CLIA Program and HIPAA Privacy Rule; Patients’ Access to Test Reports

 
Docket ID: CMS-2011-0145
Agency: Centers for Medicare Medicaid Services (CMS)
Parent Agency: Department of Health and Human Services (HHS)
RIN: Not Assigned

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    10/26/2011

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    10/17/2011

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    CMS-2011-0145-0069

    11/10/2011

      • To Whom it May Concern, I am writing in support of the proposed rule to expand the rights of individuals to obtain their health information by giving them direct access to their...

      • Public Submission
      • Posted:

        11/08/2011

      • ID:
        CMS-2011-0145-0048
      • Organization:
      • Submitter Name:
      undefined
      • See attached file(s)

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0156
      • Organization:
      • Submitter Name:
      undefined
      • See attached file(s)

      • Public Submission
      • Posted:

        10/20/2011

      • ID:
        CMS-2011-0145-0034
      • Organization:
      • Submitter Name:
      • I am one of a large number of i ndividuals who believe we should have a right to drect access to data relating to health and well-being.

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0105
      • Organization:
      • Submitter Name:
      • This can be a powerful tool to engage patients in taking part in their own care. But, if patients receive abnormal reports or borderline abnormal reports they will cause tremendous...

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        10/17/2011

      • ID:
        CMS-2011-0145-0007
      • Organization:
      • Submitter Name:
      undefined
      • Please see comments attached.

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0117
      • Organization:
      • Submitter Name:
      • I feel very strongly that my lab results data no matter what the nature, DNA, Blood work etc should be freely available to me directly from the testing company. It is an insult to...

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0166
      • Organization:
      • Submitter Name:
      undefined
      • This letter represents comments and recommendations from the American Health Information Management Association (AHIMA) in response to the notice of proposed rulemaking published...

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0124
      • Organization:
      • Submitter Name:
      undefined
      • Comments provided by Millennium Laboratories to CMS regarding proposed rule to provide patients, upon request, with direct access to their laboratory test reports -- CMS-2319-P

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0162
      • Organization:
      • Submitter Name:
      • Thank you for the opportunity to comment on the regulatory impact analysis in this proposed rule. In this proposed rule, the Centers for Medicare & Medicaid Services (CMS) and...

      • Public Submission
      • Posted:

        09/22/2011

      • ID:
        CMS-2011-0145-0005
      • Organization:
      • Submitter Name:
      undefined
      • Attached please find McKesson Corporation's comments on the Proposed Rule for CLIA Program and HIPAA Privacy Rule; Patients’ Access to Test Reports [CMS–2319–P].

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0143
      • Organization:
      • Submitter Name:
      undefined
      • The attached comments are being submitted by Scott & White Center for Healthcare Policy related to the Proposed Rule CMS-2319-P.

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0144
      • Organization:
      • Submitter Name:
      undefined
      • See attached file(s)

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0145
      • Organization:
      • Submitter Name:
      undefined
      • See attached file(s)

      • Public Submission
      • Posted:

        10/17/2011

      • ID:
        CMS-2011-0145-0032
      • Organization:
      • Submitter Name:
      • I am writing in support of Proposed Rule CMS-2319-P, Docket ID CMS-2011-0145, which will expand the rights of individuals to obtain their health information by giving them direct...

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0095
      • Organization:
      • Submitter Name:
      • This proposed rule would have the following impact on hospital laboratories: 1. It will require laboratories invest in new technology that will allow for patient portals into the...

      • Public Submission
      • Posted:

        11/08/2011

      • ID:
        CMS-2011-0145-0040
      • Organization:
      • Submitter Name:
      undefined
      • Attached comments is submitted by the Institute of Electrical and Electronics Engineers-United States of America (IEEE-USA) in response to File Code CMS-2319-P, CLIA Program and...

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0122
      • Organization:
      • Submitter Name:
      • Can the rule include results of radiological assessments: X-rays, CT scans, ultrasound results.....

