Transcript Slide 1

2010 Virginia Sexual and Domestic Violence Action Alliance
Thank you for downloading the Model Policies on
Confidentiality and Recordkeeping Training Module.
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Become familiar with Federal, State, and
Accreditation requirements on
confidentiality and recordkeeping.
Discuss “best practices” in order to
enhance confidentiality and recordkeeping
procedures.
Analyze/evaluate effectiveness of current
policies and practices.
In the early days of the sexual and domestic
violence movements, maintaining confidentiality
was relatively simple
– no information was disclosed to
anyone.
Violence Against Women Act
victim services
collaborate
law
enforcement
other allied
professions
courts
prosecution
Sharing information -- even identifying information
-- with prosecutors, law enforcement, social
services and health care providers became the
norm –
sometimes to the detriment of victims.
State and federal laws identify
information that must be protected,
information that may be shared,
when information may be shared and
when information must be shared.
Staff working in programs must have clear
guidelines or model policies how to properly handle identifying
information,
what to do when confidentiality is
breached,
exceptions to confidentiality and
how to respond to requests for
confidential information.
Record-keeping practices are an integral part
of confidentiality.
What does a person accessing
our services want us to do?
Diana has a protective order that prohibits her live-in
boyfriend from contacting her. Last night he went to her
house and assaulted her. The police arrived after he had
left and she went to the shelter with nine year old, Mia.
She did not have a positive experience with the
responding officer and has not been successful in finding
out if her boyfriend was arrested. She has asked you, the
advocate, to assist her in calling the officer to find out if
he was arrested. The officer is angry that Diana let the
batterer in her residence and suggests that she is
mutually responsible for the abuse.
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Assess the following:
Should you, the advocate, be aware of
any laws prior to taking action on behalf
of the client?
What agency guidelines or policies
should be in place to protect the client?
What would an advocate who works in
your agency do?
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External Communication
When requesting technical assistance for a client from the Virginia
Sexual and Domestic Violence Action Alliance or any other agency,
no personally identifying formation is provided unless the client has
signed a time limited consent form.
VA Code §63.2-104.1B
The agency does not confirm or deny to any party, including the
media, that a person has accessed agency services, unless the client
has signed a time limited consent form.
VA Code §63.2-104.1B
The agency has a policy addressing Child Protective Services
reports.
VADVAA Accreditation Manual Section V, Item 7
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Two months have gone by and Diana has left the shelter
but still attends weekly support groups. She has shared
in group that she might do harm to herself or her child.
The local police department has received a missing
persons report for Diana. The officer who brought Diana
to the shelter two months ago, calls to find out if Diana
is still at the shelter or if the shelter knows how to
contact her to determine if she is missing. The officer
becomes frustrated when you explain that you cannot
confirm or deny whether she is staying at the shelter. He
says that any information you give him will be kept
confidential and not shared with the person making the
missing persons report.
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Staff protects the confidentiality and privacy of clients by not discussing
clients with one another if another person can overhear the conversation.
VA Code §63.2-104.1
The agency has a policy addressing Adult Protective Services reports.
VSDVAA Accreditation Manual Section V
The agency has a policy that includes what to do if a client exhibits or
describes a clearly defined threat (a specific plan) of suicide, homicide, or
imminent danger of serious bodily harm to her/himself or an identified
person.
VSDVAA Accreditation Manual Section V, Item 7
The agency has a policy prohibiting staff, who are also employed at an allied
agency, from sharing client information with that other agency even if that
other agency is also working with the client, unless the client has signed a
time limited consent form.
VA Code §63.2-104.1
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Should you talk with Diana about her
comments about hurting herself and
her child?
Should staff have a discussion around
mandated reporting?
Should staff know who is a mandated
reporter?
What procedures are in place for
making reports?
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Here are the guidelines on responding to
suspected child abuse and neglect:
All Sexual and Domestic Violence Agencies should
have in place a protocol to guide staff in responding
to child abuse and neglect.
Protocols should define child abuse and neglect.
Protocols should clearly identify staff/positions
considered mandatory reporters.
Protocols should identify safety planning options for
parents and children or youth.
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Think of a secret in your
life.
Write down one or more
reasons why you might
reveal this secret to
someone. (You will not
have to reveal the secret.)
What were the reasons?
Write them down.
Share with the group or
partner.
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What would it feel like if
the person you shared a
secret with revealed it
without your permission?
Write down a list of those
feelings.
What might be the
consequences of telling
this secret to others
without permission?
Adapted from PATH. Ensuring Privacy and Confidentiality in Reproductive Health
Services: A Training Module and Guide. Washington, D.C.: PATH (2003).
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Isolation
Death
Termination of job
Exiting from a shelter
Homeless
Loss of dignity
Re-victimization
Negative labeling
Criminal consequences
Loss of custody of children
Fear of….
