{"id":4885,"date":"2019-10-28T13:25:11","date_gmt":"2019-10-28T18:25:11","guid":{"rendered":"https:\/\/calliercenter.utdallas.edu\/?post_type=doc&p=4885"},"modified":"2022-11-01T18:55:46","modified_gmt":"2022-11-01T23:55:46","slug":"section-11-personal-representatives-minors-and-deceased-individuals-uses-and-disclosures-of-phi","status":"publish","type":"doc","link":"https:\/\/calliercenter.utdallas.edu\/doc\/section-11-personal-representatives-minors-and-deceased-individuals-uses-and-disclosures-of-phi\/","title":{"rendered":"Section 11: Personal Representatives, Minors and Deceased Individuals – Uses and Disclosures of PHI"},"content":{"rendered":"\n
Personal Representative<\/strong>: Any adult that has decision-making capacity and who is willing to act on behalf of a patient. A personal representative would include an individual who has authority, by law or by agreement from the individual receiving treatment, to act in the place of the individual. This includes parents, legal guardians or properly appointed agents, like those identified in documents such as a Durable Power of Attorney for Healthcare, or individuals designated by state law.<\/p>\n\n\n\n Minor<\/strong>: An individual under the age of 18 who has not been legally emancipated by a court and is:<\/p>\n\n\n\n As a general rule, minors, incapacitated and deceased individuals must have a Personal Representative identified in order to provide consent or authorization to use and disclose PHI. For the purposes of this policy, the Callier Center must recognize a Personal Representative as the individual responsible for providing: HIPAA consent (General Policy and Uses and Disclosures of PHI), and authorization for any other use and disclosure of PHI (Uses and Disclosures of PHI based on Patient Authorization). However, the Callier Center does not have to recognize a Personal Representative as the individual if the Personal Representative is suspected of abusing, neglecting or endangering the individual as specified below. All final determinations regarding the status of a Personal Representative shall be made by the Privacy Officer in consultation with legal counsel as appropriate.<\/p>\n\n\n\n If a person has authority by law to act on behalf of an individual who is an adult or an emancipated minor in making decisions related to use and disclosure of PHI, the Callier Center will treat such person as a personal representative. Once a minor is emancipated, a guardian or a parent cannot be recognized as a personal representative.<\/p>\n\n\n\n Absent a legal document like a Durable Power of Attorney for Healthcare or formal guardianship documents, the following individuals, in order of priority, will have the right to act as the individual for HIPAA consent and authorization to release PHI. This includes both providing the HIPAA consent based Uses and Disclosures of PHI and authorizing the release of PHI on behalf of the patient. The following individuals, in order of priority, are:<\/p>\n\n\n\n If a parent, guardian, or other person has authority by law to act on behalf of an individual who is an un-emancipated minor in making decisions related to use and disclosure of PHI, the Callier Center must recognize such person as a personal representative.<\/p>\n\n\n\n If a minor does not require the consent of an adult and may consent to treatment, as stated in Consent for Treatment of a Minor, the minor will be treated as an individual and may provide HIPAA consent or authorization for release of PHI.<\/p>\n\n\n\n Examples of where a minor, with authority by law, can act as an individual may include:<\/p>\n\n\n\n Notwithstanding a state law or any requirement of this paragraph to the contrary, the Callier Center may elect not to recognize a person as the personal representative of a patient. If the Callier Center chooses not to recognize a person as a personal representative, the Callier Center must decide that it is not in the best interest to treat the person as the patient\u2019s personal representative and believes that one of the following conditions exists:<\/p>\n\n\n\n PHI generated during the life of an individual is protected from disclosure after death unless disclosure is for treatment, payment or health care operations. The Callier Center and its employees cannot release PHI regarding a deceased individual unless a valid personal representative has been established and the individual has requested the PHI through the proper authorization process.<\/p>\n\n\n\n If under applicable law an executor, administrator, or other person has authority to act on behalf of a deceased individual or of the individual\u2019s estate, the Callier Center must recognize such person as a personal representative under this policy.<\/p>\n\n\n\n Absent an executor, administrator or other court-appointed representative for the deceased individual\u2019s estate, the following individuals listed below may authorize the release of PHI in order of priority. An entire category must be exhausted (no people in the category exist or still alive) before moving to the next category. If there are questions, please call the UT Dallas University Attorney.<\/p>\n\n\n\n In the case of a deceased, married individual survived by a spouse with or without descendants:<\/p>\n\n\n\n In the case of a deceased individual with no spouse (i.e., never married, widowed, or divorced and not remarried) with or without descendants:<\/p>\n\n\n\n All supervisors are responsible for enforcing this policy. Individuals who violate this policy will be subject to the disciplinary process for faculty, staff, students, or volunteers.<\/p>\n\n\n\n HIPAA Regulatory Citations: 45 CFR \u00a7 164.502(f), \u00a7 164.502(g)<\/p>\n\n\n\n Effective:\u00a0 04\/14\/2003 Heather Zimmerman, HIPAA Privacy Officer Section 11: Personal Representatives, Minors and Deceased Individuals – Uses and Disclosures of PHI Definitions Personal Representative: Any adult that has decision-making capacity and who is willing to act on behalf of a patient. A personal representative would include an individual who has authority, by law or by agreement from the individual receiving treatment, to…<\/p>\n","protected":false},"featured_media":0,"parent":0,"menu_order":10,"template":"","meta":{"schema":"","fname":"","lname":"","position":"","credentials":"","placeID":"","no_match":false,"name":"","company":"","review":"","address":"","city":"","state":"","zip":"","lat":"","lng":"","phone1":"","phone2":"","fax":"","mon1":"","mon2":"","tue1":"","tue2":"","wed1":"","wed2":"","thu1":"","thu2":"","fri1":"","fri2":"","sat1":"","sat2":"","sun1":"","sun2":"","hours-note":"","footnotes":""},"doc_category":[47],"class_list":["post-4885","doc","type-doc","status-publish","hentry","doc_category-general"],"yoast_head":"\nPolicy<\/strong><\/h2>\n\n\n\n
Adults <\/strong>and <\/strong>Emancipated Minors<\/strong><\/strong><\/h2>\n\n\n\n
Un-<\/strong>emancipated <\/strong>Minors<\/strong><\/strong><\/h2>\n\n\n\n
Abuse, Neglect, Endangerment Situations<\/strong><\/h2>\n\n\n\n
Deceased Individuals<\/strong><\/h2>\n\n\n\n
Enforcement<\/strong><\/h2>\n\n\n\n
Revised:\u00a0 04\/13\/2013
Reviewed:\u00a010\/21\/2022, 03\/23\/2021, 06\/09\/2015<\/p>\n\n\n\n<\/figure>\n\n\n\n
UT Dallas Callier Center<\/p>\n","protected":false},"excerpt":{"rendered":"