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Telehealth
What is telehealth?
What entities are included and excluded under the Notification of Enforcement Discretion regarding COVID-19 and remote telehealth communications?
What patients can a covered health care provider treat under the Notification of Enforcement Discretion regarding COVID-19 and remote telehealth communications and does it include Medicare and Medicaid patients?
Which parts of the HIPAA Rules are included in the Notification of Enforcement Discretion regarding COVID-19 and remote telehealth communications?
Does the Notification of Enforcement Discretion regarding COVID- 19 and remote telehealth communications apply to violations of 42 CFR Part 2, the HHS regulation that protects the confidentiality of substance use disorder patient records?
When does the Notification of Enforcement Discretion regarding COVID-19 and remote telehealth communications expire?
Where can health care providers conduct telehealth?
What telehealth services are covered by the Notification of Enforcement Discretion regarding COVID-19 and remote telehealth communications?
What may constitute bad faith in the provision of telehealth by a covered health care provider, which would not be covered by the Notification of Enforcement Discretion regarding COVID-19 and remote telehealth communications?
What is a "non-public facing" remote communication product?
If a covered health care provider uses telehealth services during the COVID-19 outbreak and electronic protected health information is intercepted during transmission, will OCR impose a penalty on the provider for violating the HIPAA Security Rule?
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This is archived HHS content.