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F I S C A L I M P A C T R E P O R T
SPONSOR Wirth
DATE TYPED 2/14/05
HB 651
SHORT TITLE HMO Info Disclosure Exceptions
SB
ANALYST Hanika-Ortiz
APPROPRIATION
Appropriation Contained Estimated Additional Impact Recurring
or Non-Rec
Fund
Affected
FY05
FY06
FY05
FY06
NFI
SOURCES OF INFORMATION
LFC Files
Responses Received From
Children, Youth & Families Department (CYFD)
Office of the Attorney General (AGO)
Human Service Division (HSD)
Department of Health (DOH)
SUMMARY
Synopsis of Bill
House Bill 651 seeks to amend NMSA 59A-46-27, Confidentiality of Medical Information and
Limitation of Liability, to achieve conformity with the privacy standard of the federal Health In-
surance Portability and Accountability Act (HIPAA), requiring Health Maintenance Organiza-
tions (HMOs) to disclose confidential medical information only as authorized by federal or state
statute or rule.
Significant Issues
The DOH reports federal HIPAA regulations require that health information be disclosed only
under strict guidelines, including consumer authorization. State government agencies and other
public and private health care delivery systems are required to comply with HIPAA and individ-
ual employees of said organizations may be fined or terminated from federal programs if health
information is inappropriately disclosed. HB 651 would allow disclosure only by federal or state
statute or rule.
pg_0002
House Bill 651-- Page 2
HB 651 makes clear that the federal HIPAA Privacy Rule applies to HMOs. It will address some
confusion that may currently exist on the part of HMOs as to whether a disclosure permitted un-
der the HIPAA Privacy Rule, but not specifically addressed in the confidentiality provisions of
the HMO Law, are allowed.
PERFORMANCE IMPLICATIONS
The AGO notes the proposed amendment provides HMO’s with a statutory directive to comply
with the federal privacy rule. This obligation already exists, however there is no harm in clarify-
ing the HMO’s authority to disclose protected health information.
The DOH report HB 651 supports the DOH Strategic Plan in ensuring the quality and use of
health, health service & performance data.
FISCAL IMPLICATIONS
NFI
ADMINISTRATIVE IMPLICATIONS
Since HMO’s do not carry out all of their business within their agency, the privacy rule permits
providers to disclose protected health information outside of the agency. The HMO must enter
into a business associate agreement with other entities with which they do business. HMO’s may
disclose protected health information to another entity only to assist the HMO to carry out its
health care functions.
OTHER SUBSTANTIVE ISSUES
SB 651 would include the disclosure of health information by federal or state statute or rule, in
compliance with HIPPA regulations. Every citizen in New Mexico receiving health care ser-
vices must sign a disclosure statement with regard to release of health information. Under cer-
tain circumstances, health information may be required for review by the health provider, par-
ticularly when there is pending litigation or other unusual circumstances. HB 651 would allow
disclosure by federal or state statute or rule in addition to the current allowances, such as the ex-
tent that may be necessary to carry out the purposes of a Health Maintenance Organization or
upon consent of the enrollee or applicant. HB 651 would support the ability of organizations to
obtain health information within current HIPPA regulations, including HMOs.
WHAT WILL BE THE CONSEQUENCES OF NOT ENACTING THIS BILL.
Any HMO doing business in New Mexico must meet all federal and state regulations regarding
confidentiality and agree to adhere to all privacy standards promulgated pursuant to HIPAA.
AHO/yr