LuxSci

Is GoDaddy HIPAA Compliant?

Go Daddy HIPAA Compliant

GoDaddy hosting services are not HIPAA compliant by default, as the company does not offer Business Associate Agreements (BAAs) for its standard hosting plans, which prevents healthcare organizations from legally storing protected health information on these platforms. While GoDaddy HIPAA compliant solutions don’t exist among their standard offerings, the company does provide some security features like SSL certificates and malware scanning. These measures alone do not meet the requirements for HIPAA compliance.

Standard GoDaddy Hosting Limitations

GoDaddy’s regular web hosting packages omit several elements necessary for HIPAA compliance. These plans operate in shared server environments where multiple websites run on the same physical hardware, creating potential data separation concerns. Backup systems provided with standard plans don’t guarantee the encryption needed for protected health information. Access controls in basic hosting packages lack sufficient permission settings and authentication measures required by healthcare regulations. The terms of service make no mention of healthcare data requirements or regulatory protections. Many healthcare websites mistakenly believe that simply adding SSL certificates to GoDaddy hosting satisfies compliance obligations.

Missing Business Associate Agreement

Every healthcare organization must secure a Business Associate Agreement before allowing any service provider to handle protected health information. GoDaddy does not provide BAAs for its shared, VPS, or dedicated hosting services. This absence makes it legally impossible to store patient information on GoDaddy platforms regardless of any additional security features implemented. Support documentation across GoDaddy’s website and knowledge base contains no references to GoDaddy HIPAA compliant options or BAA availability. This gap exists because GoDaddy primarily serves general business websites rather than industries with strict data protection regulations. Some healthcare groups incorrectly assume all major hosting companies automatically accommodate healthcare compliance needs.

Security Feature Gaps

GoDaddy includes various security elements that, while useful for general websites, don’t satisfy HIPAA standards. SSL certificates protect data during transmission but leave storage encryption unaddressed. Website malware scanning helps detect common threats but falls short of the monitoring needed for healthcare data. Available backup options offer no guarantees regarding encryption or access restrictions for the backup files. Account permission systems lack the detailed controls required for healthcare applications. Update processes for servers may not align with the patching timelines mandatory for systems containing sensitive health information. Given these shortcomings, GoDaddy remains unsuitable for websites handling patient data.

Finding HIPAA Ready Alternatives

Healthcare organizations can choose from several hosting options designed for regulatory compliance. Providers specializing in HIPAA compliant hosting build their infrastructure with healthcare requirements in mind and include BAAs as standard practice. These services typically feature server-level encryption, extensive access logging, and enhanced physical security measures protecting healthcare data. Major cloud platforms like AWS, Microsoft Azure, and Google Cloud support HIPAA compliant configurations with available BAAs. Many healthcare-focused hosting companies go beyond basic server space to include compliance guidance and support. While these specialized services cost more than standard GoDaddy plans, they contain essential compliance capabilities.

Acceptable GoDaddy Applications

GoDaddy hosting works well for healthcare-related websites that don’t collect or store protected health information. Public-facing websites sharing practice services, provider information, and location details can use standard hosting without compliance concerns. Marketing campaigns and educational resources without patient-related data remain outside HIPAA jurisdiction. Some healthcare organizations maintain two separate websites—using standard hosting for public information while placing patient portals on HIPAA compliant platforms. This division reduces expenses while ensuring appropriate protection for sensitive information. Organizations following this strategy must establish clear guidelines about what content belongs on each platform.

Choosing A Hosting Provider

When selecting hosting services, healthcare organizations should follow a structured evaluation approach. Any viable provider must offer Business Associate Agreements detailing their responsibilities under HIPAA regulations. The hosting environment should encrypt data both during transmission and while at rest on servers. System access should be limited to authorized personnel through proper authentication and permission controls. Activity monitoring should record user actions and system events thoroughly. Data centers require physical safeguards including restricted entry and environmental controls. Periodic security testing helps identify vulnerabilities before they lead to data breaches. Maintaining documentation of this evaluation process demonstrates diligence in selecting appropriate hosting partners.

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G2 Reports

LuxSci Earns 11 Badges in G2 Fall 2025 Reports, Including Best Support and Momentum Leader

We’re happy to share that LuxSci has once again been recognized for excellence in the G2 Fall 2025 Reports! Based entirely on verified customer reviews, LuxSci earned 11 G2 badges this season, highlighting our continued commitment to providing exceptional support, driving ROI for our customers, and delivering the best products.

 

From Best Estimated ROI to Momentum Leader, our performance on G2 is a direct reflection of the trust and success of our customers. Let’s take a closer look at what these new accolades mean and why they matter.

What Is G2 and Why Does It Matter?

G2.com is a trusted platform for peer-to-peer business software reviews. G2 publishes quarterly reports that analyze software companies based on verified customer feedback and real-world performance data. For the latest G2 reports, we’re honored to have earned 11 badges for Fall 2025.

Here’s What LuxSci Earned in Fall 2025

LuxSci was awarded a total of 11 badges across multiple categories. These honors reflect customer satisfaction, platform momentum, return on investment, and the quality of support we provide.

LuxSci’s G2 Fall 2025 Badges include:

 

  • Best Support (Secure Email Gateway)
  • Easiest Admin (Email Security)
  • Best Estimated ROI (Email Security)
  • Best Meets Requirements (Secure Email Gateway)
  • Momentum Leader (Multiple Categories)
  • High Performer (Email Encryption)
  • High Performer (Secure Email Gateway)
  • High Performer (Email Security)
  • Users Most Likely to Recommend (Secure Email Gateway)
  • Easiest To Do Business With (Email Encryption)
  • Easiest Setup (Email Encryption)

Why These Badges Matter

Let’s break down a few of the key categories and why they’re worth calling out:

Best Support

This badge shows we’re not just responsive—we’re reliable, helpful, and proactive. Our support team works around the clock to ensure customers feel heard and empowered. It’s a core part of our offering and overall customer experience.

Momentum Leader

This badge is awarded to companies showing significant growth in customer satisfaction, web presence, and employee growth. It means we’re not standing still—we’re scaling smartly, with our customers and partners in mind.

