Previous Page  5 / 78 Next Page
Information
Show Menu
Previous Page 5 / 78 Next Page
Page Background

August 2016

Policy&Practice

5

I

n February, the U.S. Department

of Health and Human Services

(HHS) Substance Abuse and Mental

Health Services Administration

(SAMHSA) published the §42 CFR

Part 2 Confidentiality of Substance

Use Disorder Patient Records Notice of

Proposed Rule Making (NPRM),

or “Part

2,” in the

Federal Register.

The NPRM aims to modernize and

update the regulations at §42 CFR Part

2 to afford patients with substance use

disorders (SUDs) the opportunity to

benefit from emerging multiservice

care models that require enhanced

exchange of health information.

In 1970, Congress passed the

Comprehensive Alcohol Abuse and

Alcoholism Prevention, Treatment, and

Rehabilitation Act,

and in 1972, passed

the

Drug Abuse Prevention, Treatment,

and Rehabilitation Act;

these applied

general rules establishing the con-

fidentiality of alcohol abuse patient

records to drug abuse patient records.

In 1987, the HHS secretary issued regu-

lations, referred to as “Part 2,” that

describe the circumstances in which

information about a substance abuse

patient’s treatment could be disclosed

and used, with or without a person’s

consent. While the two acts and Part

2 regulation limited the availability

of substance abuse records to insure

that patients in a treatment program

are not more vulnerable with regard

to their privacy than those who do

not seek treatment, SAMHSA noted

that the new proposal is necessary

because of the significant changes

that have occurred over the past 25

years. The current regulations are

not aligned to fit the advances in the

U.S. health care delivery system,

legislative

update

APHSA Issues Comment on Confidentiality of

Substance Use Disorder Patient Records NPRM

including new models of integrated

care, and could put patients at risk of

adverse consequences surrounding

privacy protections. The proposal was

also prompted to make the regula-

tions more understandable and less

burdensome.

Developed through state and

local members of APHSA’s National

Collaborative for Integration of Health

and Human Services, as well as other

affinity groups of the association,

APHSA submitted formal comments

to the NPRM noting the overall align-

ment of the NPRM with APHSA’s policy

and practice framework,

Pathways

.

1

Pathways

outlines the desired future

state of a transformed health and

human service system. In doing so, the

NPRM takes a step forward, toward

enhancing the provision of holistic

services for individuals with SUDS

and balancing important security with

privacy concerns.

Among APHSA’s recommendations

were that SAMHSA:

„

„

Expand the definition of

“Treatment Provider Relationship”

to encompass the full care con-

tinuum, explicitly including those

providing related social services as

part of that relationship. Human

or social service providers, in

addition to substance use, medical,

mental health, and developmental

disability/intellectual disability

providers, may all be involved in

different aspects of an individual’s

care plan, and as such, a part of

promoting recovery, resiliency, and

ensuring the safety of individuals

living and dealing with substance

use. With the appropriate safe-

guards, access to this information

has the potential to enable a better

By Leigh Edwards

See Confidentiality on page 41

Illustration via Shutterstock