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Understanding HIPAA Email Retention Requirements

Email HIPAA Compliance

HIPAA email retention requirements mandate that healthcare organizations preserve electronic Protected Health Information (ePHI) contained in email communications for specific time periods based on state and federal regulations. The HIPAA Privacy Rule requires covered entities to maintain documentation and policies related to patient information for at least six years from the date of creation or when last in effect. Email messages containing patient data become part of designated record sets and must be retained according to the same standards that apply to other medical records and administrative documents.

Healthcare organizations deal with complex retention obligations that vary by state, with some requiring longer preservation periods than the federal minimum. Understanding HIPAA email retention requirements helps organizations develop compliant policies while managing storage costs and operational efficiency.

Why Do Healthcare Entities Need Email Retention Policies?

Healthcare organizations need email retention policies to comply with legal obligations and support patient care continuity. Medical record laws in most states require healthcare providers to maintain patient information for specific periods, ranging from three years to indefinitely depending on the jurisdiction and type of information. Email communications that contain treatment discussions, appointment scheduling, or billing information become part of the medical record and fall under these retention requirements.

Litigation and regulatory investigations create additional drivers for email retention. Healthcare organizations may face lawsuits, malpractice claims, or regulatory audits that require access to historical communications. Courts can impose sanctions on organizations that fail to preserve relevant electronic communications, including email messages that contain patient information. The legal hold process requires organizations to suspend normal deletion procedures when litigation is anticipated or pending.

Patient care coordination benefits from accessible historical communications between providers, patients, and care teams. Retained email messages can provide context for treatment decisions, document patient preferences, and track care transitions between different providers or facilities. Quick access to communication history helps healthcare workers make informed decisions and avoid repeating previous discussions or recommendations.

Audit and compliance verification depend on comprehensive record retention that includes email communications. Regulatory agencies like the Office for Civil Rights may request documentation during HIPAA compliance investigations. Organizations that cannot produce required communications face potential violations and penalties. Strong retention policies ensure that audit trails remain intact and compliance documentation stays accessible throughout required timeframes.

Minimum Retention Period of HIPAA Emails

Federal HIPAA requirements establish a minimum retention period of six years for policies, procedures, and documentation related to patient information protection. This timeframe applies to administrative records rather than medical records themselves. Email communications that contain ePHI may need longer retention based on state medical record laws and the type of information contained in the messages.

State regulations create varying retention requirements that healthcare organizations must navigate. Some states require medical records to be retained for seven to ten years after the last treatment date, while others mandate longer periods for specific patient populations such as minors. Email communications that become part of the medical record inherit these extended retention requirements regardless of the federal HIPAA minimum.

Patient age considerations affect retention calculations for pediatric healthcare providers. Many states require medical records for minors to be retained until the patient reaches majority age plus an additional period, potentially extending retention requirements by decades. Email communications involving pediatric patients fall under these extended requirements when they contain treatment-related information.

Specialty practice requirements may dictate longer retention periods for certain types of healthcare information. Mental health records, substance abuse treatment communications, and occupational health information often have specific retention requirements that exceed standard medical record timeframes. Healthcare organizations practicing in these areas need policies that address the longest applicable retention period for their email communications.

What Types of Email Require HIPAA Retention?

Treatment-related email communications between healthcare providers require retention when they contain patient information or clinical decision-making discussions. Messages about diagnosis, treatment plans, medication management, and care coordination become part of the medical record. Email consultations between specialists, primary care providers, and other members of the healthcare team need preservation to maintain complete treatment documentation.

Administrative email communications containing patient information also fall under retention requirements. Appointment scheduling messages, insurance verification communications, and billing inquiries that include patient identifiers become part of designated record sets. Staff discussions about patient care policies or quality improvement initiatives may require retention depending on their content and regulatory implications.

Patient communication emails need careful evaluation to determine retention requirements. Direct email exchanges between patients and providers about symptoms, treatment questions, or care instructions become part of the medical record. Portal notifications, appointment reminders, and educational materials sent to patients may also require retention based on their content and relationship to patient care.

Business partner communications involving patient information require retention consideration under Business Associate Agreement terms. Email exchanges with laboratories, imaging centers, billing companies, and other business associates may contain patient information that falls under retention requirements. Organizations need clear policies about which communications with external partners require preservation and for how long.