Best Estimated ROI

This one’s big. It means LuxSci offers exceptional value. Customers see real results that justify the investment. This includes secure email with 98% deliverability rates that truly drive better engagement for your healthcare communications and campaigns.

Built for Security and Compliance

At LuxSci, we don’t just build HIPAA compliant, enterprise-grade secure email and marketing tools—we build trusted relationships with our customers and partners. Our focus continues to be:

 

  • Protecting sensitive data with the highest levels of security and compliance
  • Building the best products, so customers have peace of mind
  • Providing unmatched customer support, every step of the way

We’re Not Slowing Down Anytime Soon

With security threats constantly evolving and compliance demands increasing, the need for secure, HIPAA compliant email and communications has never been greater. Whether you’re in healthcare, or regulated industries like financial services, LuxSci is here to ensure your communications stay secure, high-performing, and supported.

 

We’re proud to serve a growing base of professionals who rely on LuxSci every day to keep their sensitive data secure. Want to see what the buzz is about?

 

Explore LuxSci on G2

 

Contact us today to see how we can help you!

Business Associate Agreement

Understanding Business Associate Agreements (BAAs) and Shared Responsibility

Modern-day healthcare organizations rely on a growing array of partners and vendors to provide them with the tools they need to effectively serve patients and customers. 

 

However, while new digital solutions and healthcare ecosystems often result in greater productivity and efficiency, they also increase the number of third parties a company must communicate with and share protected health information (PHI), requiring a business associate agreement (BAA). Unfortunately, this increases the risk of PHI being exposed, as it increases a healthcare organization’s supply chain network and the number of external organizations with access to their data, significantly raising the risk of a security breach. 

 

This is where the concept of shared responsibility comes in. 

 

In this article, we explore the shared responsibility model for data security, explaining the concept, the role of a BAA in shared responsibility, and why healthcare companies need to know how it works and where it factors into their HIPAA compliance efforts. 

What Is The Shared Responsibility Model? 

Shared responsibility is a core data security principle that divides the responsibility for protecting data between a company that collects the data and a vendor that supplies the infrastructure or systems used to process said data.

 

The shared responsibility model grew in prominence as more companies moved to cloud-based environments and applications. In the past, when companies kept their systems and data onsite, they had more control over who could access their data and, subsequently, a better ability to mitigate data security risks.

 

However, in adopting cloud-based infrastructure and applications, companies have to process and store their data in the cloud – often in shared infrastructure with other vendors using the same cloud – which consequently shifts some of the responsibility of information security to the cloud service provider (CSP) itself. This marked a profound shift in the way data was handled, transmitted, and stored – necessitating an evolved approach to data security. 

 

This fundamental shift in the way companies consume infrastructure and use apps ushered in the shared responsibility model: Where the cloud vendor provides the infrastructure or application, including HIPAA compliant and high secure environments, but it’s still the responsibility of the client to configure and use it securely. 

Business Associate Agreements (BAAs) and Shared Responsibility

By detailing the respective responsibilities of healthcare companies or Covered Entities (CEs) and their vendors or Business Associates (BAs) in securing PHI, a Business Associate Agreement is a prime example of shared responsibility. 

 

For example, the Business Associate shoulders the responsibility of providing the data safeguards required by HIPAA to secure patient data, such as infrastructure, encryption, audit logging, and even physical onsite security.

 

The Covered Entity, meanwhile, is responsible for conducting risk assessments, defining access control policies and processes, configuring services accordingly, workforce training, and continuous monitoring.

Additionally, both parties have the obligation to report security incidents to each other, as well as being independently accountable to the U.S. Department of Health and Human Services (HHS).

Why Shared Responsibility Is Essential for HIPAA Compliance

For healthcare companies, having a firm grasp of the shared responsibility model for safeguarding and securing PHI, and how they fit within your overall security posture is essential (for two key reasons).  

Security Gaps

Firstly, clearly understanding the shared responsibility decreases the likelihood of security gaps. If CEs are under the impression that the vendor handles all aspects of data security, they won’t be as vigilant. They’ll be less inclined to configure services, educate their staff accordingly, pay appropriate attention to vendor security alerts, etc. 

 

But the same is also true for BAs: If they assume their client does most of the heavy lifting in securing the data disclosed to them, they could be remiss in their duties to protect it. Without shared responsibility, each side simply assumes the other is covering a safeguard, opening the door for security gaps that malicious actors can exploit.

 

Fortunately, by detailing both parties’ (CEs and BAs) responsibilities and liabilities regarding data protection, a BAA removes this ambiguity and, more importantly, reduces the risk of security gaps. It’s critical to know the details and work with vendors building products for compliance versus implementing a tick-box approach to compliance that places too much burden on the CE.

Covered Entities (CEs) Are Ultimately Accountable

Subsequently, the second reason why it’s essential for CEs to understand the shared responsibility model, and increase their cybersecurity readiness accordingly, is that it’s the CE that’s ultimately held accountable for data breaches. 

 

Mistakenly thinking that a BAA automatically makes them compliant may result in healthcare companies underinvesting in training, monitoring, and incident response. Conversely, understanding that even with a BAA in place, they’re the ones primarily accountable for protecting PHI gives them a greater sense of urgency to properly implement HIPAA compliant security measures. 

The Covered Entity’s Role Within Shared Responsibility

Let’s look at the ways that healthcare companies have to hold up their end in the shared responsibility model. 

Choose Compliance-Conscious Vendors 

First and foremost, companies have to choose the right vendors to supply them with HIPAA compliant services and solutions.

 

Look for companies that market themselves as HIPAA compliant and display a detailed understanding of HIPAA requirements, particularly the HIPAA Security Rule. Do your due diligence and perform deeper dives on potential vendors, researching their stated security features, reviews from existing clients, whether they have certifications like HITRUST – and if they’ve been involved in any data breaches. 

 

Naturally, a core prerequisite of being a HIPAA compliant vendor is being willing to sign a BAA, so you can immediately rule out any vendors not willing to do so. For instance, some healthcare companies may assume they can use widely adopted solutions such as SendGrid, Mailchimp, but they don’t offer a BAA. 

 

Once you’ve confirmed a vendor offers a BAA, look through it to establish its terms and determine if it covers the services you’re interested in. 

