{"id":4889,"date":"2019-10-28T13:26:36","date_gmt":"2019-10-28T18:26:36","guid":{"rendered":"https:\/\/calliercenter.utdallas.edu\/?post_type=doc&p=4889"},"modified":"2022-11-01T18:56:43","modified_gmt":"2022-11-01T23:56:43","slug":"section-13-releases-disclosures-requiring-no-authorization","status":"publish","type":"doc","link":"https:\/\/calliercenter.utdallas.edu\/doc\/section-13-releases-disclosures-requiring-no-authorization\/","title":{"rendered":"Section 13: Releases & Disclosures Requiring No Authorization"},"content":{"rendered":"\n
HIPAA requires UT Dallas to have policies and procedures addressing Uses and Disclosures that are permitted by other laws which are not pre-empted by HIPAA. The Callier Center shall conduct Uses and Disclosures of PHI that are permitted by law in the absence of an Authorization for routine Uses without specific approval from the Privacy Officer but shall obtain such approval prior to any non-routine Use or Disclosure of PHI under this Section 13. With the exception of releases requested by the Patient and Releases Pursuant to a Court all Uses and Disclosures described in this section are considered to be permitted, as opposed to required, by law.<\/p>\n\n\n\n
Offices that maintain PHI as the Business Associate of a Covered Entity may Use and Disclose PHI routinely as provided by the terms of the Business Associate Agreement in place between the Office and the Covered Entity without seeking prior approval of the Privacy Officer.<\/p>\n\n\n\n
The Callier Center may Use or Disclose PHI without an Authorization and without seeking prior approval by the Privacy Officer under any of the following circumstances, each of which shall be considered a \u201croutine\u201d Use or Disclosure, subject to the Verification requirements of Section 17 and, with the exception of releases under subparagraphs a, b, and c of this Subsection 1, the Minimum Necessary requirements of Section 5 of this Manual.<\/p>\n\n\n\n
Notwithstanding the above, a Use or Disclosure of PHI that constitutes a Patient\u2019s entire medical record or psychotherapy notes shall not be considered to be made under \u201croutine\u201d circumstances.<\/p>\n\n\n\n
In considering whether to approve a non-routine Disclosure under this subsection 2, the Verification requirements of Section 17 and the Minimum Necessary requirements of Section 5 of this Policy must be met in the absence of an Authorization or a court or administrative order.<\/p>\n\n\n\n
All actions taken by the Center pursuant to this subsection shall only be taken upon consultation with legal counsel.<\/p>\n\n\n\n
HIPAA Regulatory Citation: 45 CFR \u00a7 164.512<\/p>\n\n\n\n
Effective:\u00a0 04\/14\/2003 Heather Zimmerman, HIPAA Privacy Officer Section 13: Releases & Disclosures Requiring No Authorization HIPAA requires UT Dallas to have policies and procedures addressing Uses and Disclosures that are permitted by other laws which are not pre-empted by HIPAA. The Callier Center shall conduct Uses and Disclosures of PHI that are permitted by law in the absence of an Authorization for…<\/p>\n","protected":false},"featured_media":0,"parent":0,"menu_order":12,"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-4889","doc","type-doc","status-publish","hentry","doc_category-general"],"yoast_head":"\n
Revised:\u00a0 05\/15\/2015, 04\/13\/2013
Reviewed:\u00a010\/21\/2022, 03\/21\/2021, 08\/13\/2015<\/p>\n\n\n\n<\/figure>\n\n\n\n
UT Dallas Callier Center<\/p>\n","protected":false},"excerpt":{"rendered":"