May a covered entity pay a business associate to assist in making a refill reminder or other communication that falls within the “refill reminder” exception to marketing?
What is permitted remuneration for purposes of the “refill reminder” exception to marketing?
Do communications encouraging individuals to switch from a prescribed medicine to an alternative therapy fall within the “refill reminder” exception to marketing?
Do communications about new formulations of a currently prescribed medicine fall within the “refill reminder” exception to marketing?
Do communications about specific adjunctive drugs related to the currently prescribed drug fall within the “refill reminder” exception to marketing?
Do communications about drug delivery systems fall within the “refill reminder” exception to marketing?
Do communications about recently-lapsed prescriptions for a medicine fall within the “refill reminder” exception to marketing?
What types of communications fall within the “refill reminder” exception to marketing?
Are communications concerning information to beneficiaries about government programs or government-sponsored programs “marketing” under the HIPAA Privacy Rule?
May covered entities use information regarding specific clinical conditions of individuals in order to communicate about products or services for such conditions without a prior authorization?