Healthcare facilities are allowed to maintain a directory that includes patient details such as names, location within the facility, general health condition, and religious affiliation. This directory information can be disclosed to clergy members, facilitating appropriate communication for spiritual support and care.
HIPAA Privacy Rule and facility directories
HIPAA Privacy Rule permits healthcare facilities to maintain a directory containing certain patient information, including names, location within the facility, general health condition, and religious affiliation. This directory information is accessible to members of the clergy, allowing hospitals to disclose patient names to clergy members unless patients have expressly objected.
In emergency situations where patients are unable to provide input, disclosure of directory information may still occur if consistent with any known prior expressed preferences and in the best interest of the patient as determined by the healthcare provider's professional judgment.
These guidelines ensure that patient's privacy is respected while enabling appropriate communication between healthcare facilities and members of the clergy, maintaining a balance between patient care and privacy considerations.
See also: What PHI is in a facility directory?
Considerations for patient information to be shared with clergy
- Maintaining a directory: Healthcare facilities can create and maintain a directory that includes specific patient information such as names, locations within the facility, general health conditions, and religious affiliation.
- Clergy access: Members of the clergy are allowed access to this directory information, enabling hospitals to disclose patient names to clergy members.
- Patient consent: If a healthcare facility intends to include a patient's information (such as name, location, health condition, and religious affiliation) in a directory that is accessible to clergy and others, the patient should be informed about this practice.
- Emergency situations: In emergency circumstances or when a patient cannot provide consent due to their condition, disclosure of directory information to clergy can still occur. This is acceptable if the disclosure aligns with any known prior expressed preferences of the patient and is determined to be in the patient's best interest by the healthcare provider's professional judgment.
Limitations to sharing PHI in facility directories
While the HIPAA Privacy Rule allows certain sharing of protected health information (PHI) with clergy, there are limitations and restrictions to ensure patient privacy and confidentiality.
- Sensitive health details: Specific and sensitive health information beyond the patient's general health condition should not be shared. This includes details about diagnoses, treatments, procedures, medications, or any other information that could reveal the patient's medical history.
- Non-directory information: Information that is not part of the directory, such as medical records, test results, mental health records, and any other PHI that is not included in the specific directory items (name, location, general health condition, religious affiliation), should not be shared with clergy without patient consent.
- Personal identification: Any personal identifiers such as Social Security numbers, addresses, phone numbers, or any other data that could be used to identify an individual should not be shared with clergy.
- Sensitive conditions: Information about sensitive conditions like substance abuse treatment, mental health treatment, reproductive health, and communicable diseases should generally not be shared with clergy without explicit patient consent.
- Objection by patient: If a patient has explicitly objected to having their information shared with clergy, their objection should be respected, and their information should not be disclosed.
See also: HIPAA Compliant Email: The Definitive Guide