Updated Apr 29, 2024
In This Section |
This section contains the following topics:
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Introduction |
This topic contains general information on requesting PMRs, including
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Change Date |
April 29, 2024
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III.ii.3.1.a. Authorization Required by PHPs |
Treatment received from private healthcare providers (PHPs) is often identified as relevant to a claim. The PHP who holds these records will not release the treatment records without a Health Insurance Portability and Accountability Act (HIPAA) compliant authorization statement signed by the individual who is the subject of the information.
When the Department of Veterans Affairs (VA) is attempting to secure the private medical records (PMR) on the claimant’s behalf, the claimant should provide an authorization form that is acceptable to the records holder by using the following:
Note: If VA Forms 21-4142 and 21-4142a or other required PHP authorization forms are not of record, send a request to the claimant, fiduciary, or next of kin, as appropriate.
Reference: For more information on the HIPAA Privacy Rule, see M21-1 Part III, Subpart ii, 3.1.h.
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III.ii.3.1.b. VA Forms 21-4142 and 21-4142a |
VA Forms 21-4142 and 21-4142a are used in conjunction with each other and both forms must be completed in order to obtain a claimant’s PMRs from the identified PHP or Vet Center. The differences between these two forms are
Important: PHPs will not accept photographs taken of completed VA Forms 21-4142 or 21-4142a that have been submitted to VA in lieu of the actual document(s). If a photograph has been submitted, the claims processor must request the actual form from the claimant, per instructions in M21-1, Part III, Subpart ii, 3.1.d.
Notes:
Reference: For more information on obtaining Vet Center records, see M21-1, Part III, Subpart ii, 1.A.2.n.
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III.ii.3.1.c. Expiration of Signed and Dated VA Forms 21-4142 |
The HIPPA Privacy Rule requires an authorization form to contain an expiration date or an expiration event that relates to the individual or the purpose of the disclosure. The completed VA Form 21-4142 will expire one year from the date the claimant signs it.
Important:
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III.ii.3.1.d. Development Actions Related to VA Forms 21-4142 and 21-4142a |
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Follow the instructions in the table below to determine what development actions to take when requesting authorization to obtain treatment records from a PHP or a Vet Center.
Notes:
References: For more information on
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III.ii.3.1.e. RO Procedures for Requesting Medical Records |
Follow the steps in the table below to request medical records from sources other than VA.
Important: These procedures apply when the regional offices (ROs) are developing for medical records instead of the PMR contractor.
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III.ii.3.1.f. Procedures When the RO Request for PMRs Is Rejected |
Follow the instructions in the table below if a records custodian refuses to give VA a copy of a claimant’s medical records because
Important:
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III.ii.3.1.g. Claimant Notification When PMRs Are Unavailable |
As noted in M21-1, Part III, Subpart i, 2.C.1.a, VA must notify the claimant of its inability to obtain relevant PMRs the claimant identified. This requirement is met by the rating activity when it enters the following text in the Evidence section of the rating decision: Private medical records requested from [name of provider], but not received. Claimants receive a copy of the rating decision with the corresponding decision notice.
Important: The rating activity must enter the referenced text in the rating decision regardless of whether the records were requested by the PMR Program contractor or an RO.
References: For more information on
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III.ii.3.1.i. HIPAA’s Impact on VBA |
In Advisory Opinion ADV 3-2003, the Office of General Council determined that records in compensation and pension claims folders are not subject to the HIPAA Privacy Rule. Its conclusion is based on the fact that the Veterans Benefits Administration (VBA) does not meet the definition of a “covered entity,” as described in 45 CFR 160.103.
However, the HIPAA Privacy Rule does affect VA Forms 21-4142 and 21-4142a.
References: For more information on
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III.ii.3.1.j. Covered Entities Under HIPAA |
The entities listed below are covered entities under HIPAA.
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Introduction |
This topic contains information on the PMR retrieval program, including
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Change Date |
April 29, 2024 |
III.ii.3.2.a.Purpose of PMR Program |
The purpose of this program is to have a PMR contractor obtain PMRs by contacting PHPs and requesting the treatment records identified on the medical release form(s). Obtaining PMRs on behalf of a claimant begins when the claimant, fiduciary, or next of kin provides VA with
Reference: For more information on the PMR Program, see the |
III.ii.3.2.b. PMR Contractor Responsibilities |
The PMR Program was deployed nationally in November 2014, and was designed to work in collaboration with ROs to improve the receipt of medical records in support of Veterans’ or dependents of Veterans’ claims. The PMR contractor will process the medical release regardless of the benefit types from
Incoming medical release requests received through the Centralized Mail Portal (CMP) will be automatically processed by the PMR contractor via the VBA Automation Platform (VBAAP). Upon receipt, the PMR contractor will review the medical release forms to determine if the forms meet the processing requirements. The PMR contractor will develop any PMR release forms with sufficient information. The PMR contractor will also develop the PMR release form, if they can augment the form by obtaining the missing information from various VBA systems. Notes:
Reference: For more information on the PMR contractor contact information and responsibilities, see the PMR Resource Documents. |
III.ii.3.2.c. Medical Releases Not Processed by PMR Contractor |
There are several circumstances when the PMR contractor will not process the medical release. The contractor will create a Reject Notice which will be transmitted to the claims folder through VBAAP. Most commonly, this will occur when
Important: The RO employees who develop claims are required to review the rejected medical releases to ensure the medical release is truly incomplete and does not provide sufficient information that allows the PMR contractor the ability to process the form. Reference: For more information on how to handle medical release forms that are rejected by the PHP, see M21-1, Part III, Subpart ii, 3.2.h. |
III.ii.3.2.d. RO Leadership Responsibilities |
RO leadership is responsible for ensuring designated PMR Super Users complete the required training. The RO reserves the right to designate or replace assigned PMR Super Users. The RO must provide the PMR Program Management Office (PMO) staff with the contact information listed below for its designated PMR Super User and back-up Super User
Important: The PMR Super Users’ contact information must be current and should be reported to the PMR PMO. This includes a change to update the RO’s Super User, as necessary. References: For more information on PMR
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III.ii.3.2.e. PMR Super Users |
The ROs will identify PMR Super Users who will support the PMR contractor processing activity by
References: For more information on the
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III.ii.3.2.f. Uploading VA Forms 21-4142 and 21-4142a via QuickSubmit |
There are instances in which the PMR requests will not be directly received through the CMP. In these instances, the ROs will be responsible for uploading both forms via QuickSubmit for processing by the PMR contractor. QuickSubmit is a secure online website that will allow ROs to upload VA Forms 21-4142 and 21-4142a into the CMP so VBAAP can begin processing the requests. Important: VBAAP requires receipt of both the valid VA Form 41-4142 and 21-4142a to begin processing PMR requests. Claims processors must ensure that both documents are uploaded together when using QuickSubmit. Reference: For more information on how to gain access to QuickSubmit, see PMR Resource Documents. |
III.ii.3.2.h. Requests Rejected by the PMR Contractor |
When the PMR contractor is unable to remediate a PMR reject, VBAAP will generate a reject notice and upload it to the eFolder for further action by VA employees. Upon discovery of a reject notice, claims processors should
Exception: If the PMR reject cannot be resolved with information available in the claims folder or VA systems, the RO processing the claim will follow the instructions in M21-1, Part III, Subpart ii, 3.1.d, to resolve the issue. Important:
References: For more information on
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