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SafeT https://safet.com/ Applications in far less time with increased security Thu, 17 Sep 2020 01:10:28 +0000 en-US hourly 1 https://safet.com/wp-content/uploads/2019/11/cropped-faviconsafet-3-32x32.png SafeT https://safet.com/ 32 32 Zero Trust Architecture https://safet.com/zero-trust-architecture/?utm_source=rss&utm_medium=rss&utm_campaign=zero-trust-architecture https://safet.com/zero-trust-architecture/#respond Thu, 17 Sep 2020 01:02:10 +0000 https://safet.com/?p=2045 Abstract Zero trust (ZT) is the term for an evolving set of cybersecurity paradigms that move defenses from static, network-based perimeters to focus on users, assets, and resources. A zero trust architecture (ZTA) uses zero trust principles to plan industrial and enterprise infrastructure and workflows. Zero trust assumes there is no implicit trust granted to […]

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Zero Trust Architecture

Abstract Zero trust (ZT) is the term for an evolving set of cybersecurity paradigms that move defenses from static, network-based perimeters to focus on users, assets, and resources. A zero trust architecture (ZTA) uses zero trust principles to plan industrial and enterprise infrastructure and workflows. Zero trust assumes there is no implicit trust granted to assets or user accounts based solely on their physical or network location (i.e., local area networks versus the internet) or based on asset ownership (enterprise or personally owned). Authentication and authorization (both subject and device) are discrete functions performed before a session to an enterprise resource is established. Zero trust is a response to enterprise network trends that include remote users, bring your own device (BYOD), and cloud-based assets that are not located within an enterprise-owned network boundary. Zero trust focuses on protecting resources (assets, services, workflows, network accounts, etc.), not network segments, as the network location is no longer seen as the prime component to the security posture of the resource. This document contains an abstract definition of zero trust architecture (ZTA) and gives general deployment models and use cases where zero trust could improve an enterprise’s overall information technology security posture.

Author(s) Scott Rose (NIST), Oliver Borchert (NIST), Stu Mitchell (Stu2Labs), Sean Connelly (DHS)

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Zero Trust Architecture

Abstract Zero trust (ZT) is the term for an evolving set of cybersecurity paradigms that move defenses from static, network-based perimeters to focus on users,

Meet Benjamin Anderson, Founder & CEO at Wand

https://www.youtube.com/watch?v=dBfKcTXcBss&feature=youtu.beMeet Benjamin Anderson, Founder & CEO at Wand. Serial entrepreneur and strategist with an extensive background in business development services and marketing. Started his first

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OCR warns hospitals of HIPAA compliance scams https://safet.com/ocr-warns-hospitals-of-hipaa-compliance-scams/?utm_source=rss&utm_medium=rss&utm_campaign=ocr-warns-hospitals-of-hipaa-compliance-scams https://safet.com/ocr-warns-hospitals-of-hipaa-compliance-scams/#respond Thu, 13 Aug 2020 03:17:36 +0000 https://safet.com/?p=2038 A nonexistent “Secretary of Compliance, HIPAA Compliance Division” is mailing postcards that ask privacy and security leaders to visit a fraudulent URL for the purpose of setting up a risk assessment. By Mike Miliard The Office for Civil Rights at the U.S. Department of Health and Human Services has warned health systems about what appears […]

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OCR warns hospitals of HIPAA compliance scams

A nonexistent “Secretary of Compliance, HIPAA Compliance Division” is mailing postcards that ask privacy and security leaders to visit a fraudulent URL for the purpose of setting up a risk assessment. By Mike Miliard

The Office for Civil Rights at the U.S. Department of Health and Human Services has warned health systems about what appears to be something of an old-fashioned and low-tech phishing attempt: fraudulent postcards, most addressed to hospital privacy officers, that warn of noncompliance with a mandatory risk assessment.

According to a report in the National Law Review, OCR on August 9 sent a listserv alert that it had become “aware of postcards being sent to health care organizations disguised as official OCR communications, claiming to be notices of a mandatory HIPAA compliance risk assessment.”

The American Hospital Association, meanwhile, notes that the cards, addressed to “HIPAA Compliance Officer,” purport to be from someone with a nonexistent title at HHS (“Secretary of Compliance, HIPAA Compliance Division”) and bear a D.C. return address that doesn’t belong to HHS.

