Want to better understand what the Office of the National Coordinator for Health IT’s (ONC) Information Blocking Rule (IBR) is, how it works and why we need it? In this episode of the Faegre Drinker on Law and Technology Podcast, host Jason G. Weiss sits down with Faegre Drinker partners Jeff Ganiban and Doriann Cain, and associate Alex Eschenroeder to discuss all things IBR.
Expected in September 2022, the final draft of the HHS Office of Inspector General’s (OIG) first IBR enforcement rule is aimed at two of the three actor types defined in the IBR: Health IT Developers of Certified Health IT and Health Information Networks / Health Information Exchanges. Under the Cures Act, each IBR violation by a Health IT Developer of Certified Health IT or Health Information Network / Health Information Exchange would be subject to penalties of up to $1 million. The expected rule will establish how the OIG intends to assess and enforce these penalties. (Unfortunately, there is still no guidance on when we can expect a rule regarding the penalties that will apply to IBR violations by Health Care Providers.)
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