How to Implement HIPAA Email Retention Systems

Email archiving systems provide automated solutions for capturing and preserving healthcare communications that contain patient information. Modern archiving platforms can identify emails containing ePHI through content analysis, keyword detection, and sender/recipient patterns. The systems automatically route qualifying messages to secure storage while applying appropriate retention schedules based on content type and regulatory requirements.

Legal hold capabilities within email retention systems allow healthcare organizations to suspend normal deletion schedules when litigation or investigations require preservation of communications. The systems can place holds on specific custodians, date ranges, or keyword-identified communications while maintaining normal retention processing for other messages. Legal hold functionality helps organizations avoid spoliation sanctions while managing ongoing retention obligations.

Search and retrieval functionality enables healthcare organizations to locate specific communications quickly during audits, litigation, or patient care needs. Advanced search capabilities allow users to find messages by date ranges, participants, keywords, or patient identifiers. The systems maintain indexing that preserves search functionality even as message volumes grow over time.

Storage management features help healthcare organizations balance retention requirements with cost considerations. Tiered storage systems can move older communications to less expensive storage media while maintaining accessibility for audit or legal purposes. Compression and deduplication technologies reduce storage costs without compromising compliance or retrieval capabilities.

Challenges of HIPAA Email Retention?

Storage cost escalation creates ongoing financial pressure as email volumes grow and retention periods extend. Healthcare organizations generate substantial email volumes daily, and retaining communications for years or decades can require significant storage investments. Cloud storage costs continue to increase as data volumes expand, particularly for organizations in states with extended retention requirements.

Data classification complexity arises when determining which email communications require retention under HIPAA versus other regulatory frameworks. Healthcare organizations may need to apply different retention schedules to communications based on content, sender, recipient, and applicable regulations. Manual classification processes become impractical with large email volumes, requiring automated systems that can accurately categorize communications.

System integration challenges emerge when email retention platforms need to work with existing healthcare IT infrastructure. Electronic health record systems, practice management platforms, and communication tools may not integrate seamlessly with retention systems. Data synchronization between platforms can create gaps in retention coverage or duplicate storage requirements.

Compliance monitoring becomes complex when retention policies span multiple regulatory frameworks and state jurisdictions. Healthcare organizations operating across state lines may need to apply the most restrictive retention requirements to ensure compliance in all jurisdictions. Tracking compliance across different retention schedules, legal holds, and disposal requirements requires sophisticated policy management capabilities.

How To Optimize HIPAA Email Retention Strategies

Policy standardization helps healthcare organizations create consistent retention practices across different departments and communication types. Clear guidelines about what communications require retention, how long they must be preserved, and when disposal is appropriate reduce confusion and compliance gaps. Standardized policies also simplify training and help ensure that staff members understand their retention responsibilities.

Technology automation reduces the manual effort required to classify and retain healthcare email communications appropriately. Advanced systems can analyze message content, identify patient information, and apply retention schedules automatically. Machine learning capabilities improve classification accuracy over time while reducing the burden on IT staff and healthcare workers.

Regular policy review ensures that retention practices keep pace with changing regulations and organizational needs. Healthcare organizations examine their retention policies annually to verify compliance with current federal and state requirements. Policy updates may be necessary when organizations expand into new states, add practice specialties, or adopt new communication technologies.

Staff training programs help healthcare workers understand their roles in email retention compliance. Training covers what types of communications require retention, how to handle legal holds, and when to escalate retention questions to compliance teams. Regular refresher training ensures that staff members stay current with policy changes and retention best practices as communication patterns evolve.

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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.

            healthcare marketing

            How Automated Workflows Boost Engagement for Healthcare Marketing Campaigns

            Due to the fact that it’s simple, instantaneous, cost-effective, and nearly universally adopted, email is an essential part of all healthcare marketing engagement strategies. However, consistent, personalized email engagement – particularly at scale – can be challenging. 

             

            Fortunately, Automated Workflows offer a solution, allowing healthcare companies to deliver the right messages to the appropriate individuals at the right time, based on their individual engagement with emails.. 

