Chaz Posted September 3, 2008 Posted September 3, 2008 Can a service provider who provides HSA debit cards and other HSA administrative services be a business associate of a group health plan under HIPAA? Practically, the answer should be yes, but is the service provider providing payment or health care operations on behalf of the plan? I'm not so sure. [CROSS POSTED TO HIPAA BOARD]
Recommended Posts
Create an account or sign in to comment
You need to be a member in order to leave a comment
Create an account
Sign up for a new account in our community. It's easy!
Register a new accountSign in
Already have an account? Sign in here.
Sign In Now