I am strongly opposed to this rule as a practicing Board Certified Family Physician as it will serve only to increase tedious workloads by requiring redundant documentation of the need to view critical patient information to perform clinical duties.
Furthermore, the issue of necessary practitioner access to medical records will only serve as fodder for the already encumbered medical liability system until appropriate tort reform measures are addressed.
Comment on FR Doc # 2011-13297
This is comment on Proposed Rule
HIPAA Privacy Rule Accounting of Disclosures under the Health Information Technology for Economic and Clinical Health Act
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