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HIPAA HIO-201 Exam With Confidence Using Practice Dumps

Exam Code:
HIO-201
Exam Name:
Certified HIPAA Professional
Certification:
CHP
Vendor:
Questions:
160
Last Updated:
Feb 26, 2025
Exam Status:
Stable
HIPAA HIO-201

HIO-201: CHP Exam 2025 Study Guide Pdf and Test Engine

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Certified HIPAA Professional Questions and Answers

Question 1

In terms of Security, the best definition of "Access Control" is:

Options:

A.

A list of authorized entities, together with their access rights.

B.

Corroborating your identity.

C.

The prevention of an unauthorized use of a resource.

D.

Proving that nothing regarding your identity has been altered

E.

Being unable to deny you took pan in a transaction.

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Question 2

A key date in the transaction rule timeline is:

Options:

A.

October 16, 2003 - small health plans to begin testing without ASCA extension

B.

October 16, 2004 - full compliance deadline for small health plans

C.

April 16, 2004 - small health plans to begin testing with ASCA extension

D.

April 16, 2003 - deadline to begin testing with ASCA extension

E.

April 14, 2003; deadline to begin testing with the ASCA extension.

Question 3

A doctor sends patient records to another company for data entry services. A bonded delivery service is used for the transfer. The records are returned to the doctor after entry is complete, using the same delivery service. The entry facility and the network they use are secure. The doctor is named as his own Privacy Officer in written policies. The doctor has written procedures for this process and all involved parties are documented as having been trained in them. The doctor does not have written authorizations to disclose Protected Health Information (PHI). Is the doctor in violation of the Privacy Rule?

Options:

A.

No - This would be considered an allowed "routine disclosure" between the doctor and his business partner

B.

Yes - There is no exception to the requirement for an authorization prior to disclosure, no matter how well intentioned or documented.

C.

Yes - a delivery service is not considered a covered entity

D.

Yes - to be a “routine disclosure” all the parties must have their own Privacy Officer as mandated by HIPAA

E.

Yes - this is not considered a part of "treatment", which is one of the valid exceptions to the Privacy Rule