CMS Issues Updated Guidance on Texting Patient Orders

By: Margaret Young Levi

On February 8, 2024, the Centers for Medicare and Medicaid Services (CMS) issued a memorandum entitled Texting of Patient Information and Orders for Hospitals and CAHs (the 2024 Memo), which provides updated guidance to State Survey Agency Directors.  This 2024 Memo now permits the texting of patient orders among members of the hospital care team—if the texting is accomplished on a secure platform that protects the privacy and integrity of the patient information. 

This new guidance updates CMS’ previous memorandum entitled Texting of Patient Information among Healthcare Providers in Hospitals and Critical Access Hospitals (CAHs) (the 2017 Memo), which permitted texting patient information if done through a secure platform, but prohibited texting of patient orders regardless of the platform utilized.

Even though texting of patient orders through a secure platform is now permitted by CMS, that does not mean it is recommended.  CMS still prefers that providers enter their orders into the medical record via computerized provider order entry (CPOE) or even a handwritten order because of concerns about medical record retention, accuracy, privacy and security, etc. as set forth in the Health Insurance Portability and Accountability Act of 1996 (HIPAA), the Medicare Conditions of Participation (CoPs), and, if applicable, The Joint Commission (TJC) standards discussed below.

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Federal Agency to Develop Model Privacy Notice for Healthcare Apps

Healthcare_Apps_for_Android_TabletsOn Friday, February 26, 2016, the Office of the National Coordinator (ONC) for Health Information Technology (HIT) announced via a blog post, that ONC will be updating the Model Privacy Notice (MPN) that, in 2011, ONC developed in concert with the Federal Trade Commission (FTC) for “personal health records” (PHRs), which was the emerging technology at the time.  ONC noted that since 2011, many retail healthcare apps such as exercise trackers and other wearable technology, have emerged and that consumers using such technology should be informed on how data collected through such apps is being used by the app developer and other third parties.  ONC stated that the MPN is “a voluntary, openly available resource designed to help developers provide transparent notice to consumers about what happens to their data.”

Importantly, healthcare app developers should take heed that ONC is not the only federal agency interested in ensuring that there is adequate consumer protection for individuals taking Continue reading