The 2020 ISA Reference Edition is now available.
The Interoperability Standards Advisory (ISA) process represents the model by which the Office of the National Coordinator for Health Information Technology (ONC) will coordinate the identification, assessment, and public awareness of interoperability standards and implementation specifications that can be used by the United States healthcare industry to address specific interoperability needs including, but not limited to, interoperability for clinical, public health, and research purposes. ONC encourages all stakeholders to implement and use the standards and implementation specifications identified in the ISA as applicable to the specific interoperability needs they seek to address. Furthermore, ONC encourages further pilot testing and industry experience to be sought with respect to standards and implementation specifications identified as “emerging” in the ISA. For historical background on the ISA please review prior ISA publications.
The 2020 ISA has been updated to include improvements made based on recommendations received from public comments and subject matter expert feedback. To learn more about major revisions of the ISA, please review recent ISA updates. Registered users may subscribe to change notifications to be alerted by e-mail of all revisions to individual interoperability needs or for ISA-wide changes. Anyone may become a registered user by submitting an account request. Once logged in, look for the blue “change notification” button at the bottom of the interoperability need page, or at the bottom of the home page to be notified of any changes across the ISA. An RSS Feed was also added in 2018, capturing more granular updates made to the ISA.
Starting with the 2017 ISA, the ISA’s focus expanded to more explicitly include public health and health research interoperability. Thus, its scope includes electronic health information created in the context of treatment, and subsequently used to accomplish a purpose for which interoperability is needed (e.g., a referral to another care provider, public health reporting, or research). Added in late 2017, the ISA now also includes interoperability needs related to Administrative functions within healthcare. These additions were made through coordination with CMS, other administrative healthcare interoperability needs continue to be added.
The ISA is not exhaustive but it is expected to be incrementally updated to include a broader range of health IT interoperability needs. When more than one standard or implementation specification is listed it is intended to prompt industry dialogue as to whether one standard or implementation specification is necessary or if the industry can efficiently interoperate more than one. It may also reflect the fact that there is an ongoing transition from the use of one standard towards a new version or even a next-generation approach.
As noted in previous ISA publications, a standard listed in one section is not intended to imply that it would always be used or implemented independent of a standard in another section. To the contrary, it will often be necessary to combine the applicable standards from multiple sections to achieve interoperability for a particular clinical health information interoperability need.
It is also important to note that the ISA is designed to inform standards and implementation specification choices for all types of health IT that support interoperability needs, not solely electronic health record (EHR) systems. Furthermore, the ISA is not intended to imply that health IT systems need to support all of the listed standards and implementation specifications. Rather, in the event that a health IT developer or healthcare provider seeks to address a particular interoperability need, the ISA should serve as the first resource consulted to inform the selection of standards and implementation specifications. Additionally, the ISA is designed to inform the “what” that could be used to address an interoperability need in order to assure industry consistency around standards selection and is not mean to explicitly direct “how” the standards and implementation specifications would be implemented to address an interoperability need (e.g., application programming interface or conversion tools).
The ISA is designed to be a coordinated catalog of standards and implementation specifications that can be used by different stakeholders to consistently address a specific interoperability need. However, a listed interoperability need (and its associated standard(s) and implementation specifications(s)) is not meant to universally apply to all stakeholders. Rather, if a listed interoperability need is relevant to a particular clinical specialty, for example, the ISA is designed to provide a consistent foundation from which these stakeholders can agree on applicable technical requirements. Similarly, in cases where a listed interoperability need is not applicable to a given stakeholder group, the ISA in no way compels such stakeholders to consider that interoperability need.
Please note that the ISA serves as an informational resource for available standards, specifications, profiles, etc that exist to meet the interoperability needs contained within. Stakeholders should ensure and verify that they are adhering to applicable federal, state, and/or local laws or regulations regarding requirements to use a specific standard or specification that may conflict with the information listed in the ISA, as these requirements supersede the ISA.