Configuration 

Another core component of shared responsibility is comprehensive configuration management. While the BA’s responsibility is to provide a secure solution that satisfies HIPAA requirements, it’s the CE’s responsibility to configure it securely to fit within their IT ecosystem. 

Features that often require configuration include: 

 

  • Access control: Role-based access, Zero Trust, Multi-Factor Authentication (MFA).
  • Encryption settings: Enabling encryption, choosing encryption type, enforcing forced TLS, enabling storage encryption.
  • Feature restrictions: Disabling default configurations that enable integration with non-compliant tools. 
  • Audit logging: Enabling audit logging and configuring log formats.
  • Retention settings: How long to retain audit logs and who is permitted to review them.

Finally, establishing a patch management strategy, i.e., when and how your organization applies software updates, is an important element of configuration.  While the vendor must release updates to fix security vulnerabilities discovered in their solutions, it’s up to healthcare companies to deploy the patches. 

Training

Regardless of how many security features a vendor bakes into their solutions, once deployed by a healthcare company, the tool is only as secure as the practices of their least security-conscious employee. Consequently, companies must train their staff on how to properly use a solution to process protected health information and sensitive data. The more an employee is required to handle PHI, the more thorough and frequent their training should be. 

 

Key aspects of comprehensive cybersecurity training include:

 

  • Common cyber threats: what the most prevalent cyber threats are and how to recognize them.
  • Incident response: how to report a suspected security incident, i.e., who to contact and when. 
  • Specific solution training: how to securely use systems that process PHI
  • Scope awareness: knowing which services within your organization’s IT ecosystem are HIPAA-compliant and which are not

Reporting 

Although both healthcare companies and BAs have notification obligations to the HHS in the event of a data breach involving PHI, it’s the CE that bears most of the investigative burden. 

 

Firstly, while a BA may report a security incident, it’s the CE’s responsibility to conduct a risk assessment to determine the probability of compromise of PHI, assess risk, and determine whether an official notification of a breach to HHS is necessary.

 

Secondly, BAs must notify the CE without unreasonable delay and no later than 60 days after discovery. Although BAs often wait to complete internal investigations before notifying the CE, the CE’s 60-day clock starts upon the BA’s discovery, not upon the BA’s report. Therefore, BA delays can create compliance risks for the CE.

 

To prevent this, where possible, you can include stricter contractual reporting timelines in the BAAs. This constantly keeps your company in the loop, ensuring you have sufficient lead time to complete your own investigations and your HIPAA-regulated deadlines.

LuxSci – Secure Healthcare Communications

Developed specifically to fulfil the stringent regulatory and ever-evolving data security needs of the healthcare sector, LuxSci’s secure email, text, marketing and forms solutions help companies protect PHI and personalize communications.  

 

Equally as importantly, instead of leaving you to “figure it out” – pushing additional responsibility back onto your company – LuxSci has a reputation for the best customer support in the business, offering onboarding, detailed documentation, secure default configurations, and ongoing support to help navigate the murky waters of HIPAA compliance, while getting best-in-class performance out of your solution.

 

Contact LuxSci today to learn more or get a demo.

HIPAA Compliant Email

Signing a BAA Does Not Automatically Make You HIPAA Compliant

For healthcare organizations, choosing the right product and service vendors is essential for achieving HIPAA compliance. One of the key prerequisites of a HIPAA-compliant vendor is the willingness to sign a Business Associate’s Agreement (BAA): a legal agreement that outlines both parties’ responsibilities and liabilities in securing protected health information (PHI). 

However, despite what some healthcare organizations have been led to believe, simply signing a BAA with a vendor doesn’t guarantee your use of their product or service will be HIPAA-compliant. In reality, a BAA is just the beginning, and there are several subsequent actions both healthcare organizations and their supply chain partners must take to ensure the compliant use of PHI, especially over communications channels like email. 

With this in mind, this post explores some of the reasons why signing a BAA on its own doesn’t ensure the security of PHI and protect your organization from HIPAA violations.

Business Associate Agreements (BAAs) Explained 

As touched upon above, a BAA is a legally-binding document established between a covered entity (CE), i.e., healthcare organizations, and a business associate (BA), i.e, any company that handles PHI in providing a CE with products or services. For a BA to handle patient or customer data on behalf of a CE, following HIPAA regulations, there must be a BAA in place. 

A BAA details:

  • Each party’s roles, responsibilities, and liabilities in securing PHI.
  • The permitted uses of PHI by the BA and, conversely, restrictions on any other use.
  • The BA’s responsibilities in implementing appropriate administrative, technical, and physical security measures to best protect PHI.
  • The BA’s obligations to report any unauthorized use, disclosure, or breach of PHI.
  • That the BA is required to assist with patient rights support, i.e., data access, amendments, and accounting of disclosures, when appropriate.
  • The BA’s obligations in making records available for audits or investigations.  
  • The CE’s right to terminate the contract if the BA fails to fulfil their obligations in safeguarding PHI.

Additionally, if a BA employs a third-party company, i.e., a subcontractor, that will have access to a CE’s PHI, they are required to establish a BAA with that company. This then makes the subcontractor a “downstream BA” of the CE, and subject to the same obligations and restrictions placed on the original BA. This ensures the security protections mandated by HIPAA flow down the entire chain of custody for sensitive patient and customer data.

Compliance Considerations After Signing a Business Associate Agreement (BAA)

Now that we’ve covered what a BAA is and the role it plays in ensuring data privacy, let’s move on to exploring some of the key things you have to do following the singing of a BAA to ensure HIPAA compliance.  

1. Both Parties Must Implement HIPAA-Required Data Risk Mitigation Measures 

    First and foremost, while a BAA details each party’s respective responsibilities in implementing measures to protect PHI, both still actually need to implement those required security features to achieve HIPAA compliance. 

    The measures required under HIPAA’s Security Rule, including encryption and access control, are designed to mitigate and minimize the impact of data breaches. So, if a company suffers a security breach and later audits show the required security policies and controls were not in place, they would be subject to the consequences of HIPAA violations, including fines and reputation damage.   

