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Electronic Health Information: CMS Oversight of Medicare Beneficiary Data Security Needs Improvement

GAO-18-210 Published: Mar 06, 2018. Publicly Released: Apr 05, 2018.
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Highlights

What GAO Found

The Centers for Medicare and Medicaid Services (CMS) shares Medicare beneficiary data with three major types of external entities: (1) Medicare Administrative Contractors (MAC) that perform processing and distribution functions that support the payment of Medicare benefits; (2) research organizations (researchers) that use Medicare beneficiary data to study how health care services are provided to beneficiaries; and (3) qualified public or private entities that use claims data to evaluate the performance of Medicare service providers and equipment suppliers.

CMS has developed requirements for implementing security controls that align with federal guidance for two of the three types of external entities that access Medicare beneficiary data. While CMS has developed guidance for MACs and qualified entities, it has not developed equivalent guidance for researchers. Researchers must adhere to broad governmentwide standards, but are not given guidance on which specific controls to implement. According to CMS, the lack of specific guidance gives the researchers more flexibility to independently assess their security risks and determine which controls are appropriate to implement; however, without providing comprehensive, risk-based security guidance to researchers, CMS increases the risk that external entities possessing agency data may not have applied security controls that meet CMS standards.

Additionally, CMS has established an oversight program for the security of MAC data, but has not established a corresponding program to oversee security implementation by researchers and qualified entities. Without effective oversight measures in place for researchers and qualified entities, CMS cannot fully ensure that the security of Medicare beneficiary data is being adequately protected. Regarding MACs, although they are subject to two types of independent annual assessments, which have regularly identified weaknesses in their implementation of security controls, the weaknesses that have been assessed as low-risk have not been consistently tracked in the CMS finding tracking system. Without more consistent tracking of these low-risk weaknesses, it may be difficult for CMS to determine if all weaknesses are being addressed in a timely manner. Examples of categories of recurring weaknesses that have been identified during annual assessments are listed in the table.

Table: Key Recurring Categories of Weaknesses Identified in Annual Assessments of Medicare Administrative Contractors

Category

Significance

Configuration management

Ensures that software updates are timely, appropriate, and do not introduce new security weaknesses.

System security plans

Allows assessors to review a system's security strategy and determine whether security has been implemented as intended.

System inventories

Ensures that organizations have a complete and up-to-date inventory of hardware and software components as a basis for effective configuration management.

Source: GAO analysis of annual MAC assessments.

Why GAO Did This Study

Recent data breaches have highlighted the importance of ensuring the security of health information, including Medicare beneficiary data. Such data are created, stored, and used by a wide variety of entities, such as health care providers, insurance companies, financial institutions, researchers, and others.

GAO was asked to conduct a study of CMS efforts to protect Medicare beneficiary data accessed by external entities. GAO's objectives were to (1) identify the major external entities that collect, store, and process Medicare fee-for-service beneficiary data; (2) determine whether requirements for the protection of Medicare beneficiary data align with federal guidance; and (3) assess CMS oversight of the implementation of those requirements. GAO analyzed information about how external entities access data, reviewed CMS documentation on who they share data with, compared federal standards with CMS security requirements for external entities, and analyzed results of independent security reviews. GAO also interviewed CMS officials about their oversight activities.

Recommendations

GAO recommends that CMS develop additional guidance for researchers on implementing security controls required by CMS, consistently track results of independent assessments, and provide oversight of researchers and qualified entities. CMS concurred with GAO's three recommendations and described actions it has planned or taken to address them.

Recommendations for Executive Action

Agency Affected Recommendation Status
Centers for Medicare & Medicaid Services The Administrator of the Centers for Medicare and Medicaid Services should develop and distribute guidance for researchers defining minimum security controls and implementation guidance for those controls that is consistent with the National Institute of Standards and Technology guidance. (Recommendation 1)
Closed – Implemented
In May 2020, CMS issued requirements and guidance for security and privacy controls for all researchers. Upon analysis of the guidance, we determined that, in response to our recommendation, HHS had developed guidance for researchers that defines minimum security controls and provides implementing guidance for those controls that is consistent with National Institute of Standards and Technology guidance.
Centers for Medicare & Medicaid Services The Administrator of the Centers for Medicare and Medicaid Services should develop processes and procedures to ensure that findings from all MAC assessments are classified consistently and tracked appropriately. (Recommendation 2)
Closed – Implemented
In April 2019, HHS provided us with updated documentation outlining their processes to track findings from MAC assessments. Upon analysis of the provided documents, we determined that, in response to our recommendation, HHS have demonstrated that all findings from MAC assessments are classified consistently and tracked appropriately.
Centers for Medicare & Medicaid Services
Priority Rec.
The Administrator of the Centers for Medicare and Medicaid Services should develop processes and procedures to ensure that qualified entities and researchers have implemented information security controls effectively throughout their agreements with CMS. (Recommendation 3)
Closed – Implemented
In September 2020, HHS provided us with updated documentation outlining their processes and procedures for qualified entities and researchers to implement information security controls, including requirements for self attestation that controls have been implemented as well as audit requirements for attestations. Upon analysis of the provided documents, we determined that, in response to our recommendation, HHS had demonstrated that their processes and procedures provide reasonable assurance that qualified entities and researches have implemented information security controls effectively throughout their agreements with CMS.

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Topics

BeneficiariesCompliance oversightCybersecurityElectronic health recordsFee-for-serviceHealth careHealth care informationInformation securityInformation systemsMedicarePersonally identifiable informationPrivacy