             

            In this post, we’ll explore the concept of Automated Workflows, the considerable benefits they offer healthcare companies, and the variety of ways they can be used to increase engagement and result in greater satisfaction and better healthcare outcomes for your patients and customers.

            What Are Automated Workflows?

            An Automated Workflow is a sequence of actions, known as’ Steps’ in LuxSci Secure Marketing, that a Contact (i.e., a patient or customer) moves through over time, based on a series of pre-defined rules or triggers. 

             

            Each Step is programmed to automatically perform a specific function, such as sending an email or updating a Contact, when certain conditions are in place. These conditions could include: 

            • A Contact opening a message.
            • A Contact clicking through on a link.
            • A specified amount of time having elapsed.. 
            • A data update via an API call

            By evaluating conditions to initiate the appropriate Step, Automated Workflows facilitate more timely, consistent, and personalized communication with Contacts (patients and customers ). As a result, healthcare companies can effectively harness Automated Workflows to develop dynamic, personalized email engagement journeys that adapt according to your patients and customers’ needs and prior interactions.

            What Are the Benefits of Automated Workflows?

            Let’s look at the various advantages that Luxsci Automated Workflows offer. 

            Reduced Administrative Workload

            Arguably, the most significant benefit of Automated Workflows is the extent to which they lower the administrative burden of email engagement campaigns for healthcare organizations. 

             

            First and foremost, Automated Workflows eliminate the need for an employee to manually send your Contacts messages. As well as the manual effort, it removes a great deal of thought from the process – as someone isn’t required to remember to send an email. 

             

            By the same token, this reduces the scope for human error, preventing the possibility of an employee neglecting to send an important message, sending it to the wrong person, or worse, accidentally exposing patient data, i.e., electronic protected health information (ePHI). 

             

            The effort that Automated Workflows reduce is typically repetitive work that staff are glad to be free of, giving them additional time to focus on tasks that provide greater value and better contribute to better patient care and/or the customer experience. 

            Enhanced Scalability

            The time saved by employing Automated Workflows increases with the size of your Contact List and the scale of your engagement campaigns. In fact, enterprise-scale campaigns, with volumes of hundreds of thousands to millions of emails, are only feasible through the use of automation. 

             

            Similarly, Automated Workflows enable healthcare organizations to run differing, personalized email campaigns aimed at unique patient or customer segments.  As well as automatically sending each message at the appropriate time, they provide tracking capabilities to determine the outcome of each message. 

            Increased Consistency in Communication

            Because Automated Workflows remediate the risk of emails going unsent, they facilitate more timely and consistent communications with patients and customers. This makes healthcare providers, payers, and suppliers appear more reliable and consistent, building trust and greater levels of satisfaction from Contacts. More importantly, recipients are better able to track what’s happening with their healthcare and assume a more proactive role overall healthcare journey..

             

            Finally, creating an Automated Workflow requires healthcare organizations to carefully consider how they communicate with different Contact segments. Namely, the likely journey, or communication path, different types of Contacts take, i.e., information they need to know at a particular stage in their healthcare journey, the optimal order in which information needs to be presented, etc. This allows healthcare companies to become more in-tune with their patients’ and customers’ needs, enabling them to craft more valuable email communications that boost engagement. 

            Personalized Healthcare Engagement 

            Perhaps the most significant benefit of Automated Workflows is that they enable adaptive, personalized engagement for healthcare marketing and communications campiagns. Instead of manually tracking where each Contact is in a given engagement sequence, or worse, merely having to guess, you know precisely where they are. Consequently, you’re acutely aware of their needs and the exact nature of the emails you need to send them next. 

             

            This, in turn, enables more effective Contact nurturing, i.e, strengthening your organization’s connection with each individual. When at its most effective, this may allow you to anticipate your Contacts’ needs, enabling you to send them communications, such screening or testing recommendations, educational materials, or product and service suggestions, that support their healthcare journey and enhance their quality of care.

            Automated Workflow Use Cases

            Automated Workflows are a powerful tool for increasing healthcare marketing and communications engagement because they can be applied to a wide range of use cases. Let’s take a look at some of the most common and impactful ways email automation can be used by healthcare companies. 