The postcards prompt recipients to “visit a URL, call or email to take immediate action on a HIPAA Risk Assessment,” according to AHA. “The link directs individuals to a non-governmental website marketing consulting services.”

According to OCR officials, “HIPAA covered entities and business associates should alert their workforce members to this misleading communication. This communication is from a private entity – it is NOT an HHS/OCR communication.”

The agency notes that covered entities and business associates should check to verify that any communication claiming to be from OCR is legitimate by looking for the OCR address or email address.

“The addresses for OCR’s HQ and Regional Offices are available on the OCR website and all OCR email addresses will end in @hhs.gov,” officials said. “If organizations have additional questions or concerns, please send an email to: OCRMail@hhs.gov. Suspected incidents of individuals posing as federal law enforcement should be reported to the Federal Bureau of Investigation.”

Content created by Office for Civil Rights (OCR) Content last reviewed on March 19, 2020

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Notification of Enforcement Discretion for telehealth remote communications during the COVID-19 nationwide public health emergency https://safet.com/discretion-for-telehealth-remote-communications-during-the-covid-19-nationwide-public-health-emergency/?utm_source=rss&utm_medium=rss&utm_campaign=discretion-for-telehealth-remote-communications-during-the-covid-19-nationwide-public-health-emergency https://safet.com/discretion-for-telehealth-remote-communications-during-the-covid-19-nationwide-public-health-emergency/#respond Fri, 20 Mar 2020 11:51:35 +0000 https://safet.com/?p=1707 “We are empowering medical providers to serve patients wherever they are during this national public health emergency. We are especially concerned about reaching those most

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Notification of Enforcement Discretion for telehealth remote communications during the COVID-19 nationwide public health emergency

“We are empowering medical providers to serve patients wherever they are during this national public health emergency. We are especially concerned about reaching those most at risk, including older persons and persons with disabilities. – Roger Severino, OCR Director.”

The Office for Civil Rights (OCR) at the Department of Health and Human Services (HHS) is responsible for enforcing certain regulations issued under the Health Insurance Portability and Accountability Act of 1996 (HIPAA), as amended by the Health Information Technology for Economic and Clinical Health (HITECH) Act, to protect the privacy and security of protected health information, namely the HIPAA Privacy, Security and Breach Notification Rules (the HIPAA Rules).

During the COVID-19 national emergency, which also constitutes a nationwide public health emergency, covered health care providers subject to the HIPAA Rules may seek to communicate with patients, and provide telehealth services, through remote communications technologies. Some of these technologies, and the manner in which they are used by HIPAA covered health care providers, may not fully comply with the requirements of the HIPAA Rules.

OCR will exercise its enforcement discretion and will not impose penalties for noncompliance with the regulatory requirements under the HIPAA Rules against covered health care providers in connection with the good faith provision of telehealth during the COVID-19 nationwide public health emergency. This notification is effective immediately.

A covered health care provider that wants to use audio or video communication technology to provide telehealth to patients during the COVID-19 nationwide public health emergency can use any non-public facing remote communication product that is available to communicate with patients. OCR is exercising its enforcement discretion to not impose penalties for noncompliance with the HIPAA Rules in connection with the good faith provision of telehealth using such non-public facing audio or video communication products during the COVID-19 nationwide public health emergency. This exercise of discretion applies to telehealth provided for any reason, regardless of whether the telehealth service is related to the diagnosis and treatment of health conditions related to COVID-19.

For example, a covered health care provider in the exercise of their professional judgement may request to examine a patient exhibiting COVID- 19 symptoms, using a video chat application connecting the provider’s or patient’s phone or desktop computer in order to assess a greater number of patients while limiting the risk of infection of other persons who would be exposed from an in-person consultation. Likewise, a covered health care provider may provide similar telehealth services in the exercise of their professional judgment to assess or treat any other medical condition, even if not related to COVID-19, such as a sprained ankle, dental consultation or psychological evaluation, or other conditions.

Under this Notice, covered health care providers may use popular applications that allow for video chats, including Apple FaceTime, Facebook Messenger video chat, Google Hangouts video, or Skype, to provide telehealth without risk that OCR might seek to impose a penalty for noncompliance with the HIPAA Rules related to the good faith provision of telehealth during the COVID-19 nationwide public health emergency. Providers are encouraged to notify patients that these third-party applications potentially introduce privacy risks, and providers should enable all available encryption and privacy modes when using such applications.