    Also, while a BAA stipulates that the BA is responsible for implementing the HIPAA-required safeguards for the PHI under their care, it doesn’t specify exactly which security measures they must implement. Subsequently, that’s left to the BA to interpret based on their understanding of HIPAA requirements, and how they conduct their required risk assessments.

    For example, if you have a BAA with your email services provider, that alone may not be enough to keep your company or organization HIPAA compliant. That’s because the provider may not have the security measures your organization needs, and instead have a carefully worded BAA that will leave you vulnerable.

    Let’s say your email marketing service provider is a “semi-HIPAA compliant” provider. In these cases, they may not offer email encryption, or the necessary access control measures your organization needs to send PHI and other sensitive information safely. The so-called HIPAA compliance may be limited only to data stored at rest on their servers only.

    In short, although a BAA outlines each party’s commitment to securing data, both parties still have to follow through on implementing risk mitigation measures. Additionally, though a healthcare company has its BA’s assurances that they’ll have the appropriate safeguards in place, CEs often only have limited visibility into its ongoing security posture. As a result, asking the right questions and working with a proven HIPAA compliant provider are critical steps healthcare organizations must take to ensure full compliance.

    2. CEs Must Stick to “In-Scope” Services

      While a BA may provide a CE with a range of services, many limit the coverage of their BAAs to particular “in-scope” services. As a result, if a healthcare organization were to use a service outside the coverage of the BAA, i.e., an “out-of-scope” service, they’d risk exposing patient data and incurring HIPAA violations.

      And, even when a service is in-scope, the BA is still required to configure it properly for it to be compliant. These configurations could include:

      • Enabling encryption
      • Establishing access control
      • Activating multi-factor authentication (MFA)
      • Turning on audit logging 

      With this in mind, it’s crucial to ensure that the “complete” service or tool – not just a part of it – is covered by a BAA before using it to process PHI. Similarly, check the terms of your BAA for configuration or security best practices that offer guidance on fully HIPAA compliant use, and make sure your responsibilities as a CE are 100% clear.

      3. Staff Must Be Trained to Securely Handle PHI 

        Another key reason that signing a BAA doesn’t automatically result in HIPAA compliance is the likely need for both parties to educate their staff on how to securely handle sensitive data, such as PHI.

        Firstly, as discussed above, only some of the services offered by a BA may be covered by its agreement. Subsequently, a healthcare organization’s employees need to be sufficiently trained on the use and disclosure of PHI, namely, the services in which they’re permitted to process PHI and which, in contrast, services are non-compliant.

        By the same token, as well as implementing the stipulated safeguards, BAs are responsible for training their workforce on how to use and, where appropriate, configure them. This will help ensure the limited, correct use and disclosure of PHI as allowed by the BAA. 

        4. Reporting Requirements

          A BAA stipulates that a BA must notify the CE in the event of improper or unauthorized use of PHI. More specifically, this includes: 

          • Reporting immediately any use or disclosure not permitted by the terms of the BAA.
          • Notifying the CE of security incidents resulting in the potential exposure of  PHI.

          However, the commitment to reporting in the BAA and the ability to deliver on that commitment are two different things entirely. Firstly, the BA must implement the policies and infrastructure that allow for timely incident reporting. This includes conducting risk analysis, implemeting continuous monitoring, and developing a robust incident response plan. 

          Additionally, a key aspect of prompt, comprehensive reporting includes the BA ensuring that their staff are sufficiently trained to detect and report security events. As part of their training on the secure handling of PHI, a BA’s employees must be able to recognize common security issues and threats, such as improper email configurations and phishing attempts, and how to report them.

          5. Subcontractor BAAs

            While CEs must sign BAAs with their BAs for the compliant use and disclosure of PHI, they don’t have to sign such agreements with any subcontractors the BA may employ. Instead, it’s the responsibility of the BA to enter into their own business associate agreements with their subcontractors. As a result, the original security obligations are passed all the way down the data’s chain of custody. 

            While a CE can take certain measures to enforce this, such as requesting proof of subcontractor BAAs – or even the ability to review subcontractors before beginning engagement – ultimately, they have little control over their security postures. Ultimately, this means that they have to trust that the original service BA does their due diligence in selecting security-minded subcontractors, with the right PHI safeguards in place.  

            HIPAA Compliance Beyond a BAA with LuxSci

            LuxSci’s secure healthcare communications solutions – including HIPAA compliant email, text, marketing and forms – are designed specifically with the stringent compliance requirements of the healthcare industry in mind. 

            LuxSci also provides onboarding, comprehensive documentation, and support to ensure your infrastructure configurations align with HIPAA requirements, so you can confidently include PHI in your healthcare engagement communications campaigns.

            Contact LuxSci today to discover more about achieving compliance beyond obtaining a BAA.

            healthcare marketing

            How Hypersegmentation Drives Greater Healthcare Marketing Engagement

            In healthcare marketing, effective engagement is crucial. It’s imperative that healthcare providers, payers, and suppliers know how to connect with their patients and customers, keeping them aware of all aspects of their healthcare journey – and empowering them to participate as much as possible. 

            This is where segmentation comes in. 

            Instead of sending out healthcare marketing email communications that appeal to as many people as possible, segmentation enables healthcare companies to appeal to specific individuals or groups. It opens the doors for scenarios in which patients and customers see a message in their inbox and think, ‘this message is for me’. 

            With that goal in mind, this post explores use cases and best practices in segmentation, why it’s so important for healthcare companies, and different ways that marketers can segment their audiences for optimal patient and customer engagement.

            What is Segmentation?

            Segmentation is the process of dividing your contact list, or audience, into smaller groups based on shared data, including protected health information (ePHI) characteristics. This could include demographics (age, gender, geographic location, etc.), medical conditions, risk factors, behaviors, and so on. 

            Why Segmentation is Essential in Healthcare Email Marketing

            For healthcare organizations, segmentation is a highly effective, and essential, strategy for sending patients and customers personalized email messaging. Personalized emails are more relevant to the recipient, which greatly increases the chance of them capturing their attention and subsequent engagement. 

            This allows healthcare companies to successfully achieve the objective of their email campaigns, whether that’s reducing the number of appointment no-shows, increasing adherence to care plans, securing payments, or boosting sign-ups or sales. More importantly, patients and customers are more involved in their healthcare journey, staying on top of upcoming appointments, receiving applicable advice and recommendations, and becoming aware of products and services that may prove beneficial to their health, improving overall outcomes. 

