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Draft 2017 Interoperability Standards Advisory


Draft 2017 Interoperability Standards Advisory

II-B: Care Plan

II-E: Clinical Quality Reporting

II-H: Electronic Prescribing

II-K: Laboratory

II-N: Patient Preference/Consent

II-Q: Research

Chris Hills
DoD/VA IPO

Thank you for allowing us to provide comments on this critical document. I have attached comments from IPO. I have also included VA and DHA comments, which were submitted separately. Please let me know if there are any questions.

Michelle Dougherty
LTPAC Health IT Collaborative

The LTPAC Health IT Collaborative is pleased to submit comments on the Draft 2017 Interoperability Standards Advisory. We see opportunities to address more accurately the adoption levels for standards and have identified critical standards activities/needs related to functional status, care planning, transitions of care, and patient identity/matching.

Michelle Dougherty
LTPAC Health IT Collaborative

The LTPAC Health IT Collaborative is pleased to submit comments on the Draft 2017 Interoperability Standards Advisory. We see opportunities to address more accurately the adoption levels for standards and have identified critical standards activities/needs related to functional status, care planning, transitions of care, and patient identity/matching.

Robert Jarrin
Qualcomm Incorporated and Qualcomm Life

Qualcomm submits brief comments in support of Continua Health Alliance (Personal Connected Health Alliance - PCHA) specifications pertaining to interoperability needs and push communication between patient-generated health data (PGHD) from personal medical devices and health IT such as certified electronic health records, modules and related systems.

Thank you,

Robert Jarrin
Senior Director, Government Affairs
Qualcomm Incorporated

Danna Caller
Abbott

Our comments are attached. Thank you!

Danna Caller
Abbott

Our comments are attached. Thank you!

Sarah Willis-Garcia
Electronic Health Record (EHR) Association

On behalf of the members of the Electronic Health Record Association (EHRA), we offer the following comments and suggestions on the Office of the National Coordinator for Health IT’s (ONC’s) 2017 Interoperability Standards Advisory (ISA).

Sarah Willis-Garcia
Electronic Health Record (EHR) Association

On behalf of the members of the Electronic Health Record Association (EHRA), we offer the following comments and suggestions on the Office of the National Coordinator for Health IT’s (ONC’s) 2017 Interoperability Standards Advisory (ISA).

Barrie Nelson
CDISC

On behalf of CDISC I appreciate the ability to comment on the 2017 Interoperability
Standards Advisory.

• It would be useful to understand the methodology used for creating and making decisions within the document. It would be useful to have a separate section within the document that describes the methodology.

• We applaud the inclusion of a broad representation of research standards within the ISA as this furthers Dr. Califf’s stated goals of bringing together the worlds of healthcare and clinical research and in turn builds the foundation of a learning healthcare system.

• We recognize that there are a number of competing terminologies referenced within the ISA. We would advocate for an open consensus based harmonization process as we see this as the only way to gain a harmonized solution accepted by all stakeholders.

• Wherever the CDISC Clinical Data Acquisition Standard (CDASH) is mentioned please update the adoption level to four.

• We strongly support the publication of this document and encourage further development as its use and influence goes far beyond HealthIT.

Meredith Ponder
Defeat Malnutrition Today

Attached is a letter from the Defeat Malnutrition Today coalition detailing our comments on the ISA. Thank you for your consideration.

Michael Kirwan
Personal Connected Health Alliance

Attached please find Personal Connected Health Alliance (which established and maintains the Continua Design Guidelines) comments on the DRAFT 2017 ISA.

Lee Barrett
EHNAC

Please see attached pdf for comments from EHNAC.

Allison Viola
Kaiser Permanente

Kaiser Permanente offers the following comments on the Draft 2017 Interoperability Standards Advisory (“2017 Advisory”), posted August 22, 2016 at the Office of the National Coordinator for Health Information Technology (“ONC”) webpage.

Lindsey Hoggle
Academy of Nutrition and Dietetics

Please find attached, comments from the Academy of Nutrition and Dietetics using the comment template. Thank you for this opportunity to comment.

Lindsey Hoggle
Academy of Nutrition and Dietetics

Letter from the Academy of Nutrition and Dietetics providing general overview. Thank you for this opportunity to comment. We will provide template in a separate message.

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