The Interoperability Standards Advisory is meant to serve at least the following purposes:
- To provide the industry with a single, public list of standards and implementation specifications that can be used to address specific health information interoperability needs in the United States. Currently, the ISA is focused on interoperability for sharing information between entities and not on intra-organizational uses.
- To reflect the results of ongoing dialogue, debate, and consensus among industry stakeholders when more than one standard or implementation specification could be used to address a specific interoperability need, discussion will take place through the ISA public comments process. The web-version of the ISA improves upon existing processes, making comments more transparent, and allowing for threaded discussions to promote further dialogue.
- To document known limitations, preconditions, and dependencies as well as provide suggestions for security best practices in the form of security patterns for referenced standards and implementation specifications when they are used to address a specific clinical health IT interoperability need.
The ISA is designed to provide clarity, consistency, and predictability for the public regarding the standards and implementation specifications that could be used for a given clinical health IT interoperability purpose.
Stakeholders who administer government programs, procurements, and testing or certification programs with clinical health IT interoperability components are encouraged to look first to the ISA in order to more fully inform their goals. In that regard, standards and implementation specifications in the ISA and their associated informative characteristics are also available to help more fully inform policymaking. In this case, a standard or implementation specification’s reference in the ISA may serve as the initial basis for industry or government consideration and action. While the ISA itself is a non-binding document and meant to be advisory in nature, standards and implementation specifications listed in the ISA may be considered for rulemaking or other Federal requirements. However, those decisions would be made on a case-by-case basis by the administering organization.
This site contains numerous links to other federal agencies and to private organizations. You are subject to these sites’ privacy policies when you access them. HHS is not responsible for Section 508 compliance (accessibility) on other federal or private sites. HHS is not responsible for the contents of any "off-site" web page referenced from this site.
The ISA is organized and structured into four sections.
- Section I – Vocabulary/Code Sets/Terminology Standards and Implementation Specifications (i.e., “semantics”).
- Section II – Content/Structure Standards and Implementation Specifications (i.e., “syntax”).
- Section III – Standards and Implementation Specifications for Services (i.e., the infrastructure components deployed and used to address specific interoperability needs)
- Section IV – Administrative Standards and Implementation Specifications (i.e., payment, operations and other "non-clinical" interoperability needs)
- Questions and Requests for Stakeholder Feedback
- Appendices
Within each section specific “interoperability need” subheadings are listed and followed by tables similar to the one illustrated below. Each interoperability need may have one or more standards and/or implementation specifications associated with it. Each standard and implementation specification has six informative characteristics attributed to it in order to provide added context.
When known, an “emerging” standard or implementation specification is also listed and is shaded in a lighter color and italicized for additional emphasis. In addition, for vocabulary standards, where there may be one standard used to represent the “observation” or question being asked, and one standard used for the “observation value” or answer these are listed in distinct rows. See Appendix III for educational information about observations and observation values.
In Section I, the vocabulary standards with unspecified code sets or context may be further constrained by a more explicit standard named in a subsequent section. For example, Section I: Encounter Diagnoses specifies SNOMED-CT and ICD-10-CM but does not define the context of use. The Standard/Implementation Specification named for the “Interoperability Need: Ordering Labs for a Patient in Section II: Laboratory” further constrains the diagnosis for the patient in the context of a lab order to ICD-9CM or ICD-10CM since the lab order diagnosis is for billing/claims, not clinical diagnostics.
Standard Implementation/Specification | Standards Process Maturity | Implementation Maturity | Adoption Level | Federally Required | Cost | Test Tool Availability |
---|---|---|---|---|---|---|
Standard | Final | Production | ![]() |
No | Free | No |
Standard for observations | Final | Production | ![]() |
Yes | Free | Yes |
Standard for observation values | Final | Production | ![]() |
No | Free | Yes |
Emerging Standard | Balloted Draft | Pilot | ![]() |
No | Free | No |
Limitations, Dependencies, and Preconditions for Consideration: |
Section I: Applicable Value Set(s) and Starter Set(s): Other Sections: Applicable Security Patterns for Consideration: |
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|
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The following describes the ISA’s six informative characteristics in greater detail. This detail is meant to better inform stakeholders about the maturity and adoptability of a given standard or implementation specification and provides definition for the terms and symbols used throughout the ISA. Stakeholders should consider all six characteristics together to gain insight into the level of maturity and adoptability of the standards and implementation specifications provided within the ISA.