            Additionally, dividing audiences into distinct groups gives healthcare organizations invaluable insights into the behaviour and needs of different segments at different stages of the healthcare journey. 

            For instance, an email campaign targeting a particular segment may reveal that they’re more likely to miss appointments than other groups. Similarly, segmentation may highlight that a certain high-risk group neglects to book recommended health screenings. Such insights enable healthcare providers, payers, and suppliers to improve their email engagement strategies, to drive more desirable outcomes and, ultimately more satisfied, loyal, and, above all, healthier patients and customers. 

            How Can Segmentation Aid HIPAA Compliance?

            Another considerable benefit of segmentation for healthcare organizations is that it supports their HIPAA compliance efforts. Because segmentation necessitates setting precise rules that control which individuals receive particular emails, it greatly mitigates the risk of accidentally sending sensitive patient data to the wrong person. 

            Let’s say, for instance, that you want to conduct an email campaign targeting expectant mothers. By creating a segment comprised of pregnant patients or customers using the appropriate data field, you ensure that sensitive, pregnancy-related information is only sent to relevant parties. By reducing the likelihood of disclosing PHI to the wrong individuals, segmentation not only helps maintain regulatory compliance, but also preserves patient trust and confidence in your organization.

            Different Ways to Segment Your Audience 

            Demographic Segmentation

            This involves grouping individuals by shared demographic attributes such as:

            • Age
            • Gender
            • Location
            • Ethnicity
            • Education Level
            • Employment Status
            • Marital Status
            • Family Status
            • Socioeconomic Status (Income)
            • Spoken Languages / Preferred Language
            • Income
            • Insurance Coverage Type
            • Religious or Cultural Affiliations

            Demographic information is a very powerful way to segment audiences to send them valuable, highly relevant information, for example:

            • Sending mammogram or prostate screening recommendations to women or men over a certain age. 
            • Sending health alerts to people in a certain region or ZIP code in response to the emergence of a disease in their area (e.g., flu, a new COVID strain). 
            • Making educational material easy to understand and informative. 

            Clinical Segmentation

            Here, individuals are grouped according to medical criteria, such as:

            • Health conditions
            • Prescribed medications
            • Treatment plans
            • Recent surgeries or medical procedures 
            • Recent lab test results
            • Hospitalization history
            • Vaccination status

            This enables healthcare organizations to craft a wide range of specific communications that hone in on particular patients and customers, including:

            • Disease management and preventative care advice for people suffering from certain conditions, e.g, how diabetic patients can best monitor and manage their blood sugar.
            • Recovery guidance for post-operative patients. 
            • Feedback requests for individuals on particular treatment plans, in an effort to optimize them. 

            Healthcare Journey Stage Segmentation

            This divides individuals according to their position in their care journey within your organization. 

            For healthcare providers, new patients should receive onboarding materials, explanations of services and how to make the most of them, and similar materials that help them feel welcome and informed. Existing patients, meanwhile, can be further segmented into active, overdue (inactive), or high-risk groups – all of which have different needs and ways in which they should be communicated with: 

            • Active patients: appointment reminders, educational materials, event and service recommendations, satisfaction surveys, etc. 
            • Overdue and inactive patients: appointment or payment reminders, re-engagement communications, etc. 
            • At risk patients: more frequent communications, care coordination messages, or support service referrals

            Behavioral Segmentation

            This method of segmentation is based on how recipients interact with emails or services, including:

            • How often they open emails.
            • If they click through on links.
            • If they use patient portals.
            • If they complete forms.
            • How often they attend scheduled appointments. 

            This segmentation empowers healthcare organizations to tailor the content type, frequency, and calls-to-action based on real engagement insights, and also carry out automated workflows based on each individual’s interaction with an email.

            Supercharge Your Segmentation with LuxSci

            LuxSci’s empowers healthcare organizations to effectively segment their contact lists into distinct target audiences for greater engagement in the following ways:  

            • LuxSci Secure Marketing features powerful hypersegmentation capabilities for granular targeting that increase opens, clicks and conversions for your healthcare marketing campaigns. 
            • LuxSci Secure High Volume Email enables companies to execute campaigns encompassing hundreds of thousands or millions of emails, targeting specific groups and audiences. 
            • Easy integration with EHR, CDP, and CRM systems to leverages deeper levels data for highly targeting, highly personalized email campaigns. 

            Reach out today to learn how LuxSci can help you reach more patients and customers, drive more engagement and conversions, and improve overall outcomes.

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            LuxSci Email EOBs

            How Insurers Can Save Millions Per Month with Secure Email EOBs

            Have you looked into what it’s costing your company to snail mail EOBs these days?

            EOBs give an individual an increased understanding of their insurance coverage, the cost of care, and their out of pocket expenses. As a result, it’s absolutely critical that health insurers deliver EOBs quickly and effectively.

            However, the most commonly used method for sending out EOBs, traditional mail or snail mail, has several drawbacks that can prevent important information about healthcare coverage from reaching people in a timely manner – not to mention the high cost insurers take on to send them. This can leave policyholders in the dark about their healthcare coverage, which can lead to confusion and dissatisfaction with their insurance provider when they receive an unexpected medical bill. 

            Furthermore, because EOBs contain the protected health information (PHI) of policyholders or members, insurers are bound by HIPAA (the Health Insurance Portability and Accountability Act) regulations to ensure their secure delivery. Consequently, the risks inherent to sending paper EOB statements in the mail not only have security implications but also potential consequences for non-compliance.  

            With all this in mind, this post discusses why healthcare insurers should send EOBs to their policyholders via secure email instead of traditional mail. We detail the various benefits of making the switch to email EOBs, which include enhanced security, better adherence to compliance regulations, higher deliverability rates, and significant cost savings. 

            Security Benefits

            Insurance companies that send out EOBs via email as opposed to traditional mail are less likely to be at risk for a data breach or leak of PHI.  Firstly, sending an EOB via email drastically decreases the risk of interception. When sent in paper form, an EOB could be:

            • Lost, stolen or damaged in transit
            • Delivered to the wrong address
            • Not properly deposited in a letter or mailbox, then stolen
            • Intercepted within the intended address by another individual who lives at or has access to the residence. 

