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Notice
of Privacy Practices LEFEVER
AND ASSOCIATES, INC. / SCOOTER WAREHOUSE I. THIS NOTICE DESCRIBES HOW MEDICAL INFORMATION ABOUT YOU MAY BE USED AND DISCLOSED AND HOW YOU CAN GET ACCESS TO THIS INFORMATION. PLEASE REVIEW IT CAREFULLY. II. OUR DUTY TO SAFEGUARD YOUR PROTECTED HEALTH INFORMATION. Individually identifiable information about your past, present, or future health or condition, the provision of health care to you, or payment for the health care is considered "Protected Health Information" ("PHI"). We are required to extend certain protections to your PHI and to give you this Notice about our privacy practices that explains how, when and why we may use or disclose your PHI. Except in specified circumstances, we must use or disclose only the minimum necessary PHI to accomplish the purpose of the use or disclosure. Minimum Necessary: The final Rule exempts from the minimum necessary standards any uses or disclosures for which the covered entity has received and authorization. The Rule previously exempted only certain types of authorizations from the minimum necessary requirement, but since the rule will only have one type of authorization, the exemption is now applied to all authorizations. We are required to follow the privacy practices described in this Notice, though we reserve the right to change our privacy practices and the terms of this Notice at any time. If we do so, we will post a new Notice in our office. You may request a copy of the new notice from the Business Office Manager at the main office. III. How We May Use and Disclose Your Protected Health Information. We use and disclose PHI for a variety of reasons. For most uses/disclosures, we must obtain your consent or make a "Good Faith Effort" to obtain consent. However, the law provides that we are permitted to make some uses/disclosures without your consent or authorization. The following offers more description and examples of our potent ional use/disclosures of your PHI. " Uses and Disclosures Relating to Treatment, Payment, or Health Care Operations. Generally, we must have your consent to use/disclose your PHI or make a "Good Faith Effort" to obtain consent. HHS mandates to protect privacy while eliminating barriers to treatment by strengthening the notice requirement and making consent for routine health care delivery purposes (known as treatment, payment, and health care operations) optional. The Rule requires covered entities to provide patients with notice of the patient's privacy rights and the privacy practices of the covered entity. " For Treatment: We may disclose your PHI to doctors, nurses, and other health care personnel who are involved in providing your health care. For example, your PHI will be shared among members of your treatment team. To obtain payment: We may use/disclose your PHI in order to bill and collect payment for your health care services. For example, we may release portions of your PHI to the local ADAMH Board and/or a private insurer to get paid for services that we delivered to you. Appointment reminders: Unless you provide us with alternate instructions, we may send appointment reminders and other similar materials to your home. Exceptions: Although your consent is usually required for the use/disclosure of your PHI for the activities described above, the law allows us to use/disclose your PHI without your consent in certain situations. For example, we may disclose your PHI if needed for emergency treatment if it is not reasonably possible to obtain your consent prior to the disclosure and we thing that you would give consent if able. Also, if we are required by law to provide your treatment, we may use/disclose your PHI for treatment, payment and operations without obtaining your prior consent. Uses and Disclosures Requiring Authorization: For uses and disclosures beyond treatment, payment and operations purposes, we are required to have your written authorization, unless the use or disclosure falls within one of the exemptions described below. Like consents, authorizations can be revoked at any time to stop future uses/disclosures except to the extent that we have already undertaien the action in reliance upon your authorization. Uses and Disclosures Not Requireng Consent or Authorization: The law provides that we may use/disclose your PHI without consent or authorization in the following circumstances: When required
by law: We may disclose PHI when a law requires that we report information
about suspected abuse, neglect or domestic violence, or relating to suspected
criminal activity, or in response to a court order. We must also disclose
PHI to authorities who monitor compliance with these privacy requirements. To avert
threat to health or safety: In order to avoid a serious threat to health
or safety, we may disclose PHI as necessary to law enforcement or other
persons who can reasonably prevent or lessen the threat of harm. Uses and Disclosures requiring you to have an Opportunity to Object: In the following situations, we may disclose your PHI if we inform you about the disclosure in advance and you do not object. However, if there is an emergency situation and you cannot be given your opportunity to object, disclosure may be made if it is consistent with any prior expressed wishes and disclosure is determined to be in your best interests. You must be informed and given an opportunity to object to further disclosure as soon as you are able to do so. To families, friends or others involved in your care: We may share with these people information directly related to your family's. friend's or other persons's involvement in your care or payment for your care. We may also share PHI with these people to notify them about your location, general condition or death. IV. Your Rights Regarding Your Protected Health Information: You have the following rights relating to your protected health information: To request restrictions on uses/disclosures: You have the right to ask that we limit how we use or disclose your PHI. We will consider your request but are not legally bound to agree to the restriction. To the extend that we do agree to any resctrictions on our use/disclosure of your PHI, we will put the agreement in writing and abide by it except in emergency situations. We cannot agree to limit uses/disclosures that are required by law. To choose how we contact you: You have the right to ask that we send you information at an alternative address or by alternative means. We must agree to your request as long as it is reasonably easy for us to do so. To inspect
and copy our PHI: Unless your access is restricted for clear and documented
treatment reasons, you have a right to see your protected health information
if you put your request in writing. We will respond to your request within
30 days. If we deny your access, we will give you written reasons for
the denial and explain any right to have the denial reviewed. If you want
copies of your PHI, a charge for copying may be imposed, but may be waived,
depending on your circumstances. You have a right to choose what portions
of your information you want copied and to have prior information on the
cost of copying. To find out what disclosures have been made: You have a right to get a list of when, to whom, and for what purpose, and what content of your PHI has been released other than instances of disclosure for which you have given consent (i.i. for payment to you, your family). The list also will not include any disclosures made for national security purposes, to law enforcement officials or correctional facilities or before April, 2007. We will respond to your written request for such a list within 60 days of receiving it. Your request can relate to disclosures going as far back as six years. There will be no charge for up to one such list each year. There may be a charge for more frequent requests. To receive this notice: You have a right to receive a paper copy of this Notice and/or an electronic copy by email upon request. V. How to
Complain About our Privacy Practices: VI. Contact Person for Information, or to Submit a Complaint: If you have questions about this Notice or any complaints about our privacy practices, please contact: Alexis Trout, Office Manager, 499 Running Pump Road, Suite 112, Lancaster, PA 17601, 717-393-8213 or toll free 1-866-533-3837, phlaeagls@aol.com VII. Effective
Date: This Notice was effective on January 1, 2007.
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