      • Public Submission
      • Posted:

        09/22/2011

      • ID:
        CMS-2011-0145-0003
      • Organization:
      • Submitter Name:
      undefined
      • The attached comments are submitted on behalf of Quest Diagnostics Incorporated.

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0100
      • Organization:
      • Submitter Name:
      • Comment to Proposed Rule CMS-2319-P: I believe that people are entitled to an active role in their personal health care decisions. This includes unimpeded access to medical test...

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0087
      • Organization:
      • Submitter Name:
      • Centers for Medicare and Medicaid Services Department of Health and Human Services Attention: CMS-2319-P PO Box 8010 Baltimore, MD 21244-8010 RE: Access to Clinical Laboratory...

      • Public Submission
      • Posted:

        11/10/2011

      • ID:
        CMS-2011-0145-0068
      • Organization:
      • Submitter Name:
      • A semen analysis is a a relatively low-cost and simple base-line test that can start to diagnose a couple trying to have a baby. However, by the time patients get to our center...

      • Public Submission
      • Posted:

        10/17/2011

      • ID:
        CMS-2011-0145-0028
      • Organization:
      • Submitter Name:
      • The proposed regs are well written and informative. Glad for that and thank you. Two comments: 1. You imply that the Rule would supercede state laws that place physician...

      • Public Submission
      • Posted:

        10/17/2011

      • ID:
        CMS-2011-0145-0011
      • Organization:
      • Submitter Name:
      • Centers for Medicare and Medicaid Services Department of Health and Human Services Attention: CMS-2319-P PO Box 8010 Baltimore, MD 21244-8010 RE: Access to Clinical Laboratory...

      • Public Submission
      • Posted:

        11/08/2011

      • ID:
        CMS-2011-0145-0058
      • Organization:
      • Submitter Name:
      undefined
      • On behalf of the AAMC, I am pleased to submit the attached comment letter in response to the proposed rule, CLIA Program and HIPAA Privacy Rule; Patients' Access to Test Reports.

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0132
      • Organization:
      • Submitter Name:
      • I am an individual with a serious chronic illness. I recently went to a doctor because I was ill. He took blood work and cultures. I called because I was sicker, and asked for...

      • Public Submission
      • Posted:

        11/08/2011

      • ID:
        CMS-2011-0145-0039
      • Organization:
      • Submitter Name:
      • I am a retired Physician. In my years of practice it was unthinkable that I would not allow my patients full access to their laboratory reports whether I had ordered the labarotary...

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0116
      • Organization:
      • Submitter Name:
      undefined
      • See attached file(s)

      • Public Submission
      • Posted:

        10/17/2011

      • ID:
        CMS-2011-0145-0031
      • Organization:
      • Submitter Name:
      • I wholeheartedly support Proposed Rule CMS-2319-P which will expand the rights of individuals to obtain their health information by giving them direct access to their clinical...

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0084
      • Organization:
      • Submitter Name:
      • To Whom it May Concern, I am writing in support of the proposed rule to expand the rights of individuals to obtain their health information by giving them direct access to their...

      • Public Submission
      • Posted:

        11/08/2011

      • ID:
        CMS-2011-0145-0047
      • Organization:
      • Submitter Name:
      • The individual should have the right to decide whether or not their DNA results are published for all to see. The Government nor the Medical Association should not be the...

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0104
      • Organization:
      • Submitter Name:
      • RE: Access to Clinical Laboratory Test Reports I am writing in support of the proposed rule to expand the rights of individuals to obtain their health information by giving them...

      • Public Submission
      • Posted:

        11/08/2011

      • ID:
        CMS-2011-0145-0056
      • Organization:
      • Submitter Name:
      • As a laboratorian for 40 years and in laboratory administration for over 30 years, I would like to comment on the proposed rule on patient access to lab test results. While...