            Conversely, as detailed later in this post, email allows for various controls and processes, which mitigate the risks of unsuccessful message delivery.

            Additionally, secure, HIPAA compliant email provides data encryption, which safeguards the sensitive patient data within EOBs during transmission and at rest by rendering it unreadable to malicious actors who might intercept it or gain access to it. Physical mail, in contrast, offers no such protection, as someone who intercepts a paper EOB notice can simply open it and freely read its contents. 

            Finally, secure email delivery platforms, such as LuxSci, feature identity verification and access controls that enable healthcare insurers to restrict access to PHI, limiting its exposure. Similarly, HIPAA compliant email also provides auditing logging capabilities to track access to patient data, to quickly identify the source of security breaches.

            Increased Delivery

            Once a person opts-in, sending an EOB by email greatly increases its deliverability, up to 98% or more – almost instantly. By better ensuring a policyholder receives their EOBs, healthcare insurers increase the chance of successfully communicating the intended information they contain, namely, the cost of a service and how much they’re required to cover.

            Additionally, the ability to track secure email in near real-time also enhances its deliverability, as it allows organizations to determine the cause of delivery failure and make subsequent attempts to get the EOB delivered. At the same time, the process of determining the reason for the message failure may also reveal security concerns; a process that is very difficult, if not impossible, to achieve with traditional physical mail.

            Radical Cost Savings 

            Simply put, sending EOBs via email instead of traditional mail can save health insurers massive amounts of money. By saving a dollar or more per EOB, the cost savings can quickly add up to millions of dollars per month in savings.

            If you’re curious about just how much you can save with email EOBs, try our just-released email EOB ROI calculator. You can see how much your company can save with just a 30 percent shift from physical mail EOBs to email, in a few seconds.

            Try the EOB Calculator here

            The most significant cost reduction is the money saved on printing and mailing paper EOB statements. Additionally, the cost of administering the delivery of EOB notices is lowered when it’s done electronically. Resending EOBs in the event of their non-delivery also is much easier, faster and cheaper via email.

            Compliance Benefits

            Because sending an EOB via email requires HIPAA compliance, your communications are encrypted by default, protecting patient privacy and keeping PHI out of the hands of malicious actors, all while reducing the risk of HIPAA compliance violations. The security features built into HIPAA compliant email platforms, such as encryption, access control, and audit logs, help insurers satisfy the requirements of HIPAA’s Privacy and Security Rules in their compliance efforts.  

            Another considerable benefit of using secure email to send policyholders their EoBs, or, in fact, any communication containing PHI, is that it’s far easier to implement breach notification protocols. HIPAA compliant email delivery platforms provide real-time tracking, so companies can pinpoint email message failures quickly and act accordingly. Similarly, intrusion detection systems and other cybersecurity measures that support email systems enable the faster detection and containment of data breaches. 

            In stark contrast, physical mail is far more difficult to track. Consequently, security breaches via mail could go unnoticed for days or even weeks. If you’re unaware of a data breach, let alone have not yet contained or mitigated it, you’re unable to inform all affected parties, resulting in further HIPAA violations and a loss of customer trust. 

            Reduced Carbon Footprint

            It’s difficult to highlight the cost benefits of sending EOBs to policyholders by email without recognizing the positive environmental impact, too. Email EOBs cuts down on paper usage, for both the notices themselves and the envelopes they’re mailed in. Then there’s the matter of the electricity and ink involved in printing them, the emissions produced in their delivery, etc.  Opting to send EOBs via email reduces all these factors, which enables healthcare organizations to lower their carbon footprint and, where applicable, meet their sustainability obligations. 

            Now’s the Time to Move to Email EOBs

            LuxSci’s HIPAA compliant Secure High Volume Email solution enables healthcare insurers to instantly send EOBs to policyholders securely and at scale, extending into hundreds of thousands and millions of messages a month. 

            Our HIPAA compliant email delivery platform features:  

            • Dedicated IPs that isolate critical transactional messages, such as EOBs, from other email traffic, allowing our clients to reach deliverability rates of 98% or more. 
            • Real-time tracking for determining the delivery status of EOBs, as well as troubleshooting unsuccessful delivery attempts.
            • Flexible encryption through LuxSci’s proprietary SecureLine Technology, which automatically adjusts encryption according to the recipient to better ensure the protection of sensitive data, including for EOBs or any sensitive healthcare communication.

            Contact us today to learn more about how your organization can begin the transition to electronic EoBs, reducing costs and improving the customer experience.

            device HIPAA compliant

            What Makes a Device HIPAA Compliant?

            No single feature makes a device HIPAA compliant, as compliance derives from a combination of security controls, administrative policies, and appropriate usage practices. Healthcare organizations must implement encryption, access restrictions, and monitoring capabilities to ensure devices handling protected health information meet regulatory requirements. While manufacturers may advertise “HIPAA compliant” products, the responsibility for maintaining HIPAA compliant status ultimately rests with the healthcare organization through proper configuration, management, and usage in clinical environments.

            Physical Security Requirements

            Healthcare technology requires physical protections to prevent unauthorized access to patient information. Organizations aiming to render a device HIPAA compliant should consider location restrictions that limit where equipment can be used or stored. Physical safeguards include screen privacy filters that prevent visual access from unauthorized viewers, device locks securing equipment to fixed objects, and controlled access to areas containing sensitive technology. For portable devices, theft prevention features like tracking software and remote wiping capabilities provide additional protection. These physical controls complement other measures to create more complete security for healthcare devices.

            Data Encryption Implementation

            Encryption is a requirement for becoming fully HIPAA compliant in healthcare settings. Organizations should implement full-disk encryption that protects all information stored on device hard drives or solid-state storage. For devices transmitting data across networks, communications encryption using current protocols prevents interception during transmission. Mobile devices particularly benefit from encryption since they face higher risks of loss or theft. Many healthcare organizations establish minimum encryption standards that all devices must meet before connecting to clinical systems or accessing patient information. Proper encryption key management ensures data remains accessible to authorized users while maintaining protection from unauthorized access.

