Skip to content

Menu

LexBlog, Inc. logo
NetworkSub-MenuBrowse by SubjectBrowse by PublisherJoin the NetworkGet StartedSubscribeSupportContact
Search
Close

OCR Issues Reminder on Security Incidents

By Linn Foster Freedman on June 29, 2017
Email this postTweet this postLike this postShare this post on LinkedIn

Following the frequent and varied ransomware attacks on health care entities over the past few years, the Office for Civil Rights (OCR) published guidance last summer to the health care industry reminding it that a ransomware attack could be a reportable breach under the HIPAA Breach Notification Rule. Despite the fact that many health care organizations were victims of ransomware attacks, the OCR commented that many of them did not report the incident or notify patients of the incident.

Recently, the OCR in a monthly newsletter entitled “Cybersecurity Incidents will happen…Remember to Plan, Respond, and Report!” reminded health care entities that the HIPAA Security Rule defines a security incident as “an attempted or successful unauthorized access, use, disclosure, modification, or destruction of information or interference with system operations in an information system.” The OCR states that health care entities should be prepared for these incidents, implement policies and procedures outlining the response to the incident, including a contingency plan. “Policies, procedures and plans should provide a roadmap for implementing the entity’s incident response capabilities.”

The OCR further explains that if the security incident falls within the definition of a breach under the Breach Notification Rule, then patients are to be notified without unreasonable delay and no later than 60 days following discovery of the breach, and OCR and the media must be notified within certain time frames set forth in the Rule, depending on the number of individuals affected by the breach.

Fines and penalties can be assessed against organizations that do not follow HIPAA, and therefore, any guidance by OCR is important to pay attention to and follow. The OCR has a webpage devoted to breach notification, which can be accessed here.

This post is also being shared on our Data Privacy +Security Insider blog. If you’re interested in getting updates on developments affecting data privacy and security, we invite you to subscribe to the blog.

Photo of Linn Foster Freedman Linn Foster Freedman

Linn Freedman is chair of the firm’s Data Privacy + Security Team. She is also an active member of firm’s Health Law Group, education practice, Environmental + Utilities Group, Insurance + Reinsurance Group, and Business Litigation Group. Her practice focuses on data privacy…

Linn Freedman is chair of the firm’s Data Privacy + Security Team. She is also an active member of firm’s Health Law Group, education practice, Environmental + Utilities Group, Insurance + Reinsurance Group, and Business Litigation Group. Her practice focuses on data privacy and security law, responses to data breaches, compliance with federal and state privacy and security laws, breach notification laws, and assisting clients with regulatory investigations.

Ms. Freedman is experienced in providing counsel to health care organizations, Regional Health Information Organizations, and privacy and security issues related to interoperability of electronic health records. She has litigated complex cases, including privacy cases, and class action data breach litigation in state, federal, and appellate courts, government investigations, and serves as general counsel of the Rhode Island Quality Institute. Read her full rc.com bio here.

Read more about Linn Foster FreedmanEmail
Show more Show less
  • Posted in:
    Privacy and Cybersecurity
  • Blog:
    Health Law Diagnosis
  • Organization:
    Robinson & Cole LLP
  • Article: View Original Source

Call us at 1-800-913-0988 or email sales@lexblog.com.

Facebook LinkedIn Twitter RSS
The Library at LexBlog
  • About LexBlog
  • The Field We Built
  • Library at LexBlog
  • Our Beliefs
  • Our Team
  • Contact LexBlog
  • Disclaimer
  • Editorial Policy
  • Terms of Service
  • Get Started
  • Publishing Solutions
  • Compass
  • Submit a Request
  • Support Center
  • System Status
Copyright © 2026, LexBlog, Inc. All Rights Reserved.
Law blog design & platform by LexBlog LexBlog Logo