• Blog
  • Services
    • PHIshMD Ongoing Training
    • HIPAA Compliance
    • Discover Vulnerabilities to Patient PHI
  • Store
    • HIPAA Secure Now Service Store
  • Contact Us
    • Sales Inquiry
    • Customer Support
  • Resources
    • Free Healthcare Security Check Up Quiz
    • HIPAA Compliance Requirements | A Guide
    • Webinars & Downloadable Content
    • Use our free Breach Cost Calculator
    • HIPAA Secured Seal
    • In-Email Training & Analysis | Catch Phish

Call us at: 877-275-4545

Client or Partner? Login here
HIPAA Secure Now!HIPAA Secure Now!
  • Blog
  • Services
    • PHIshMD Ongoing Training
    • HIPAA Compliance
    • Discover Vulnerabilities to Patient PHI
  • Store
    • HIPAA Secure Now Service Store
  • Contact Us
    • Sales Inquiry
    • Customer Support
  • Resources
    • Free Healthcare Security Check Up Quiz
    • HIPAA Compliance Requirements | A Guide
    • Webinars & Downloadable Content
    • Use our free Breach Cost Calculator
    • HIPAA Secured Seal
    • In-Email Training & Analysis | Catch Phish

$3 Million Fine Issued for PHI Breach of Over 300,000 Patients

May 7, 2019 Posted by Art Gross HIPAA, HIPAA Violations No Comments

The Department of Health and Human Services’ (HHS) Office for Civil Rights (OCR) has announced a settlement with Touchstone Medical Imaging (“Touchstone”) for their potential violations of HIPAA Security and Breach Notification Rules. Touchstone has agreed to pay $3,000,000 and adopt a corrective action plan.

Touchstone is a diagnostic medical imaging services company based in Franklin, Tennessee, and provides services in Nebraska, Texas, Colorado, Florida, and Arkansas.

The Breach

In May 2014, Touchstone was informed by the FBI and OCR that one of its FTP servers was giving uncontrolled, unauthorized access to protected health information (PHI). This uncontrolled access allowed files to be indexed by search engines, meaning an unauthorized individual could access another’s PHI simply by performing an Internet search.

Initially, Touchstone claimed that there was no PHI expose by the uncontrolled server. The story changed during OCR’s investigation, when Touchstone ultimately admitted that the PHI of over 300,000 patients was in fact, exposed. The information involved in the exposure includes names, birth dates, social security numbers, and addresses.

Even after the notice was issued to Touchstone and the server was taken offline, PHI remained visible on the Internet.

The Investigation

OCR found that Touchstone was in violation of multiple HIPAA rules. Following the breach notice issued by the FBI and OCR, Touchstone did not conduct a thorough investigation of the breach for several months. Not only did the delayed investigation of the breach violate HIPAA, but also resulted in delayed breach notifications for the affected individuals as well as a delay in notifying the media – both additional HIPAA violations.

Further investigation revealed that Touchstone had also failed to conduct an accurate and thorough risk analysis of its organization, a critical component in identifying potential risks to the confidentiality, integrity, and availability of electronic PHI (ePHI) – and the violations don’t stop there.

OCR identified two situations where Touchstone failed to have Business Associate Agreements in place with their vendors – including their IT support and a third-party data center, another HIPAA violation.

The Settlement

The settlement of $3 million dollars isn’t the only action that needs to be taken by Touchstone. In addition to the monetary settlement, a robust corrective action plan must be adopted to address their HIPAA compliance deficiencies, including carrying out business associate agreements, completing an enterprise-wide risk analysis, and adopting HIPAA policies and procedures.

Although the number of HIPAA violations associated with this breach is extensive, all serve as an important reminder of the requirements under HIPAA that cannot be ignored. Performing a risk analysis, having Business Associate Agreements in place for the entire duration of a vendor contract, implementing and enforcing policies and procedures, ensuring technical safeguards are in place, and training employees on HIPAA and security awareness are just a few key pieces of HIPAA compliance that should be addressed and evaluated routinely.

In addition, this case highlights the necessity of taking swift action following a breach. Had Touchstone started their corrective action efforts immediately following their notification from the FBI and OCR, several violations could have been avoided – the violations associated with delayed breach notifications specifically.

To read the full resolution agreement and corrective action plan, visit: https://www.hhs.gov/hipaa/for-professionals/compliance-enforcement/agreements/tmi/index.html

Tags: BreachHIPAA Fine
No Comments
Share
0

You also might be interested in

Huge security breach fines coming in 2011

Feb 21, 2011

According the Health Data Management magazine, The HHS Office for[...]

