Standard: S-10Responsible Executive: Vice President for Ethics and ComplianceResponsible Office: Office of the Vice President for Information Technology and Office of Legal CounselDate Issued: May 1, 2018Date Last Revised: December 12, 2024
ContactsIndividuals and Entities AffectedStatement of StandardResponsibilitiesDefinitions (defined terms are capitalized throughout the document)Related Documents, Forms and ToolsHistory and UpdatesAppendix
Privacy Officer765-496-9059 | legalcounsel@purdue.edu
Purdue Systems Security (PSS) 765-494-1875 | itpolicyanswers@purdue.edu
The Covered Components and individuals who work in any of the Covered Components listed on the HIPAA Compliance website, are affected by this policy.
Purdue University is a Hybrid Entity under the Health Insurance Portability and Accountability Act of 1996 (HIPAA). Purdue’s primary purpose is education; however, Purdue does have departments and Covered Components that provide covered health care services, and Purdue has self-insured health plans. Purdue also has offices or departments that provide business support to the Covered Components at Purdue and to covered entities outside of Purdue, and these business support offices or departments may have access to Protected Health Information.
As a Hybrid Entity under HIPAA, Purdue University’s Covered Components are required to comply fully with the HIPAA Privacy and Security Regulations (45 C.F.R., Parts 160, 162 and 164). Covered Components must also comply with federal notification regulations in the event of a breach of unsecured Protected Health Information as required under section 13402 of the Health Information Technology for Economic and Clinical Health (HITECH) Act.
Purdue University regularly surveys its departments to identify and designate its Covered Components. The comprehensive list of Covered Components at Purdue University can be found on the HIPAA Compliance website.
Covered Components
Privacy Officer
Security Officer
All defined terms are capitalized throughout the document. Additional defined terms may be found in the central Policy Glossary.
Business AssociatesPersons or entities, other than in the capacity of a member of the Covered Entity’s workforce, that provide or assist the Covered Entity in the performance of certain of the Covered Entity’s business functions involving the use of its Protected Health Information.
Covered ComponentsAreas of the University that have been designated and are required to comply with the HIPAA Privacy and Security Regulations. The complete listing can be found on the HIPAA Compliance website.
Covered EntityAn entity that has been designated and is required to comply with the HIPAA Privacy and Security Regulations.
Health InformationAnything created or received by a health care provider, health plan, public health authority, employer, life insurer, school or university, or health care clearinghouse, their agents, Business Associates or the business associate’s subcontractors, that relates to the:
HIPAAThe Health Insurance Portability and Accountability Act of 1996, which mandates significant change in the laws and regulations governing the provision of health benefits, the delivery and payment of health care services and the security and confidentiality of Individually Identifiable and Protected Health Information in written, electronic or oral formats.
Hybrid EntityA Covered Entity whose business activities include both covered and non-covered functions and that designates certain health care, health plan and other Covered Components that must comply with the HIPAA Privacy and Security Regulations.
Individually Identifiable Health InformationA subset of Health Information that identifies or reasonably can be used to identify the individual.
Privacy OfficerAs required by the HIPAA Privacy Rule, the individual responsible for the development and implementation of the policies and procedures required by the HIPAA Privacy Rule for Purdue University and who is the primary contact for receiving complaints, identifying and making required notifications for breaches of Protected Health Information and is able to provide further information about matters covered by the Notices of Privacy Practices. Associate Legal Counsel for Public Safety and Security serves in this role.
Protected Health InformationIndividually Identifiable Health Information, in any form, received or created by a Covered Entity its agents or Business Associates or the Business Associates’ subcontractors as a consequence of providing health care services or health plan benefits (including demographic information). Protected Health Information may include information used for research purposes, if that information contains Protected Health Information.
Security OfficerAs required by the HIPAA Security Rule, the individual responsible for the development and implementation of the policies and procedures required by the HIPAA Security Rule for Purdue University and for identifying and reporting breaches of electronic Protected Health Information to the Privacy Officer and facilitating the required reporting associated with these breaches. The Chief Information Security Officer (CISO) serves in this role.
This standard is issued in support of the policy on Acceptable Use of IT Resources and Information Assets (VII.A.4), as amended or superseded.
Procedures and Forms:
Additional HIPAA privacy compliance information, training and procedures may be accessed at the HIPAA Compliance website.
U.S. Department of Health and Human Services Health Information Privacy
December 12, 2024: Document reviewed; minor administrative updates made to titles, offices and links.
January 11, 2023: Updated responsible offices, definitions for Privacy and Security Officers, and hyperlinks for related documents.
May 1, 2018: This standard supersedes the policy of the same name (number VIII.A.1), dated January 20, 2017. Responsibilities have been updated to reflect the removal of procedures from the document.
There are no appendices to this standard.