How is an actor expected to fulfill a request for the USCDI under the Manner Exception if they do not yet have certified health IT in place that supports the Cures Act Final Rule updates necessary to include the USCDI in certified technology?
How is an actor expected to fulfill a request for the USCDI under the Manner Exception if they do not yet have certified health IT in place that supports the Cures Act Final Rule updates necessary to include the USCDI in certified technology?
The “Manner” exception does not require the use of any specific standard or functionality. Instead, the “Manner” exception (45 CFR 171.301) outlines a process by which an actor may prioritize the use of standards in fulfilling a request for EHI in a manner that supports and prioritizes the interoperability of the data. This means that, for the purposes of information blocking, before October 6, 2022, an actor could have fulfilled a request with the EHI identified by the data elements represented in the USCDI standard, first in the manner requested and, if not, in an alternate manner agreed upon with the requestor, following the order of priority specified in the exception.
Updated:
This FAQ has been updated to reflect the effective date of the HTI-1 Final Rule.