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AI in Pharma Marketing: Innovation or Compliance Nightmare?

Pharma Marketing Network

Misuse or insufficient anonymization can trigger HIPAA or GDPR violations. Documentation and Version Control : Keep detailed records of how AI content is created, reviewed, and approved. HIPAA, GDPR) are followed and no discriminatory practices occur. Is it legal to use AI to segment HCP audiences?

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Satisfy Online Ad Requirements with NABP’s Healthcare Merchant Accreditation

National Association of Boards of Pharmacy

These include all licenses, previous disciplinary actions, and other supporting documents. HIPAA Notice of Privacy Practices: If you are considered a “covered entity” under federal law, your HIPAA Notice must be prominently placed on your customer-facing website. You should then prepare the materials you will need to apply.

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As the Prospect of a Vaccine Approaches, Business and Communications Challenges Are Just Around the Corner

Eye on FDA

Related to both of these first two questions – what sort of documentation will be necessary for an individual – either employee or customer – to present evidence of inoculation? What are the HIPAA and privacy implications, if any, related to all of these questions?

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Health Data Management: Everything You Need to Know

Viseven

Here are some of the key challenges the industry faces: Fragmented data Health data can live in various databases and spreadsheets and come in different formats, such as text documents, video, and audio files. Our solutions comply with GDPR, HIPAA, and numerous other industry standards.

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NKS Health Innovates Virtual Patient Support and Care Team Collaboration with Citus Health

Citus Health Specialty Pharmacy

NKS Health will deploy Citus Health’s comprehensive suite of solutions, including Message Center, Forms Center, Document Center, Education Center and the Citus Data Extract and NextGen Worklist solutions, bringing together its distinct entities – NKS Health Ltd. Pharmacy Services) NKS Assist Ltd.

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NHC Comments on Interoperability and Prior Authorization Proposed Rule

Putting Patients First Blog

While the privacy provisions of the Health Insurance Portability and Accountability Act (HIPAA) should protect patients through most of these exchanges, third-party application developers that received data through the Patient Access API should be subject to comparable protections as under HIPAA.

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NHC Comments on Medicare Drug Price Negotiation Program: Draft Guidance, Implementation of Sections 1191 – 1198 of the Social Security Act for Initial Price Applicability Year 2027 and Manufacturer Effectuation of the Maximum Fair Price (MFP) in 2026 and 2027

Putting Patients First Blog

Enhance Dialogue-Based Engagement Clarify Required Disclosures Allow HIPAA Waivers if Feasible Clarify Speaker Selection Process Allow for Data Submissions After Sessions Increase Engagement. CMS should also allow patients and speakers the ability to waive HIPAA requirements, if legally permissible. hstc=117268889.c6acac5669d4f1e6063a774e6d96c6b5.1716560813145.1716560813145.1716560813145.1&