            • New Product Announcements: keeping patients and customers in the loop on your company’s latest offerings, as well as improvements to existing products and services that are likely to be of interest, based on their data and past actions.
            • Personalized recommendations: suggesting products or services based on the recipient’s past purchases or engagement history.
            • Re-Engagement Campaigns: Automated Workflows can also be used to reconnect with Contacts with whom engagement has waned or was never completely established, sending them personalized messages to encourage specific actions or reignite interest.
            • New Member Onboarding: welcoming new patients or customers  with a structured series of emails that introduces your services, provides technical assistance (where applicable), details subsequent steps, and explains how to get the most value from your products or services. 
            • Appointment Reminers and Follow-Ups: sending reminders, care instructions, medication adherence advice, or details on how to book subsequent appointments, for instance, after a patient visit. 
            • Patient Education Campaigns: taking patients through a structured curriculum on managing their medical condition or required  lifestyle changes to improve their health..
            • Preventative Care Communications: proactively sending reminders for screenings, check-ups, vaccinations, etc., based on PHI such as a patient’s age, gender, health condition or lifestyle risk factors.
            • Milestone Communications: sending personalized messages to acknowledge birthdays, enrollment anniversaries, and other pertinent dates. These can also be combined with preventative care communications, to send recommendations or other advice, based on the contact’s age, for instance.  
            • Feedback Collection: acquiring patient and customer feedback by sending follow-up surveys a set amount of time after a visit, procedure, purchase, etc. 

            How Automated Workflows Work in LuxSci Secure Marketing

            To round off this post, let’s take a deeper look at how Automated Workflows work within LuxSci’s Secure Marketing solution. LuxSci’s Automated Workflows enhance your organization’s HIPAA compliant healthcare marketing and email campaigns by giving you complete control of:

             

            • When each email is sent
            • Which Contacts receive particular communications according to their behavior, needs, and other PHI-based attributes
            • Which engagement path or branch a Contact takes based on their email actions

            Here’s a look at LuxSci’s Automated Workflows key capabilities in greater detail. 

            Smart Event-Based Branching and Conditions

            You can branch Workflows to trigger targeted messaging based on a Contact’s attributes or certain engagement events, resulting in more relevant and effective healthcare journeys  with more desirable outcomes.

            • User actions:
              • Mailing list sign-ups
              • Form completion
              • Downloading a resource.
            • Time-based triggers:
              • A set period after a visit or procedure 
              • A defined period of inactivity or lack of contact
              • Milestones, e.g., birthdays, anniversaries. 
            • Behavioral triggers:
              • Email opens
              • Clicking on links
              • Visiting particular pages on a site or 
              • A lack of engagement with previous emails.
            • Transactional triggers:
              • Purchasing a product or service
              • Signing up for an event
              • Order confirmations or shipping updates after a purchase.
            • API-triggered events
              • Lab results or similar correspondence becoming available
              • Changes to data in EHR systems, CDP platforms, or CRM systems.. 

            Automated Segment Management 

            Automated Workflows can be used to dynamically add Contacts to segments based on demographics, past behavior, purchase history, and similar events. This enables more precise targeting and email personalization as they progress through specific Steps in each Workflow. 

            Navigation Across Steps

            Automated Workflows are also capable of navigating Contacts across different Steps or completely different Workflows depending on engagement outcomes and updates to a Contact’s PHI. Better still, if a Step has already been visited, LuxSci Secure Marketing automatically prevents repetition and infinite loops.

            Automate Your Healthcare Marketing and Engagement Efforts

            LuxSci Secure Marketing is a HIPAA compliant healthcare marketing solution especially designed for the stringent security and regulatory requirements of the healthcare industry. Our solution enables healthcare organizations to confidently communicate with patients and customers at scale without risking compliance violations, driving increased engagement and boosting the ROI of their marketing campaigns in the process. 

             

            The latest version of LuxSci’s Secure Marketing solution with Automated Workflow functionality streamlines your company’s outreach efforts, saving considerable time, reducing human effort, and facilitating intelligent Contact management. 

            What’s more, LuxSci’s reporting capabilities empower you to carefully track the results of your healthcare engagement campaigns, gaining insights at every step, including:

            • Which Contacts received particular messages
            • Who engaged with email communication, and how
            • Precise points where drop-offs in engagement occur
            • The engagement achieved with each Step in the Workflow

            To learn more about LuxSci’s Secure Marketing solution and how Automated Workflows boost engagement for your healthcare marketing and communications campaigns, contact us today.