            Access Control Systems

            Controlling who can use devices and access the information they contain forms an essential part of compliance. Healthcare organizations typically establish access policies supporting HIPAA compliant operations requiring unique identification for each user. Authentication methods range from passwords or PINs to biometric verification like fingerprint scanning or facial recognition. Automatic timeout features terminate sessions after periods without activity. Role-based permissions restrict what information different users can view based on their job functions. These layered access controls help prevent both external threats and inappropriate internal access to sensitive patient data.

            Mobile Device Management

            Mobile technology presents unique compliance challenges due to portability and varied usage contexts. An approach to HIPAA compliant management includes mobile device management (MDM) solutions that enforce security policies across smartphones, tablets, and laptops. These management systems can remotely configure security settings, install updates, and even wipe devices if lost or stolen. Application controls limit which programs can be installed or access protected health information. Many organizations implement container solutions that separate personal and clinical applications on the same device. These management capabilities provide consistency across diverse mobile platforms while adapting to healthcare workflows.

            Audit and Monitoring Capabilities

            HIPAA regulations require tracking access to protected health information, making monitoring important for device HIPAA compliant certification. Devices handling patient data should maintain logs recording user activities, data access, and system events. Security monitoring tools analyze these logs to identify unusual patterns that might indicate unauthorized access. Vulnerability scanning helps identify security weaknesses before they lead to data breaches. These monitoring capabilities not only help detect potential security incidents but also provide documentation of compliance efforts during regulatory reviews or audits.

            Maintenance and Update Procedures

            Maintaining device HIPAA compliant status requires ongoing attention to emerging security threats and vulnerabilities. Organizations should establish procedures for promptly applying security patches and updates to all devices accessing protected health information. Asset management systems track which devices need updates and verify completion. End-of-life policies ensure obsolete devices that can no longer receive security updates are removed from clinical use. Lifecycle planning addresses hardware and software obsolescence before it creates security gaps. These maintenance procedures help ensure that devices remain compliant throughout their operational lifespan in healthcare environments.

            Best Secure Email Hosting

            What Is The Best Secure Email Hosting For Healthcare Organizations?

            The best secure email hosting for healthcare organizations provides encrypted data storage, HIPAA-compliant infrastructure, redundant security measures, and reliable uptime guarantees that protect patient information while supporting clinical and administrative communication needs. Healthcare providers, payers, and suppliers require email hosting solutions that maintain data security during storage and transmission while offering the performance and reliability needed for patient care operations. Selecting the best secure email hosting involves evaluating infrastructure security, compliance certifications, data center locations, backup procedures, and technical support capabilities. Understanding how different hosting approaches address regulatory requirements and operational needs helps healthcare organizations choose platforms that protect patient data while maintaining efficient communication workflows.

            Infrastructure Security And Data Protection Features

            The best secure email hosting implements multiple layers of physical and logical security controls to protect healthcare email data from unauthorized access and cyber threats. Data center facilities feature biometric access controls, 24/7 security monitoring, and environmental protections that prevent unauthorized physical access to servers storing patient communications. Redundant power systems, climate controls, and fire suppression systems protect email infrastructure from environmental hazards and equipment failures. Server-level security includes hardened operating systems, regular security patches, and network segmentation that isolates email systems from other applications and potential attack vectors. The best secure email hosting uses enterprise-grade firewalls, intrusion detection systems, and anti-malware protection to prevent unauthorized network access and malicious software infections. Encrypted storage protects email data at rest using advanced encryption algorithms that render information unreadable even if storage devices are compromised.

            Network security measures include secure transmission protocols, virtual private networks, and traffic monitoring that protect email communications during transmission between servers and user devices. Database encryption protects email metadata, user credentials, and configuration information from unauthorized access. Regular vulnerability assessments and penetration testing help identify and address potential security weaknesses before they can be exploited by attackers.

            HIPAA Compliance And Regulatory Requirements

            Good secure email hosting maintains comprehensive HIPAA compliance programs that address administrative, physical, and technical safeguards required for protecting electronic protected health information. Business associate agreements clearly define responsibilities for protecting patient data, incident reporting procedures, and audit requirements that support healthcare organization compliance efforts. Hosting providers maintain documentation of security measures, staff training programs, and compliance monitoring activities.

            Audit logging capabilities track all access to email systems, including user logins, message access, administrative changes, and system maintenance activities. The best secure email hosting provides detailed audit reports that healthcare organizations can use to demonstrate compliance during regulatory reviews and investigations. Log retention policies ensure that audit information remains available for required periods while protecting stored data from unauthorized modification.

            Risk assessment procedures evaluate potential threats to email systems and implement appropriate safeguards based on the likelihood and potential impact of security incidents. Regular compliance monitoring verifies that hosting infrastructure continues meeting HIPAA requirements as technology and regulations evolve. Incident response procedures address potential security breaches with notification protocols and remediation steps that minimize harm to patient information.

            Data Center Locations And Backup Procedures

            Geographic diversity of data centers provides redundancy and disaster recovery capabilities that ensure email availability during regional emergencies or infrastructure failures. The best secure email hosting maintains multiple data center locations with real-time data replication that enables rapid recovery from hardware failures or natural disasters. Load balancing distributes email traffic across multiple servers to prevent performance degradation during peak usage periods.

            Backup procedures include automated daily backups, offsite storage, and regular restoration testing to verify data recovery capabilities. Backup encryption protects archived email data using the same security standards applied to active email systems. The best secure email hosting maintains multiple backup copies across geographically separated locations to protect against simultaneous failures at multiple sites.

            Recovery time objectives define maximum acceptable downtime for email services, while recovery point objectives specify acceptable data loss limits during disaster recovery scenarios. Service level agreements guarantee specific uptime percentages and response times for addressing technical issues. Regular disaster recovery testing validates backup and restoration procedures to ensure rapid email service recovery when needed.

            Performance Monitoring And Technical Support

            Performance monitoring systems track email server response times, message delivery rates, and system resource utilization to identify potential issues before they affect user experience. The best secure email hosting provides real-time performance dashboards that healthcare organizations can use to monitor their email system status and identify usage patterns. Capacity planning ensures that email infrastructure can accommodate growing user bases and increasing message volumes.

