Thoughts on Practice Fusion, DoJ, and impact on EHRs
I wrote on LinkedIn my thoughts on the recent Practice Fusion settlement with the DoJ. You can read it here: https://www.linkedin.com/pu...
4 Take-Aways about Direct Secure Messaging from ONC-CMS Proposed Rulemaking
Hugh Gilenson of Data Motion and I co-wrote this article published on Healthcare IT Today on Direct messaging. It is something Hugh and I...
Current and Future State of API in CEHRT
This week Keith Boone made an interesting post on the future of FHIR and pontificating on which version ONC will adopt on its forthcoming...
ONC Guidance on Post-Certification and Surveillance
Perhaps lost amidst the waiting for the proposed ONC rule on information sharing and 21st Century Cures support was ONC releasing three...
USCDI and Access of Health Data
On Wednesday, the HITAC met for their monthly meeting, and their US Core Data for Interoperability (USCDI) task force shared their...
Where We Stand with ONC 2015 Edition Certifications
With the launch of 2015 Edition certification testing back in April 2016, we are now nearing the two year mark of this 2015 Edition...
ONC Self-Declaration Testing: The Right, The Wrong, and The Overlooked
A few weeks ago ONC announced a major change in their testing and certification process. They introduced “self-declaration” as a method...
CMS Reporting Rules - MIPS vs MU
Lost amidst the long awaited MIPS/APM Incentive rule and long overdue 21st Century Cures Act, CMS also dropped their Medicare hospital...
ONC Enhanced Oversight and Authority (EOA) Final Rule: Chart Lux Review
The ONC Enhanced Oversight and Accountability (which we will just refer to as EOA) Final Rule came out the same day the MIPS/APM Final...
ONC EOA Final Rule: ONC Direct Review
This is a blog post in a series on our review of our Enhanced Oversight and Authority (EOA) Final Rule. Check out the others on our blog...