             

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            LuxSci G2 Spring Reports

            LuxSci Earns 22 G2 Spring 2025 Badges, Including “Best Support” and “Best ROI”

            We’re excited to share that LuxSci has once again been recognized by G2, the world’s largest and most trusted software marketplace, in its Spring 2025 Reports—this time earning 22 new badges across multiple email security and encryption categories. This recognition reflects not only our unwavering commitment to secure healthcare communications, but also the trust and satisfaction of our valued customers, many of whom have been with us for years.

            Among the standout G2 accolades:
            🏅 Best Support – A badge that means the world to us, as we pride ourselves on offering the smartest, most responsive support in the HIPAA compliant email and communications industry.
            💰 Best Estimated ROI – Demonstrates how LuxSci helps organizations maximize value from their investment in HIPAA compliant email communications – with better results like 98% deliverability.
            📈 Momentum Leader – Highlighting the rapid adoption and growing impact of our secure healthcare ommunication solutions across email, text, forms and marketing.

            A Spring of Recognition for LuxSci’s Secure Healthcare Communications Suite

            This season’s G2 recognition spans our Secure Email, Secure Email Gateway, and Secure Text products, which are part of the LuxSci Secure Healthcare Engagement suite of solutions. These achievements reflect real user feedback, aggregated through verified G2 reviews, and they reinforce our commitment to providing the most flexible, scalable, and secure communication tools tailored for the evolving needs of healthcare organizations.

            Whether you’re looking to scale secure high-volume email, build personalized communications and marketing campaigns, or accelerate workflows with multi-channel healthcare journeys, LuxSci delivers best-in-class performance and a proven HIPAA compliant solution for a wide range of healthcare communications use cases.

            Why This Matters

            In today’s digital healthcare landscape, secure, HIPAA-compliant email and communications are critical. But security alone isn’t enough. Providers, payers, and suppliers also need tools that are high-performing, delivered with expert support, and designed to drive business outcomes—from patient engagement to operational efficiency.

            That’s where LuxSci stands out. With more than 20 years of experience, MIT roots, and a singular focus on delivering Secure Healthcare Communications, we offer customers not just software, but a strategic partner in transforming the healthcare journey and keeping patient and customer data secure.

            Our recognition by G2 in categories like Support, ROI, and Momentum speaks directly to this value. It also confirms that with LuxSci, you’re not just choosing security and compliance—you’re choosing performance, personalization, and long-term success.

            Explore What’s Possible with LuxSci

            We invite you to discover how LuxSci can support your organization’s email communications and compliance goals. Contact us to learn more about our HIPAA-compliant solutions for secure email, marketing, forms, and text messaging—and why healthcare organizations like Athenahealth, 1800 Contacts, Rotech Medical Equipment, Delta Dental and Eurofins all use LuxSci as their trusted secure communications partner.

            Is Outlook a HIPAA Compliant Email

            Is Outlook a HIPAA Compliant Email?

            Outlook can be HIPAA compliant email when properly configured within Microsoft 365 (formerly Office 365) and covered by a Business Associate Agreement with Microsoft. Standard consumer Outlook.com accounts do not meet HIPAA requirements for protecting patient information. Healthcare organizations must implement security settings, create robust email policies, and train staff on proper handling of patient information to maintain HIPAA compliant email communications through Outlook.

            Microsoft 365 Business Associate Agreement

            Healthcare organizations cannot use standard Outlook.com accounts for communicating protected health information. Only Outlook within Microsoft 365 qualifies for HIPAA compliant email usage with proper configuration. Microsoft offers Business Associate Agreements for Microsoft 365 customers, establishing Microsoft’s responsibilities for protecting healthcare information under HIPAA regulations. This agreement specifically includes Outlook among covered services. Organizations must execute this BAA before storing or transmitting any protected health information through Outlook. The agreement details security responsibilities, breach notification procedures, and other HIPAA compliance requirements. Personal “Outlook.com” accounts operate under different terms of service that don’t address healthcare data protection, making them unsuitable for clinical communications.

