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ehr onc final certification - Department of Health Care Services

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that check, the functionality show the correct formulary and benefits information, rather<br />

than just generic data.<br />

Response. We believe that our discussion above regarding the removal <strong>of</strong> the<br />

standard associated with this <strong>certification</strong> criterion addresses many <strong>of</strong> the c<strong>onc</strong>erns raised<br />

by commenters. However, we disagree with the suggestion that Complete EHRs and<br />

EHR Modules designed for an inpatient setting should not be required to include this<br />

capability. This capability is required to be enabled for the purposes <strong>of</strong> meeting the<br />

meaningful use Stage 1 measure. Consistent with the <strong>final</strong> meaningful use Stage 1<br />

objectives which separated drug-drug and drug-allergy checks from drug-formulary<br />

checks, we have separated out these capabilities into two different <strong>certification</strong> criteria.<br />

Comments. A commenter stated a c<strong>onc</strong>ern that this criterion, combined with<br />

future meaningful use requirements, will shift providers’ focus from prescribing the best<br />

drug for the patient to prescribing what is covered by the patient’s insurance plan or<br />

generic brands. Another commenter stated that adding formulary checks to the workload<br />

<strong>of</strong> physicians will decrease physicians’ efficiency and increase their costs.<br />

Response. In this rule, the Secretary is completing the adoption <strong>of</strong> the initial set<br />

<strong>of</strong> standards, implementation specifications, and <strong>certification</strong> criteria for the <strong>certification</strong><br />

<strong>of</strong> Complete EHRs and EHR modules. The <strong>certification</strong> criteria ensure that Certified<br />

EHR Technology includes certain capabilities. The extent to which health care providers<br />

must use those capabilities and how they integrate EHR technology into their practice<br />

falls outside the scope <strong>of</strong> this rule. We therefore do not believe that these c<strong>onc</strong>erns are<br />

within the scope <strong>of</strong> this rulemaking.<br />

Page 53 <strong>of</strong> 228

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