The Office of Civil Rights (OCR) at the U.S. Department of Health and Human Services (HHS) recently submitted two annual reports to Congress setting forth a summary of complaints and breaches reported to the OCR during calendar year 2021, as well as the enforcement actions taken by the OCR in response. Covered entities and business associates should be aware of the trends identified in these reports and examine how to improve their HIPAA compliance program in these areas.
The Annual Report on HIPAA Privacy, Security, and Breach Notification Rule Compliance (“Compliance Report”) provides some interesting statistics on complaints filed with the OCR and resulting investigation and enforcement trends by the OCR in 2021. According to the Report, the OCR resolved 17 investigations with resolution agreements and correction action plans (CAPs) and imposed civil monetary penalties (CMPs) totaling $6.1M in collections.
Although there was a slight decrease in breaches reported in 2021, resulting in less OCR compliance reviews initiated, complaints to the OCR rose in 2021. Specifically, the Compliance Report shows that between 2017 and 2021 the number of complaints received by OCR increased 39% and the number of compliance reviews initiated by the OCR grew by 44%. During this same time period, breaches affecting 500 or more individuals rose 58%. However, despite these increases, the OCR did not initiate any proactive audits of covered entities and business associates in 2021 due to the lack of financial resources. The OCR also continued its outreach and education efforts by conducting 218 outreach events and conference to various stakeholders focusing on OCR actions related to the pandemic, including telehealth guidance, launching a HIPAA and COVID-19 website, and hosting a series of webinars with the Office of the National Coordinator for Health Information Technology (ONC) regarding updates to the HIPAA Security Risk Assessment (SRA) Tool.
Some notable findings also came out of the OCR’s Report on Breaches of Unsecured Protected Health Information. For instance, in 2021 the OCR commenced investigations into 631 total breaches (609 of which affected > 500 individuals). Of that total, the OCR completed 554 investigations and resolved two of them with resolution agreements/CAPs and collected CMPs totaling over $5.1M. The OCR summarized some of the lessons learned and the areas needing improvement as follows:
For more information about how to address these common HIPAA compliance gaps, please contact the authors or any Partner or Senior Counsel in Foley’s Cybersecurity and Data Privacy team.