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Tel: (202) 367-1196 •Fax: (202) 367-2196
info@namss.org • www.namss.org
Dr. Susan G. Queen, PhD
HRSA Reports Clearance Officer
Room 10-33, Parklawn Building
5600 Fishers Lane
Rockville, MD 20857
Dear Dr. Queen,
On behalf of the National Association Medical Staff Services (NAMSS), I would like to
respond to the March 12, 2007 Federal Register request for comments on the proposed
Healthcare Integrity and Protection Data Bank (HIPDB) on Health Care Providers,
Suppliers, and Practitioners. NAMSS strongly advocates for the use of electronic
databases to verify provider information; however, we also encourage HRSA to consider
collecting and reporting more hospital-level data to prevent fraudulent abuses within the
health care system.
NAMSS is recognized as the expert on the delivery of quality health care through the
work of medical staff and healthcare provider specialists. NAMSS also advocates for the
development of modern technology such as the HIPDB and NPDB to create more
efficient provider verification and credentialing systems. However, while these
technologies are important, NAMSS also believes that they should be made as secure and
effective as possible.
The HIPDB currently requires healthcare entities to provide information on providers
such as prior facility affiliations. NAMSS supports the inclusion of this information;
however, we believe that it can be strengthened. One of the critical elements for an
effective credentials verification process is to obtain a complete work history of a
healthcare provider. There is still wide-spread concern in our industry that physicians
and independent healthcare practitioners are able to move from one community to
another to avoid investigation or disciplinary action.
By failing to divulge all prior hospital affiliations in an application for privileges, a
physician who relocates may attempt to hide prior disciplinary actions and investigations
that may have occurred at a previous facility but would have not merited a HIPDB/NPDB
report. If a healthcare entity does not have a provider’s complete employer history, it
hinders its ability to submit a complete report of affiliations to the data banks. In order to
get the most complete assessment of a provider’s performance, health care organizations
must be able to verify a provider’s complete hospital affiliation history. NAMSS
continues to be a strong proponent of openly sharing this type of information with
healthcare organizations who grant clinical privileges as this would have tremendous
impact on patient safety.
To solve this problem, NAMSS recommends adding a new section to the HIPDB Query
Response Report. In addition to listing prior hospital affiliations, the report should
include a section of all healthcare entities, professional societies and licensing boards that
have queried the HIPDB for the provider. Credentialing staff can cross-compare the
querying entities to the affiliated entities in the report. If there are any discrepancies
between the lists, it will act as a red flag to conduct further inquiry into the provider’s
records and to contact hospitals not listed as affiliates.
Although the current Federal Register announcement only requests comments on the
HIPDB, NAMSS urges HRSA to consider applying the same recommendations to the
National Practitioner Data Bank (NPDB). Both of these systems are crucial to assuring
that patients receive safe healthcare from only qualified providers. If you have any
questions regarding these comments, please contact Christine Perez in the NAMSS office
at (202) 367-1175.
Sincerely,
Carole La Pine
NAMSS President
File Type | application/pdf |
File Title | Microsoft Word - NAMSS Letterhead.doc |
Author | cperez |
File Modified | 2007-07-19 |
File Created | 2007-06-11 |