Privacy Statement and Policies
The Joint Commission
Lourdes Health Network is committed to the fundamental values of respect for the sacredness of life, and compassionate care of dying and vulnerable persons. Lourdes Health Network does not participate nor in any way assist with physician-assisted suicide on any Lourdes Health Network campus.
Lourdes Health Network strives to meet the healthcare needs of those we serve. Our Mission is an extension of the healing ministry of Jesus. We are called to serve our community, staff, patients, and visitors with respect, compassion, and care. Staff, patients and visitors who may have concerns regarding safety or quality of care issues are encouraged to immediately share their concerns with the Department Director or notify one or both of the following:
Anita Kongslie, Director of Risk Management
akongslie@lourdesonline.org
Phone (509) 546-2273
Lourdes Health Network
PO Box 2568
Pasco, WA 99302
John Serle, President & CEO
Phone (509) 543-2483
Lourdes Health Network
PO Box 2568
Pasco, WA 99302
If you do not believe that you have received resolution to your concern by contacting the above parties, you have the right to contact the following:
Washington State Department of Health
Phone (360) 236-2620
Toll-free Hotline (800) 633-6828
DOH
PO Box 47857
Olympia, WA 98504-7857
The Joint Commission
Email complaint@jointcommission.org
Fax Office of Quality Monitoring (630) 792-5636
Phone 800-994-6610
Office of Quality Monitoring
The Joint Commission
One Renaissance Boulevard
Oakbrook Terrace, IL 60181
Patient Feedback
At Lourdes Health Network, we want to encourage our patients to give their stories about exceptional patient care. Please take a moment to tell us about your experience at Lourdes. You may also call our NEW LourdesLine and leave your feedback - good, excellent, bad, opportunities, feedback or a simple thank you. ANYONE can call at ANYTIME at (509) 546-2256.
Physician Assisted Suicide
Lourdes Health Network Statement on the Sanctity of Human Life and Physician Assisted Suicide.
In keeping with the mission of Jesus, Lourdes Health Network vision and values, and the Ethical and Religious Directives for Catholic Health Care Services, we believe that no one can claim complete ownership of one’s own life or the lives of others. We believe that human life is a gift from God and is blessed with sanctity, dignity and inherent value. Our core values of love of God and neighbor, compel us to provide health services throughout the lifespan to individuals and families.
We at Lourdes Health Network view health as holistic, integrating body, mind and spirit, and we are committed to serving the whole person. For us, death is a natural phase of life through which we enter into eternal life. Even during periods of severe stress, the intent should never be to hasten death, but when death is expected as inevitable, to allow death to occur in a dignified and meaningful manner. We do not support actions intended to cause death, such as physician assisted suicide; rather we offer compassionate alternatives in support of care for the distraught and dying. We seek to identify those people who are at risk for despairing. We comfort them and help them find meaning in the midst of suffering.
Lourdes Health Network is committed to the fundamental values of respect for the sacredness of life, and compassionate care of dying and vulnerable persons. Lourdes Health Network does not participate nor in any way assist with physician assisted suicide on any Lourdes Campus.
Lourdes physicians and staff do not provide information or refer a patient to any entity or person who would assist the patient in requesting and self-administering lethal medications.
STANDARD
To establish a standard of practice to provide and make
available the Notice of Privacy Practices (Notice) to individuals
at the first delivery of services and to encourage and provide an opportunity
for the individual to discuss any concerns related to their Protected
Health Information (PHI) with their health care provider.
POLICY
Lourdes
Health Network (LHN) shall provide patients with a Notice of Privacy
Practices (Notice) of the individual's rights and the facility's duties
with respect to PHI, in accordance with applicable privacy requirements
in accordance with federal and state laws.
The Notice shall inform individuals
of the Uses and Disclosures of PHI that may be made by LHN and of the
patient's rights and the facility's legal duties with respect to PHI.
