{"id":4946,"date":"2019-10-28T15:55:52","date_gmt":"2019-10-28T20:55:52","guid":{"rendered":"https:\/\/calliercenter.utdallas.edu\/?post_type=doc&p=4946"},"modified":"2022-11-01T18:29:59","modified_gmt":"2022-11-01T23:29:59","slug":"section-31-discipline-and-dismissal-non-retaliation","status":"publish","type":"doc","link":"https:\/\/calliercenter.utdallas.edu\/doc\/section-31-discipline-and-dismissal-non-retaliation\/","title":{"rendered":"Section 31 : Discipline and Dismissal; Non-retaliation"},"content":{"rendered":"\n
Violation of the Callier Center\u2019s HIPAA Privacy Policies or the HIPAA Privacy Rule is unacceptable conduct. Individuals who commit such violations are subject to sanctions in accordance with this policy.<\/p>\n\n\n\n
Sanctions for violations of the Center\u2019s HIPAA Privacy policies and procedures by faculty or staff shall be imposed in accordance with its employment policies and procedures for faculty and staff, as applicable; and in the case of violations committed by a student member of the Workforce, in accordance with University policies and procedures for student discipline. The Callier Center Executive Director and HIPAA Privacy Officer shall review and determine all sanctions to be imposed on volunteers.<\/p>\n\n\n\n
Sanctions shall take into account the nature and severity of the violation and may range from a written reprimand to termination, or in the case of students, suspension or expulsion.<\/p>\n\n\n\n
The Callier Center shall document all rule violations and sanctions it imposes including a log of how the incident was mitigated. Such records will be retained in a designated file for a minimum of six years in addition to any documentation required by other University employment or student disciplinary records.<\/p>\n\n\n\n
The Callier Center will comply with the appropriate faculty, staff, volunteer, and student policies when mitigating violations of the HIPAA Privacy Manual.<\/p>\n\n\n\n
Business Associates will be required to follow their own policies with respect to violations committed by their Workforce member and take any other necessary steps to ensure their compliance with the HIPAA Privacy Rule and the Business Associate Agreement in place between the University and the Business Associate (as applicable).<\/p>\n\n\n\n
HIPAA Regulatory Citations:\u00a0 45 CFR \u00a7 164.530(e), \u00a7 164.530(f) Effective: 04\/14\/2003 Heather Zimmerman, HIPAA Privacy Officer Section 31: Discipline and Dismissal; Non-retaliation Violation of the Callier Center\u2019s HIPAA Privacy Policies or the HIPAA Privacy Rule is unacceptable conduct. Individuals who commit such violations are subject to sanctions in accordance with this policy. a. The Sanction Process Sanctions for violations of the Center\u2019s HIPAA Privacy policies and procedures by faculty or staff…<\/p>\n","protected":false},"featured_media":0,"parent":0,"menu_order":30,"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":[50],"class_list":["post-4946","doc","type-doc","status-publish","hentry","doc_category-compliance-issues"],"yoast_head":"\n
Revised: 04\/13\/2013
Reviewed: 10\/21\/2022, 03\/30\/2021, 12\/08\/2015<\/p>\n\n\n\n<\/figure>\n\n\n\n
UT Dallas Callier Center<\/p>\n","protected":false},"excerpt":{"rendered":"