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NEW QUESTION: 1
How do you restrict the completion of the main ticket when the related sub-tickets are still open?
Please choose the correct answer.
Response:
A. By creating a workflow rule
B. By defining a code list restriction
C. By activating fine-tuning activities
D. By enabling scoping option
Answer: D

NEW QUESTION: 2
DRAG DROP
Drag and drop the elements of incident handling from the left into the correct order on the right.

Answer:
Explanation:

Explanation:
Preparation
Detection and analysis
Containment, eradication and recovery
Post incident analysis

NEW QUESTION: 3
Individual privacy rights as defined in the HIPAAPrivacy Rule include
consent and authorization by the patient for the release of PHI. The
difference between consent and authorization as used in the Privacy Rule is:
A. Consent grants general permission to use or disclose PHI, and authorization limits permission to the purposes specified in the authorization.
B. Authorization grants general permission to use or disclose PHI, and consent limits permission to the purposes and the parties specified in the consent.
C. Consent grants general permission to use or disclose PHI, and authorization limits permission to the parties specified in the authorization.
D. Consent grants general permission to use or disclose PHI, and authorization limits permission to the purposes and the parties specified in the authorization.
Answer: D
Explanation:
Answer b is therefore incorrect. Answer c is incorrect since the limits to authorization do not include the parties concerneD . Answer d is incorrect since the limits to authorization do not include the specified purposes. The other individual privacy rights listed in the HIPAA Privacy Rule are: Notice (of the covered entities privacy practices) Right to request restriction Right of access Right to amend Right to an accounting In August of 2002, the U.S. Department of Health and Human Services (HHS) modified the Privacy Rule to ease the requirements of consent and allow the covered entities to use noticE . The changes are summarized as follows: Covered entities must provide patients with notice of the patients privacy rights and the privacy practices of the covered entity. Direct treatment providers must make a good faith effort to obtain patients written acknowledgement of the notice of privacy rights and practices. (The Rule does not prescribe a form of written acknowledgement; the patient may sign a separate sheet or initial a cover sheet of the notice.) Mandatory consent requirements are removed that would inhibit patient access to health care while providing covered entities with the option of developing a consent process that works for that entity. If the provider cannot obtain a written acknowledgement, it must document its good faith efforts to obtain one and the reason for its inability to obtain the acknowledgement. Consent requirements already in place may continue.