LHN will document and implement procedures to ensure internal processes
that create, use or disclose PHI in compliance with the Notice.
RIGHT TO NOTICE
An Individual has a right to Notice of the uses and disclosures
of PHI that may be made by LHN, and a description of the patient's rights
and the Facility's legal duties with respect to PHI.
CONTENT OF NOTICE
LHN must provide a Notice that is written in plain
language, contains the individual's rights with a description on how
the individual may exercise these rights with respect to PHI, and other
required elements in accordance with federal and state laws.
COMPLAINTS
Individuals may
complain to LHN and to the Secretary of the Department of Health and
Human Services (DHHS) if they believe their privacy rights have been
violated. The individual will not be retaliated against for filing a
complaint.
IMPLEMENTATION AND MAINTENANCE OF NOTICE
1. The summary of the Notice of Privacy Practices shall be offered
to individuals whenever they enter the facility seeking health care
services. Individuals shall be provided the Notice in its entirety
upon request.
2. Except in an emergency treatment situation, LHN shall
provide the Notice of Privacy Practices to individuals at the first provision
of services including but not limited to pre-registration, registration
or admission.
At the time the Notice is provided, an offer should be
made by facility staff to review the Notice with the patient or answer
questions. The patient may also be asked if restrictions or confidential
communications would be appropriate to ensure privacy. (P 73: Confidential
Communications) for additional information on the process to secure
these patient rights. The Privacy Officer is also available and responsible
for responding to questions about specific statements made in the Notice.
4. Upon provision of the Notice facility staff shall, in good faith, attempt
to obtain a written acknowledgement of receipt signed by the patient
or the patient's personal representative. If the acknowledgement cannot
be obtained, staff shall document their effort to obtain acknowledgement
and the reason the acknowledgement was not obtained.
5. If the Notice
cannot be provided and/or the acknowledgement is not signed due to an
emergency situation, facility staff will provide the Notice and attempt
to obtain the acknowledgement as soon as reasonably practical after the
emergency treatment situation is resolved. The privacy rule exempts health
care providers from having to make a good faith effort to obtain an individual's
acknowledgment in emergency situations.
6. The Notice is posted in prominent
locations such as patient access areas including inpatient and outpatient
registration areas, and the emergency department.
7. In the event the
first delivery of health care services occurs over the phone, the Notice
is be mailed to the individual on the same day. An acknowledgement is included
with the Notice and request that the individual sign the acknowledgement
and mail it back.
DOCUMENTATION
The facility must document compliance with the privacy rule's
Notice requirements, by retaining copies of the original and any subsequent
revisions of the Notice issued by the facility for six years from
the date of the document's creation or the date when it last was
in effect, whichever is later. In addition, written acknowledgments
of receipt of the Notice or documentation of good faith efforts to
obtain such written acknowledgment must also be retained for six
years from the date of creation.
RESPONSIBILITIES
1. The Privacy Officer is responsible for all updates or edits
to the Notice of Privacy Practices and maintains the master copy and
all versions of the Notice.
2. All department directors or managers are
responsible for submitting suggested updates and edits to privacy practices
to the Privacy Officer for review and approval prior to any changes in
privacy policies, procedures and practices.
Right to Notice - Exception for inmates: An inmate does not have a
right to Notice.
PROTECTED HEALTH
INFORMATION
STANDARD: To establish
a standard of practice that maintains appropriate systems and procedures
necessary to protect the private and confidential health information
of its patients and employees.
POLICY: In conjunction with its Mission,
it is the policy of Lourdes Health Network (LHN) that all patient information
is confidential.
PROCEDURE: LHN has developed a comprehensive,
interdisciplinary Privacy Program, in accordance with federal regulations,
that includes but is not limited to the following:
1. Implementation of Procedures that
address:
A. Providing individuals with information about the uses and
disclosures of their Protected Health Information (PHI), their rights
and LHN's legal responsibility)
B. The process for an individual to discuss
concerns related to their PHI
C. Uses and disclosures LHN is permitted to make:
• With the authorization
of the individual
• For the purposes of treatment, payment, or health care operations
• That generally do not require
a consent or authorization from the individual, e.g. Public Health,
abuse, subpoena.