#1: Standards Process Maturity
This characteristic conveys a standard or implementation specification’s maturity in terms of its stage within a particular organization’s approval/voting process.
- “Final” – when this designation is assigned, the standard or implementation specification is considered “final text” or “normative” by the organization that maintains it. This also includes approved “ANSI Informative” specifications.
- “Balloted Draft” – when this designation is assigned, the standard or implementation specification is considered to be a Draft Standard for Trial Use (DSTU), Standard for Trial Use (STU), or in a “trial implementation” status by the organization that maintains it and has been voted on or approved by its membership as such. This designation does not include standards and implementation guides that are unofficial drafts and early “works in progress”.
- “In Development” – when this designation is assigned, the standard or implementation specification is currently in development. It also includes those that are in the midst of being balloted. These standards would generally benefit from lessons learned through development and pilots.
#2: Implementation Maturity
This characteristic conveys a standard or implementation specification’s maturity based upon its implementation state. Where available, a link to published maturity assessments based on known published criteria about the standards is also provided.
- “Production” – when this designation is assigned, the standard or implementation specification is being used in production to meet a health care interoperability need.
- “Pilot” – when this designation is assigned, the standard or implementation specification is being used on a limited scale or only as part of pilots to meet a health care interoperability need.
#3: Adoption Level
This characteristic conveys a standard or implementation specification’s approximate, average adoption level for that specific interoperability need in health care within the United States. The adoption level attempts to consider all implemented technology that would be used to address the identified interoperability need and is not limited to EHRs. Adoption means that the standard or implementation specification is being used in health IT in the field by end users to address the specific interoperability need. Presently, the adoption levels listed are based on ONC’s analysis of several factors, including, but not limited to: 1) whether and/or how long a standard or implementation specification has been included in regulation for health IT certification (if applicable) or another HHS regulatory or program requirement which is used only as a proxy for industry adoption; 2) feedback from subject matter experts and 3) public comments.
The adoption level also considers the variety of stakeholders and stakeholder groups that would use the standard and implementation specification to address the specified interoperability need and attempts to display it as such, with the understanding that the designation is a generality or "best guess" and not a pre-defined measured value. Where available, annotated references or links to publicly available documentation known about adoption levels for listed standards are also provided.
The following scale is used to indicate the approximate, average adoption level among the stakeholders that would use a standard or implementation specification to meet the specified interoperability need:
“Feedback Requested” | Indicates that we do not have a known status for the current level of adoption in health care. |
![]() |
Indicates low adoption. |
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Indicates low-medium adoption. |
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Indicates medium adoption. |
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Indicates medium-high adoption. |
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Indicates high or widespread adoption. |
#4: Federally Required
This characteristic (provided as a “Yes” or “No”) conveys whether a standard or implementation specification has been adopted in regulation, referenced as a federal program requirement, or referenced in a federal procurement (i.e., contract or grant) for a particular interoperability need. Where available, a link to the regulation has been provided. Please note this is meant to be provided as a reference only. Entities seeking to comply with federal regulations should look to any and all federal regulations that may apply to ensure adequate compliance.
#5: Cost
This characteristic conveys whether a fee is involved to purchase, license, or obtain membership for access or use of the recommended standard or implementation specification.
- “$” – when this designation is assigned, it signifies that some type of payment needs to be made in order to obtain the standard or implementation specification. Where known, the estimated cost for access will be provided.