            Network monitoring detects connectivity issues, bandwidth constraints, and routing problems that could affect email delivery or access. Server monitoring tracks hardware health, software performance, and resource utilization to prevent system failures and optimize email performance. Database monitoring ensures that email storage systems maintain optimal performance and data integrity.

            Technical support includes 24/7 availability, escalation procedures, and expertise in healthcare email requirements and HIPAA compliance issues. The best secure email hosting provides multiple support channels including phone, email, and online chat with guaranteed response times for different severity levels. Support staff receive training on healthcare privacy requirements and can assist with compliance questions and technical issues specific to medical communication needs.

            Cost Analysis And Service Agreements

            Pricing models for secure email hosting include per-user subscriptions, storage-based fees, and enterprise agreements that accommodate different organizational sizes and usage patterns. The best secure email hosting offers transparent pricing without hidden fees for security features, compliance support, or technical assistance. Cost comparisons should include hosting fees, implementation costs, ongoing support expenses, and potential savings from avoiding HIPAA violations.

            Service level agreements define uptime guarantees, performance standards, support response times, and penalties for service failures. Contract terms should address data ownership, termination procedures, and data return or destruction requirements when hosting relationships end. The best secure email hosting provides flexible contract options that accommodate changing organizational needs and budget constraints.

            Total cost of ownership calculations include hosting fees, technical support costs, compliance monitoring expenses, and staff training requirements. Return on investment analysis should consider improved email security, reduced IT infrastructure costs, enhanced disaster recovery capabilities, and decreased risk of data breaches. Long-term cost projections help healthcare organizations budget for email hosting services and plan for future scalability needs effectively.

            Healthcare Marketing Compliance

            What Are HIPAA Rules For Healthcare Insurance Companies?

            HIPAA rules for healthcare insurance companies include privacy protections, security requirements, breach notification obligations, and administrative safeguards that govern how health plans handle protected health information. These regulations apply to all health insurance entities that transmit health information electronically, including traditional insurers, health maintenance organizations, and third-party administrators. Healthcare insurance companies must implement HIPAA rules across their operations, from claims processing and member communications to provider networks and business associate relationships. Understanding HIPAA rules for healthcare insurance companies helps organizations maintain compliance while delivering efficient services to members and healthcare providers.

            Privacy Rule Requirements for Health Insurance Operations

            The Privacy Rule establishes how healthcare insurance companies can use and disclose protected health information in their daily operations. HIPAA rules permit health plans to use member information for treatment, payment, and healthcare operations without obtaining individual authorization from patients. Claims processing, care coordination, and quality improvement activities fall under these permitted uses, allowing insurers to conduct business while protecting patient privacy. Health insurance companies must provide privacy notices to members explaining how their information may be used and disclosed. These notices outline member rights, including the ability to request access to their records, seek amendments to incorrect information, and file complaints about privacy practices. The Privacy Rule also requires insurers to honor reasonable requests for restrictions on information use, though plans are not obligated to agree to all requested limitations.

            Security Rule Standards for Electronic Health Information

            HIPAA rules for healthcare insurance companies require organizations to implement administrative, physical, and technical safeguards to protect electronic protected health information. Administrative safeguards include appointing security officers, conducting workforce training, and establishing procedures for granting and revoking system access. Physical safeguards protect computer systems, equipment, and facilities housing electronic health information from unauthorized access. Technical safeguards focus on access controls, audit logs, data integrity measures, and transmission security protocols. Healthcare insurance companies must encrypt sensitive data during transmission and storage, implement user authentication systems, and maintain detailed logs of who accesses member information. Security assessments help identify vulnerabilities and ensure that protection measures remain effective against evolving cyber threats.

            Breach Notification Procedures for Insurance Companies

            When healthcare insurance companies experience security incidents involving member information, HIPAA rules require specific notification procedures within defined timeframes. Insurers must notify affected members within 60 days of discovering a breach, providing details about what information was involved and steps being taken to address the incident. The notification must include recommendations for members to protect themselves from potential harm. Insurance companies must also report breaches to the Department of Health and Human Services within 60 days, with larger breaches requiring immediate notification to federal authorities. Media notification becomes necessary when breaches affect more than 500 individuals in a single state or jurisdiction. Documentation of all breach response activities helps demonstrate compliance with notification requirements during regulatory reviews.

            Business Associate Agreement Management

            HIPAA rules for healthcare insurance companies extend to relationships with vendors, contractors, and other third parties that handle member information on behalf of the health plan. Business associate agreements must specify how these partners will protect member data, limit its use to authorized purposes, and report security incidents or unauthorized disclosures. Insurance companies remain liable for ensuring their business associates comply with applicable HIPAA requirements. Common business associates for insurance companies include claims processing vendors, customer service providers, data analytics firms, and technology companies managing member portals or mobile applications. Each relationship requires careful evaluation of privacy and security risks, along with ongoing monitoring to verify continued compliance. Contract provisions should address data return or destruction when business relationships end.

            Member Rights and Access Procedures

            Healthcare insurance companies must establish procedures for members to exercise their rights under HIPAA rules, including requests for access to their health information, amendments to records, and accounting of disclosures. Members can request copies of their claims history, coverage decisions, and other records maintained by their health plan. Insurance companies have 30 days to respond to access requests, with one possible 30-day extension if additional time is needed. Amendment requests require insurers to review the accuracy of information in member records and either approve corrections or provide written explanations for denials. Members can request accounting of disclosures for purposes other than treatment, payment, or healthcare operations. These procedures help ensure transparency in how insurance companies handle member information while respecting individual privacy preferences.

            Compliance Monitoring and Risk Management

            Healthcare insurance companies need systematic approaches to monitor HIPAA compliance across all business operations and identify areas requiring improvement. Regular risk assessments evaluate privacy and security practices, workforce training effectiveness, and business associate oversight programs. Internal audits help identify potential compliance gaps before they result in violations or security incidents. Training programs keep staff updated on HIPAA rules and company policies for handling member information appropriately. Incident response procedures address potential privacy violations or security breaches, including investigation protocols and corrective action plans. Maintaining detailed documentation of compliance activities, training records, and risk assessments creates an audit trail that demonstrates ongoing commitment to protecting member privacy and meeting regulatory obligations.