“I came to the shelter and they gave me 10
pieces of paper to sign and I have no clue
what I’m suppose to do with them. They say
something about confidentiality but what
does that mean? What do I do with this
stuff? Do I need to take them to a lawyer
before I sign them? Does this mean I can’t tell
my family where I am? I’m very confused with
confidentially and what it means. This is too
overwhelming!”
Client Karen
How do you explain confidentiality?
Do you talk about how people are
affected, and the consequences of
breaking confidentiality?
How is confidentiality shared and
appreciated by someone with limited
English proficiency?
Are there any other considerations that
might be important?
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The Agency may only release client information with the
informed, written reasonably time limited consent of the
person.
VA Code § 63.2-104
VSDVAA Accreditation Manual Section V, Item 5
Each person who signs a consent form must receive a copy
of the signed consent form.
VSDVAA Accreditation Manual Section V, Item 5
Agency staff reviews the agency confidentiality policy with
each person accessing services.
VSDVAA Accreditation Manual Section V, Item 8
The agency does not share client lists with identifying
information with others outside the agency and does not
have these lists visible to those entering a workspace.
VA Code § 63.2-104-1
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“I’ve been working at this program for about three months. I
was instructed to write down everything the client does. Today
when I got to work, I was told that there was a subpoena and
that I may have to appear in court. I’m scared.
Nobody’s told me anything else. I don’t want to get any clients in
trouble. I keep going over in my head what I might have done
wrong. I got a call from the nurse at the local family clinic and
gave her some client information. I was invited to participate in
a SART meeting last week and I remembered to take the files of
a client that I thought might be important to the discussion. No
one told me not to. This is overwhelming!”
New Advocate Lillian
How do you train new hires on the
complexities of confidentiality?
What process is in place for staff who
have questions about procedures or are
in an emergency situation?
Is this process recorded in the policies
or is it “common knowledge”?
Are there any other considerations that
might be important?
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The agency includes confidentiality as part of a all new
staff/volunteer/intern orientation.
VSDVAA Accreditation Manual Section III
VSDVAA Accreditation Manual Appendix II
The agency has a written policy on responding to subpoenas
and court orders for client or agency information that includes
the reasonable steps the agency will take to protect the privacy
of the information. The agency will make reasonable attempts
to provide notice to victims affected by the disclosure of
information.
VSDVAA Accreditation Manual Section V, Item 7
VA Code § 63.2-104 .1
The agency confidentiality policy addresses how the agency will
respond to attempts to deliver subpoenas and court orders,
warrants or other legal documents to clients.
VSDVAA Accreditation Manual Section V, Item 7
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The agency does not disclose personally identifying
client information via email or instant messaging
between staff and another agency.
The agency works with each client to determine a
“reasonable length of time” for the consent for
release of information (consent form) based on
her/his circumstances and/or the purpose of the
release.
Consent forms are not valid without an expiration
date.
The consent forms allow a client to choose to release
information by date range and/or by topic for a
meeting or specific conversation.
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The agency consent form makes it clear that
someone’s medical, HIV/AIDS status, and alcohol/drug
information are not part of the release unless the
client gives specific written consent to do so.
The agency’s CPS and APS policies address when a
report is to be made, who made it, exceptions to
making a report, if any, and includes steps to inform
the parent/victim/client that a report will be made.
In the event of a client’s death or incapacitation, the
agency does not share information about the client
without the prior, informed, written consent of the
client.
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Gender
Race
Person Receiving Services
Type of Violence
Perpetration Information
Relationship to Victim
Consent Form
Medical Release Form
Visitor’s Confidentiality Form
Children Parental Supervision Form
All client files are kept in a secure locked area.
VSDVAA Accreditation Manual Section V, Item 2
The agency has a written procedure that describes
what it is/is not to be kept in client files.
VSDVAA Accreditation Manual Section V, Item 7
The files of client’s children are maintained in the
same appropriate record-keeping manner as the
adult clients’ files.
VSDVAA Accreditation Manual Section V, Item 1
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Client files that are stored on computers are password
protected.
VSDVAA Accreditation Manual Section V, Item 3
The agency does not store personally identifying client
information on any portable device, including but not
limited to a laptop, Blackberry, external disk drive, flash
drive, etc.
VSDVAA Accreditation Manual Section V, Item 3
The agency may not enter any personally identifying
client information in any third-party databases, including,
but not limited to, HMIS.
VA Code §63.2-104
VSDVAA Accreditation Manual Section V, Item 6
VAWA Section 3
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Written procedures on how client files are to be treated
Clients have the right to review their files.
The agency makes a copy of the file for the client.
The agency keeps a “sample” file to show funders.
Client files and other written documentation contain limited
information.
Agency logs do not contain personally identifying information.
Agencies must define the purpose of written internal agency
communication
Written record retention procedure
The agency creates participant codes when using Vadata
Confidential information is not stored on any computer unless
safeguarded.
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