- “Free” – when this designation is assigned, it signifies that the standard or implementation specification can be obtained without cost. This designation applies even if a user account or license agreement is required to obtain the standard at no cost, but is not meant to imply that there are no costs associated with implementation.
#6: Test Tool Availability
This characteristic conveys whether a test tool is available to evaluate health IT’s conformance to the standard or implementation specification for the particular interoperability need. Where available, a link will be provided to the publicly available test tool.
- “Yes” – When this designation is assigned, it signifies that a test tool is available for a standard or implementation specification and is free to use. Where available, a hyperlink pointing to the test tool will be included.
- “Yes$”– When this designation is assigned, it signifies that a test tool is available for a standard or implementation specification and has a cost associated with its use. Where available, a hyperlink pointing to the test tool will be included.
- “Yes – Open” – When this designation is assigned, it signifies that a test tool is available for a standard or implementation specification and is available as open source with rights to modify. Where available, a hyperlink pointing to the test tool will be included.
- “No” – When this designation is assigned, it signifies that no test tool is available for a standard or implementation specification.
- “N/A” – When this designation is assigned, it signifies that a test tool for the standard or implementation would be “not applicable.”
Comment
Submitted by aashworth on
The Pew Charitable Trusts Comments on 2019 ISA
Dr. Rucker,
Thank you for soliciting comments on the Office of the National Coordinator for Health Information Technology’s 2019 Interoperability Standards Advisory. Comments from the Pew Charitable Trusts are attached.
Sincerely,
Ben Moscovitch
Submitted by jporras on
CAQH CORE Comments to ONC ISA 2020 Reference Edition
Thank you for the opportunity to provide input to the Interoperability Standards Advisory (ISA). CAQH CORE appreciates that the ISA includes a description of standards, implementation specifications, operating rules and other utilities that support interoperability in the exchange of healthcare information.
The CAQH Committee on Operating Rules for Information Exchange (CORE) is a non-profit, national multi-stakeholder collaborative that drives the creation and adoption of healthcare operating rules that support standards, accelerate interoperability and align administrative and clinical activities among providers, payers and consumers. CAQH CORE participating organizations represent more than 75 percent of insured Americans, including health plans, providers, electronic health record (EHR) and other vendors/clearinghouses, state and federal government entities, associations and standards development organizations. CAQH CORE is designated by the Secretary of the Department of Health and Human Services (HHS) as the Operating Rule Authoring Entity for HIPAA-mandated administrative transactions. Operating rules are developed by CAQH CORE participants via a multi-stakeholder, consensus-based process.
CAQH comments on the ISA are set forth below based on our history of working with stakeholders across the healthcare industry to reduce administrative burdens in areas such as eligibility and benefit verification, prior authorization, attachments or exchange of medical documentation, claims submission and payment, and value-based payment.
The comments in this letter are presented in two parts and are intended to enhance the quality of information in the ISA and improve usability:
- Part I includes specific comments on existing content in Section IV of the ISA.
- Part II responds to the Request for Stakeholder Feedback pertaining to question 19-3.
CAQH CORE has also posted these comments to the online resource.
Thank you for considering our recommendations and comments. Should you have questions for CAQH CORE, please contact me at eweber@caqh.org or 202-517-0435.
Sincerely,
Erin Richter Weber
Director, CAQH CORE
Submitted by Ticia_Gerber on
HL7 Comments for ONC ISA 2020 Reference Edition
Health Level Seven (HL7) International welcomes the opportunity to submit comments on ONC’s Interoperability Standards Advisory (ISA) as ONC prepares to update the ISA for the 2020 “Reference Edition”. As ONC prepares to finalize the ISA for the 2020 “Reference Edition”, we offer both general considerations and responses to questions ONC specifically raised, as well as detailed suggestions on previously documented and new interoperability needs. Should you have any questions about our attached comments, please contact Charles Jaffe, MD, PhD, Chief Executive Officer of Health Level Seven International. We look forward to continuing this discussion and offer our assistance to ONC.