Under this Notice, however, Facebook Live, Twitch, TikTok, and similar video communication applications are public facing, and should not be used in the provision of telehealth by covered health care providers.

Covered health care providers that seek additional privacy protections for telehealth while using video communication products should provide such services through technology vendors that are HIPAA compliant and will enter into HIPAA business associate agreements (BAAs) in connection with the provision of their video communication products. The list below includes some vendors that represent that they provide HIPAA-compliant video communication products and that they will enter into a HIPAA BAA.

  • Skype for Business / Microsoft Teams
  • Updox
  • VSee
  • Zoom for Healthcare
  • Doxy.me
  • Google G Suite Hangouts Meet

Note: OCR has not reviewed the BAAs offered by these vendors, and this list does not constitute an endorsement, certification, or recommendation of specific technology, software, applications, or products. There may be other technology vendors that offer HIPAA-compliant video communication products that will enter into a HIPAA BAA with a covered entity. Further, OCR does not endorse any of the applications that allow for video chats listed above.

Under this Notice, however, OCR will not impose penalties against covered health care providers for the lack of a BAA with video communication vendors or any other noncompliance with the HIPAA Rules that relates to the good faith provision of telehealth services during the COVID-19 nationwide public health emergency.

OCR has published a bulletin advising covered entities of further flexibilities available to them as well as obligations that remain in effect under HIPAA as they respond to crises or emergencies at https://www.hhs.gov/sites/default/files/february-2020-hipaa-and-novel-coronavirus.pdf – PDF

Guidance on BAAs, including sample BAA provisions, is available at https://www.hhs.gov/hipaa/for-professionals/covered-entities/sample-business-associate-agreement-provisions/index.html

Additional information about HIPAA Security Rule safeguards is available at https://www.hhs.gov/hipaa/for-professionals/security/guidance/index.html.

HealthIT.gov has technical assistance on telehealth at https://www.healthit.gov/telehealth.

Content created by Office for Civil Rights (OCR) Content last reviewed on March 19, 2020

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Meet Benjamin Anderson, Founder & CEO at Wand https://safet.com/meet-benjamin/?utm_source=rss&utm_medium=rss&utm_campaign=meet-benjamin https://safet.com/meet-benjamin/#respond Tue, 12 Nov 2019 18:50:27 +0000 https://safet.com/?p=1548 https://www.youtube.com/watch?v=dBfKcTXcBss&feature=youtu.beMeet Benjamin Anderson, Founder & CEO at Wand. Serial entrepreneur and strategist with an extensive background in business development services and marketing. Started his first

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Meet Benjamin Anderson, Founder & CEO at Wand

Meet Benjamin Anderson, Founder & CEO at Wand. Serial entrepreneur and strategist with an extensive background in business development services and marketing. Started his first business at 17 and currently applying this skillset as the found and CEO of Wand USA Inc. Wand is an application that utilizes the Uber model to link consumers and freelance service providers in the residential cleaning industry. Mr. Anderson was a special guest and grant winner at the HIPAAComplete conference in 2019.

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Grant recipient Ben Anderson on the benefits of SafeT API and his usage of the 2019 SafeT Grant. https://safet.com/grant-recipient-ben-anderson-on-the-benefits-of-safet-api-and-his-usage-of-the-2019-safet-grant/?utm_source=rss&utm_medium=rss&utm_campaign=grant-recipient-ben-anderson-on-the-benefits-of-safet-api-and-his-usage-of-the-2019-safet-grant https://safet.com/grant-recipient-ben-anderson-on-the-benefits-of-safet-api-and-his-usage-of-the-2019-safet-grant/#respond Thu, 07 Nov 2019 21:22:36 +0000 https://safet.com/?p=1479   Grant recipient Ben Anderson on the benefits of SafeT API and his usage of the 2019 SafeT Grant. https://www.youtube.com/watch?v=68rAOvL1VrI Apply For a SafeT Grant

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Grant recipient Ben Anderson on the benefits of SafeT API and his usage of the 2019 SafeT Grant.

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