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0164
      • Organization:
      • Submitter Name:
      undefined
      • See attached file(s)

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0155
      • Organization:
      • Submitter Name:
      • Genetic Alliance appreciates this opportunity to provide comments on the proposed changes to the CLIA and HIPAA privacy rule. Genetic Alliance is the world’s leading nonprofit...

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0134
      • Organization:
      • Submitter Name:
      undefined
      • Comment letter attached.

      • Public Submission
      • Posted:

        11/08/2011

      • ID:
        CMS-2011-0145-0044
      • Organization:
      • Submitter Name:
      undefined
      • Comment Letter from Thomas Jefferson University Hospital on CMS-2319-P.

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0128
      • Organization:
      • Submitter Name:
      • Current practice at our facility is to release most lab results to the patient when the proper authorization has been received. However, there are some results we currently will...

      • Public Submission
      • Posted:

        10/17/2011

      • ID:
        CMS-2011-0145-0023
      • Organization:
      • Submitter Name:
      • As director of Project HealthDesign, a national program of the Robert Wood Johnson Foundation that aims to explore how personal health records (PHRs) and patient-sourced data might...

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0119
      • Organization:
      • Submitter Name:
      undefined
      • See attached file(s)

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0099
      • Organization:
      • Submitter Name:
      undefined
      • See attached file(s)

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0158
      • Organization:
      • Submitter Name:
      • I am in support of Proposed Rule CMS-2319-P. This makes sense -- give people full access to what is theirs. I would resent any paternalistic intervention between me and knowledge...

      • Public Submission
      • Posted:

        11/08/2011

      • ID:
        CMS-2011-0145-0053
      • Organization:
      • Submitter Name:
      undefined
      • To Whom it May Concern: Please accept the attached comment on the proposed rule: "CLIA Program and HIPAA Privacy: Patients' Access to Test Reports" - thank you. Sincerely...

      • Public Submission
      • Posted:

        10/26/2011

      • ID:
        CMS-2011-0145-0036
      • Organization:
      • Submitter Name:
      • This would prevent genealogists from using DNA to solve their unknown lines. People are not so dumb that they can't handle knowing their DNA results. We certainly should have the...

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0165
      • Organization:
      • Submitter Name:
      undefined
      • See attached file(s)

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0146
      • Organization:
      • Submitter Name:
      • Dear Secretery Sebelius, I am writing in support of Proposed Rule CMS-2319-P which will expand the rights of individuals to obtain their health information by giving them direct...

      • Public Submission
      • Posted:

        11/15/2011

      • ID:
        CMS-2011-0145-0083
      • Organization:
      • Submitter Name:
      undefined
      • To Whom it May Concern, I am writing on behalf of 23andMe, Inc., in support of the proposed rule to expand the rights of individuals to obtain their health information by giving...

      • Public Submission
      • Posted:

        11/08/2011

      • ID:
        CMS-2011-0145-0046
      • Organization:
      • Submitter Name:
      • I do not support this proposed rule beacuse it would be a burden to the laboratory to report to the patient 1) laboratories do not have "existing" authentification methods as a...

      • Public Submission
      • Posted:

        10/17/2011

      • ID:
        CMS-2011-0145-0013
      • Organization:
      • Submitter Name:
      • I am a kidney tranplant patient who deals with a variety of doctors. Communication is now and has always been an issue. I keep copies of my lab results because 99% of the time, I...

      • Public Submission
      • Posted:

        10/17/2011

      • ID:
        CMS-2011-0145-0030
      • Organization:
      • Submitter Name:
      • Centers for Medicare and Medicaid Services Department of Health and Human Services Attention: CMS-2319-P PO Box 8010 Baltimore, MD 21244-8010 RE: Access to Clinical Laboratory...

      • Public Submission
      • Posted:

        11/10/2011

      • ID:
        CMS-2011-0145-0069
      • Organization:
      • Submitter Name:
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