Privacy and Security Rule Modification: Comments to the Department of Health and Human Services
COMMENTS TO U.S. DEPARTMENT OF HEALTH AND HUMAN SERVICES
Submitted by the Privacy Rights Clearinghouse
September 13, 2010
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Medical Information Breach Regulations: Comments to the California Department of Public Health
December 13, 2010
TO:
Edwin Hoffmark
California Department of Public Health
PO Box 997377; MS 3201
Sacramento, CA 95899-7337
Submitted via email: RNUnit-at-cdph.ca.gov
Dear Mr. Hoffmark:
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2021 California Legislative Session Privacy Recap
Last year the California legislature continued to grapple with issues that were exacerbated by the ongoing COVID-19 global pandemic. As they were in 2020—although not to the same extent—legislators were forced to pare back their bill packages again in 2021.
Read MorePreparing for a Disaster
Nobody likes to think about the possibility of a disaster, but it’s important for you to be prepared long before one happens. Once one hits, it's unlikely that you’ll have enough time to take the steps to protect yourself and your personal information.
Read MoreMedical Records Privacy: Fears and Expectations of Patients
Speech by Beth Givens, PRC Directo
Conference: Toward an Electronic Patient Record
Sheraton Harbor Hotel, San Diego, CA
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Use of Personal Medical Data by Financial Institutions: Comments to the Federal Deposit Insurance Corporation
Submitted to the Federal Deposit Insurance Corporation for FACTA
Fair Credit Reporting Proposed Rulemaking
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Use of Personal Medical Data by Financial Institutions: Comments to the Federal Deposit Insurance Corporation
Submitted: May 24, 2005 to the Federal Deposit Insurance Corporation for FACTA, Fair Credit Reporting Proposed Rulemaking by the Privacy Rights Clearinghouse.
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