Current Health Information System Sample Clauses

Current Health Information System. The current MOH system is a vertical one in which volunteers and health workers provide information to the DHMT, mostly regarding service delivery and disease surveillance. The CSP will create a complete circle of information in which villages and communities capture their own data and act on it, send it to the MOH for decision-making and report aggregation, and then return to the communities through the NHCs and CPTs. The complete feedback cycle empowers communities with data and the capacity to act on that data. The project will also focus on measuring coverage, rather than just services rendered so that health workers have a more realistic picture of the progress they are making. From the community level, CHWs and TTBAs fill out monthly service reports and turn these into their corresponding health centers. Health centers submit service delivery and supply/equipment reports monthly to the DHMT and to CHS (in the CHS catchment area). CHS’s outreach program submits reports of mobile clinics to each DHMT monthly. The project partners have already discussed integrating the project’s information system by modifying existing MOH data collection forms to include the population level data that will be collected by the CCSP. This process will require active participation from stakeholders to decide which data is most useful at the health facility level and how to best incorporate it into the current system. This modification will take place at the end of the first year. The CSP data collection will complement this data by incorporating household level data. Care Group data, KPC data, and Hearth data will go to health centers for analysis and decision-making to promote ownership of the results and management capacity building. It will also go to DHMTs to assist them in decision-making and resource allocation. Monthly meetings between CPTs/NHCs and health workers at health facilities will allow participants to analyze service delivery data and use that data to develop action plans, improve services, and make the best use of resources possible. NHCs and CPTs will also get aggregated service delivery reports that they will feed back to communities. Incorporating CSP community-based data into the MOH system will provide a more complete picture of the health situation, and encourage interaction between health facilities and communities.
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Related to Current Health Information System

  • Health Information System i. As required by 42 CFR 438.242(a), the MCP shall maintain a health information system that collects, analyzes, integrates, and reports data. The system shall provide information on areas including, but not limited to, utilization, grievances and appeals, and MCP membership terminations for other than loss of Medicaid eligibility.

  • Health Information Subject to all applicable privacy laws, the member irrevocably authorises any doctor or other person who may have, or may acquire, any information concerning their health to disclose such information to Specialty Emergency Services, and that this authority shall remain in force for a period of not less than 12 (twelve) months following the expiry date of this Membership Agreement.

  • Protected Health Information “Protected Health Information” shall have the same meaning as the term “protected health information” in Section 160.103 and is limited to the information created or received by Contractor from or on behalf of County.

  • Access to Protected Health Information 7.1 To the extent Covered Entity determines that Protected Health Information is maintained by Business Associate or its agents or Subcontractors in a Designated Record Set, Business Associate shall, within two (2) business days after receipt of a request from Covered Entity, make the Protected Health Information specified by Covered Entity available to the Individual(s) identified by Covered Entity as being entitled to access and shall provide such Individuals(s) or other person(s) designated by Covered Entity with a copy the specified Protected Health Information, in order for Covered Entity to meet the requirements of 45 C.F.R. § 164.524.

  • Data Protection and Privacy: Protected Health Information Party shall maintain the privacy and security of all individually identifiable health information acquired by or provided to it as a part of the performance of this Agreement. Party shall follow federal and state law relating to privacy and security of individually identifiable health information as applicable, including the Health Insurance Portability and Accountability Act (HIPAA) and its federal regulations.

  • Electronic Protected Health Information “Electronic Protected Health Information” means individually identifiable health information that is transmitted by or maintained in electronic media.

  • Unsecured Protected Health Information “Unsecured Protected Health Information” shall have the same meaning as the term “unsecured protected health information” in 45 CFR § 164.402.

  • Amendment of Protected Health Information 8.1 To the extent Covered Entity determines that any Protected Health Information is maintained by Business Associate or its agents or Subcontractors in a Designated Record Set, Business Associate shall, within ten (10) business days after receipt of a written request from Covered Entity, make any amendments to such Protected Health Information that are requested by Covered Entity, in order for Covered Entity to meet the requirements of 45 C.F.R. § 164.526.

  • Confidentiality of Health Information (a) A Nurse shall not be required to provide her or his manager/supervisor specific information regarding the nature of her or his illness or injury during a period of absence. However, the Employer may require the Nurse to provide such information to persons responsible for occupational health.

  • Customer Information CPNI of a Customer and any other non-public, individually identifiable information about a Customer or the purchase by a Customer of the services or products of a Party.

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