusable, unreadable, or indecipherable” to unauthorized individuals by technologies or methodologies identified by HHS (currently limited to encryption or destruction). • Notification of affected individuals required if the breach poses a “significant risk of financial, reputational or other harm to the individual.” • Beginning September 23, 2013, there will be a new standard to determine whether a breach occurred. A breach will be presumed and there will be a more objective test to determine whether PHI has been compromised and notification required.

  19. HIPAABreach Notification Rules • All breaches must be reported annually to the Office of Civil Rights. • If a breach involves 500 or more individuals, it must be reported to media that reach location(s) in which the individuals reside. • If a breach involves more than 10 individuals for whom an address is not available, the covered entity must place notice of the breach on its website for 90 days.

  20. Institutional Consequences of a Breach • Potential loss of public trust in UW Medicine and UW • Significant time and resources to investigate, conduct forensics, analyze findings and determine appropriate course of action • Involvement of legal counsel, risk management, executive directors, unit heads • Exposure to civil liability • Protected Health Information (PHI) only: • Patient notification • Call center for each case requiring patient notification • Office of Civil Rights Investigation • Possible imposition of civil/criminal penalties, fines and sanction

  21. Personal Consequences of a Breach • Loss of public, patients, employees and students trust • Your name is reported to • Your program director, department chair, executive director and/or unit head • CEO, UW Medicine and Dean of the School of Medicine, University of Washington • UW Medicine Chief Health System Officer • UW Health Sciences Risk Management • UW Chief Information Security Officer • Federal and State regulatory agencies • The time you will spend cooperating with investigations, being retrained, and other remedial activities • Imposition of sanctions, disciplinary actions, and potential civil/criminal penalties • Your personal and professional reputation

  22. Case studies The following national and UW Medicine case studies are examples of lessons learned in the stewardship of confidential or restricted data

  23. National Case Studies • National Events • $1 million settlement with General Hospital Corp. and Massachusetts General Physicians Organization, Inc.--February 14, 2011 • University of Hawaii settles class action data breach involving personal information of 100,000 students, faculty, staff and alumni – January 2012 • American company had all of its data from a 10-year, $1 billion research program copied by hackers in one night- April 2012 • Alaska DHHS settles HIPAA security case for $1,700,000--June 26, 2012

  24. UW Medicine Case Study #1 • A medical student working on an IRB-approved study whose residence was broken into and his laptop was stolen • PHI of 1200 patients (study data) was stored on the stolen laptop • Laptop and files containing PHI were password protected, but not encrypted • Research data considered unsecured since not encrypted • Possible notification of patients • Lessons Learned • Password protect and encrypt

  25. Case Study #2 A UW file cabinet was sent to surplus without removing all documents A member of the public purchased a surplused file cabinet at a second-hand store. She found grant applications and research data and information in the drawers. Grant applications contained proprietary information and Investigators’ social security numbers. • No PHI • Risk analysis done and concluded risk of identity theft and/or harm low • Investigators were notified

  26. UW Medicine Case Study #3 • A staff member’s laptop was stolen while shopping • No confidential or restricted data on hard drive, device was password protected AND encrypted, department inventory details were up to date and centrally available • Outcome: loss of physical asset, no breach, no notification of patients, no notification to federal agencies • Lessons Learned • Importance of not storing confidential or restricted information on hard drive, password protection, encryption • Value of central controls, device configuration and inventory

  27. UW Medicine Case Study #4 • A Resident’s log book left in backpack and locked in trunk of car was stolen • PHI: patient name, EMR number, dates of service, date of birth, clinic and procedures • 487 patients notified • Self-reported to OCR; intense OCR follow-up investigation • Lessons Learned • Written PHI may not be taken off site without authorization from supervisor, chair or program director • Written PHI taken off site should not leave physical possession at any time • Required hundreds of hours over more than a year and substantive policy changes

  28. UW Medicine Case Study #5 • A Fellow’s unencrypted hard drive stolen from unlocked office • PHI and QI data • 3,948 patients involved; 324 patients notified due to risk of harm; notification to OCR; posted on UW Medicine website; likely OCR investigation forthcoming • Lessons Learned • Do not remove PHI from protected location • Password protect AND encrypt • Ensure physical security of devices at all times

  29. Basic DO’s and DON’Ts • Avoid taking confidential data off site or downloading to portable or mobile devices • Use the VPN to connect remotely • If taking confidential data with you, you MUST obtain supervisor or department head approval • Secure confidential data (locking file drawer, safe, or other locked device) • Never leave confidential data in your car • Confidential data stored on mobile devices must be encrypted and your device password protected

  30. Closing the Loop – Your Role

  31. Contact Information and resources UW Medicine ITS Security Team uwmed-security@uw.edu 206.543.7012 IT Services Help Desk mcsos@uw.edu DOM IT Help Desk domhelp@uw.edu 206.221.2459 UW Medicine Compliance comply@uw.edu 206.543.3098 UW Medicine Compliance-Anonymous Hotline comply@uw.edu 206.616.5248 866.964.7744 (toll free)

  32. Questions ?

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