Deeper look at the $4.3 million HIPAA fine

Feb 23, 2011

The Health and Human Services’ (HHS) Office of Civil Rights[...]

OCR shows its serious about HIPAA enforcement

Mar 11, 2011

The Office for Civil Rights (OCR) showed once again that[...]

Leave a Reply Cancel Reply

Recent Posts

  • HIPAA Legal Reminder
  • HIPAA Security Policies
  • Restructuring the OCR
  • HIPAA: P for Portability
  • OCR Healthcare Report Released

Recent Comments

  • Milan on PHI or PII – What’s the Difference?
  • Automatic Backlinks on Free HIPAA Security Training!
  • Lisa Porter on Free HIPAA Security Training!
  • Roseanne ruiz on Health Apps & HIPAA
  • Roseanne ruiz on PHI or PII – What’s the Difference?

Archives

  • March 2023
  • February 2023
  • January 2023
  • December 2022
  • November 2022
  • October 2022
  • September 2022
  • August 2022
  • July 2022
  • June 2022
  • May 2022
  • April 2022
  • March 2022
  • February 2022
  • January 2022
  • December 2021
  • November 2021
  • October 2021
  • September 2021
  • August 2021
  • July 2021
  • June 2021
  • May 2021
  • April 2021
  • March 2021
  • February 2021
  • January 2021
  • December 2020
  • November 2020
  • October 2020
  • September 2020
  • August 2020
  • July 2020
  • June 2020
  • May 2020
  • April 2020
  • March 2020
  • February 2020
  • January 2020
  • December 2019
  • November 2019
  • October 2019
  • September 2019
  • August 2019
  • July 2019
  • June 2019
  • May 2019
  • April 2019
  • March 2019
  • February 2019
  • January 2019
  • November 2018
  • October 2018
  • September 2018
  • August 2018
  • July 2018
  • June 2018
  • May 2018
  • April 2018
  • March 2018
  • February 2018
  • January 2018
  • December 2017
  • November 2017
  • October 2017
  • September 2017
  • August 2017
  • July 2017
  • June 2017
  • May 2017
  • April 2017
  • March 2017
  • February 2017
  • January 2017
  • December 2016
  • November 2016
  • October 2016
  • September 2016
  • August 2016
  • July 2016
  • June 2016
  • May 2016
  • April 2016
  • March 2016
  • February 2016
  • January 2016
  • December 2015
  • November 2015
  • October 2015
  • September 2015
  • August 2015
  • June 2015
  • May 2015
  • April 2015
  • March 2015
  • February 2015
  • January 2015
  • December 2014
  • November 2014
  • October 2014
  • September 2014
  • August 2014
  • July 2014
  • June 2014
  • May 2014
  • April 2014
  • March 2014
  • February 2014
  • January 2014
  • December 2013
  • November 2013
  • October 2013
  • September 2013
  • August 2013
  • July 2013
  • June 2013
  • May 2013
  • April 2013
  • March 2013
  • February 2013
  • January 2013
  • December 2012
  • November 2012
  • October 2012
  • September 2012
  • July 2012
  • June 2012
  • May 2012
  • April 2012
  • March 2012
  • February 2012
  • January 2012
  • December 2011
  • November 2011
  • October 2011
  • September 2011
  • August 2011
  • July 2011
  • June 2011
  • May 2011
  • April 2011
  • March 2011
  • February 2011

Categories

  • Backup & Disaster Recovery
  • Business Associates
  • Client News
  • Download
  • Healthcare Industry
  • HIPAA
  • HIPAA Audits
  • HIPAA Violations
  • HSN News
  • Legal
  • MACRA
  • Policies and Procedures
  • Press Release
  • Remote Workforce
  • Risk Assessment
  • Scams
  • Security
  • Security Reminders
  • Security Training
  • Telehealth
  • Uncategorized
  • Webinar
  • Website

Meta

  • Log in
  • Entries feed
  • Comments feed
  • WordPress.org

Contact Us

  • HIPAA Secure Now
  • 55 Madison Ave, Suite 400 Morristown, NJ 07960
  • (877) 275 - 4545
  • info@hipaasecurenow.com

Find us on Social Media

Recent Posts

  • HIPAA Legal Reminder March 28, 2023
  • HIPAA Security Policies March 21, 2023
  • Restructuring the OCR March 14, 2023
  • HIPAA: P for Portability March 7, 2023
  • OCR Healthcare Report Released February 28, 2023

Subscribe to our Newsletter

  • Hidden

© 2023 · HIPAA Secure Now!

Prev Next