Submitted by Ticia_Gerber on
HL7 Comments for ONC ISA 2020 Reference Edition
Health Level Seven (HL7) International welcomes the opportunity to submit comments on ONC’s Interoperability Standards Advisory (ISA) as ONC prepares to update the ISA for the 2020 “Reference Edition”. As ONC prepares to finalize the ISA for the 2020 “Reference Edition”, we offer both general considerations and responses to questions ONC specifically raised, as well as detailed suggestions on previously documented and new interoperability needs. Should you have any questions about our attached comments, please contact Charles Jaffe, MD, PhD, Chief Executive Officer of Health Level Seven International. We look forward to continuing this discussion and offer our assistance to ONC.
Submitted by Brett Andriesen
on
Attached comments received…
Attached comments received via email on 9/20 from VHA.
Submitted by Dan Andersen on
Lantana Consulting Group comments on 2019 ISA
Dear Dr. Rucker,
Lantana Consulting Group, Inc. (Lantana) is pleased to provide comments on the 2019 Interoperability Standards Advisory (ISA). Lantana provides services and software for standards-based health information exchange. We have built our expertise through more than a decade of involvement in standards development and deployment. We focus on design and implementation of Clinical Document Architecture (CDA) and Fast Healthcare Interoperable Resources (FHIR) compliant systems, including validation, document management, authoring, data conversion, and web services for information exchange.
Please find attached our comments on Sections I through III of the ISA.
Program Director
t: 443-609-4166
Maryland - Eastern Time
Submitted by lrava on
IEEE SA Comments
The IEEE Standards Association (IEEE SA) is pleased to submit the following information in response to the above-captioned request for information. We commend the Office of the National Coordinator for Health Information Technology (ONC) in its effort to update the Interoperability Standards Advisory (ISA). As a globally recognized standards developing organization grounded in an open, inclusive, transparent, and consensus-building process, we appreciate the ONC’s request for updates to its ISA.
IEEE SA_Office of the National Coordinator for Health Information Technology ISA.pdf
Submitted by michael.e.prevoznik on
Comments for 2020 Update-ONC Interoperability Standards Advisory
Quest Diagnostics, Incorporated submits the attached comments for the 2020 update of the ONC Interoperability Standards Advisory (ISA). Thank you for the opportunity to provide comments.
Submitted by tacort on
e-LTSS FHIR Implementation Guide
Please consider adding the electronic- Long-Term Services and Supports (e-LTSS) FHIR Implementation Guide as an emerging standard being piloted. LTSS providers and case managers are essential partners with the health care providers in providing whole-person care.
In recent years, the health sector has began to pay more attention to the social determinants of health. The LTSS support (care) plan data elements contained within the e-LTSS FHIR data standard can provide critical information to primary care physician about the support individuals are receiving in the community and in their homes and hospitals will have access to the same information when the post-acute setting is the individual's home. Beyond the benefit to the care coordination between health care and LTSS providers, this standard will be the first LTSS data standard of its kind that begins the work of creating data standards that will support the collection, aggregation and sharing of information between and among LTSS providers. I hope that is only the first step in creating data standards for the LTSS delivery system as the LTSS providers and case managers collect comprehensive assessment data, including data around social determinants, and other data that would not only benefit the LTSS providers but also the health sector when considering whole person care.
I appreciate your consideration of this addition to your emerging standards.
Timothy Cortez
Colorado Department of Health Care Policy and Financing (Colorado's State Medicaid Agency)
Submitted by mbkurilo@immre… on
AIRA Comments on 2019 ISA, September 2019
Thank you for the opportunity to comment on the 2019 ISA. Please see attached document for full version of AIRA comments. We look forward to the evolution of future versions of the ISA.
Sincerely,
Mary Beth Kurilo, Policy and Planning Director, American Immunization Registry Association
AIRA Letter and Comments - ONC 2019 Standards Advisory - Sept 2019.pdf