D. The individual's rights to:
• Access to PHI
• Request an accounting of Disclosures
• To request amendment of PHI
• For confidential communication
• Restrict the use and disclosure
of PHI
E. Disclosures to group health plans and insurance providers
F. Limitations for use of PHI for marketing and fund raising
G. The use of PHI for a patient roster or directory
H. Communication with family, relatives, or friends
I. The use or disclosure of PHI to contracted business associates
J. What is included in the designated record set
K. De-identifying PHI
L. Complaints
M. Retention of records
N. Other safeguards, e.g. faxing,
e-mailing, viewing computer screens, white boards, website privacy,
security of medical records, confidentiality statements signed by staff
Informing
the individual of his/her rights and LHN's responsibilities with respect
to Protected Health Information (PHI.) The Notice of Privacy Practices
(Notice) will be offered to all individuals at the first delivery of
service and contains elements in accordance with applicable privacy
requirements under State and Federal law.
2. Appointment by the Chief Executive
Officer of a Privacy Officer to oversee LHN's privacy program. The Privacy Officer oversees the
development, implementation, maintenance of and adherence to privacy
principles, policies and procedures covering the privacy of, and access
to, protected health information (PHI) in compliance with federal and
state laws and LHN's information privacy practices. The Privacy Officer
is responsible for coordinating all corporate activities with privacy
implications, as well as monitoring all of the organization's services
and systems to assure meaningful privacy practices. The Privacy Officer
also advocates and protects patient privacy by serving as a key privacy
advisor for patients, handling disputes and managing patient requests
regarding their PHI.
3. Appointment by the Chief Executive
Officer of an Information Security Officer to oversee design, development,
and implementation of security changes and enhancements to the Information
Technology (IT) computing environments in LHN. The Information Security Officer, working with
the Privacy Officer, is responsible for determining appropriate security
measures and creating policies and procedures that monitor and control
access to system resources and data. The Information Security Officer
updates security standards as necessary and is responsible for the
prevention, detection, containment and correction of security breaches.
State Law Pre-Emption Note: The Privacy Program Policies have been
prepared for the purpose of satisfying Federal privacy requirements
under the privacy regulations adopted pursuant to the Health Insurance
Portability and Accountability Act of 1996. Efforts have been made
to also reflect State law requirements. Section 160.203 of the privacy
regulations provides that the Federal privacy regulations generally
pre-empt contrary State law requirements. However, there are certain
identified situations in which State laws are not pre-empted, including,
without limitation, situations in which a State law related to the
privacy of health information is more stringent than the corresponding
Federal privacy requirement.
Patient, Visitor and Staff Safety Policy
Staff, patients and visitors who may have concerns regarding safety or quality of care issues are encouraged to immediately share their concerns with the Department Director or notify the following:
Anita Kongslie, Director of Risk Management
Lourdes Health Network
PO Box 2568
Pasco, WA 99302
Phone (509) 546-2273
Email akongslie@lourdesonline.org
John Serle, President and CEO
Lourdes Health Network
PO Box 2568
Pasco, WA 99302
Phone (509) 543-2483
Email jserle@lourdesonline.org
If you do not believe that you that you received resolution to your concern by contacting the above parties, you have the right to contact the following:
Washington State Department of Health
Department of Health
PO Box 47857
Olympia, WA 98504-7857
Phone (360) 236-2620
Toll-free Hotline 1-800-633-6828
www.doh.wa.gov
The Joint Commission
Office of Quality Monitoring
One Renaissance Boulevard
Oakbrook Terrace, IL 60181
Toll-free Hotline 1-800-994-6610
Fax (630) 792-5636
Email complaint@joint commission.org |