            Required Security Configurations

            Making Outlook HIPAA compliant email requires enabling several security features available in Microsoft 365 admin controls. Multi-factor authentication verifies user identities beyond password checks for stronger account protection. Message encryption settings ensure patient data stays secure during transmission. Data loss prevention rules identify emails containing health information and apply appropriate protection policies automatically. Archive and retention policies maintain records according to regulatory requirements. Audit logging tracks email access, sending, and receiving activities. Organizations configure these settings through the Microsoft 365 admin center rather than relying on default settings. When properly implemented, these security measures change standard Outlook into a platform suitable for healthcare communications.

            HIPAA Compliant Email Content Protection Features

            Microsoft 365 includes several Outlook features specifically designed to protect sensitive information in emails. Message encryption allows sending protected content to recipients inside or outside the organization. Information Rights Management prevents forwarding, copying, or printing of sensitive emails. Sensitivity labels classify messages based on content type and apply appropriate protections. Data loss prevention policies scan outgoing messages for patient information patterns and can block transmissions that violate security rules. S/MIME capabilities provide further encryption and digital signatures to verify message authenticity. Transport rules can apply protection automatically based on message content or recipients. Healthcare organizations use these protection features to maintain HIPAA compliant email practices while allowing necessary communications.

            Mobile Access Security

            Healthcare staff frequently access email through mobile devices, creating additional compliance considerations. Organizations using Outlook for HIPAA compliant email must address mobile access security. Mobile application management policies control how Outlook functions on smartphones and tablets. Conditional access rules limit email retrieval to approved devices with proper security configurations. App protection policies prevent copying patient information between Outlook and unauthorized applications. Remote wipe capabilities allow removing email data from lost or stolen devices. Organizations develop clear guidelines about which devices may access protected information through Outlook mobile apps. Balancing convenience with security requires thoughtful policies that address how modern healthcare professionals communicate.

            Retention and Archive Management

            HIPAA compliant email through Outlook includes proper retention and archiving of messages containing protected health information. Microsoft 365 retention policies allow organizations to preserve emails for required time periods while preventing premature deletion. Legal hold features maintain emails relevant to investigations or litigation regardless of user deletion attempts. eDiscovery tools help locate specific messages when needed for compliance verification or patient care. Archive mailboxes store older messages while maintaining appropriate security and search capabilities. Organizations establish retention schedules based on message content types and regulatory requirements. Proper archiving practices help healthcare entities demonstrate compliance while maintaining access to historical communications when needed.

            HIPAA Compliant Email Staff Training

            Technical controls alone cannot ensure Outlook functions as HIPAA compliant email without proper user behavior. Organizations develop comprehensive training programs covering appropriate email usage for healthcare information. Staff learn to recognize what constitutes protected health information and when it requires secure handling. Usage guidelines explain when Outlook encryption should be activated and how to verify message security before sending. Outlook configuration guides help users understand security feature operation. Organizations document that staff have completed training and understand email policies. Periodic refreshers address changing regulations and emerging security threats. With clear guidelines and regular education, healthcare staff learn to use Outlook appropriately for patient communications while maintaining compliance with HIPAA regulations.

            encrypted email transmission

            Is the Email Encrypted? How to Tell if an Email is Transmitted Using TLS

            SMTP TLS encryption is popular because it provides adequate data protection without creating a complicated user experience for email recipients. Sometimes, though, the experience is too seamless, and recipients may wonder if the message was protected at all.

            Luckily, there is a way to tell if an email was encrypted using TLS. To see if a message was sent securely, we can look at the raw headers of the email. However, it requires some knowledge and experience to understand the text. It is actually easier to tell if a recipient’s server supports TLS than to tell if a particular message was securely transmitted.

            To analyze a message for transmission security, we will look at an example email message sent from Hotmail to LuxSci. We will explain what to look for when decoding the message headers and how to tell if the email was transmitted using TLS encryption.

            An Example Email Message

            First, we must understand how an email message typically travels through several machines on its way from the sender to the recipient. Roughly speaking:

            1. The sender’s computer talks to the sender’s email or WebMail server to upload the message.
            2. The sender’s email or WebMail server then talks to the recipient’s inbound email server and transmits the message to them.
            3. Finally, the recipient downloads the message from their email server.

            It is step 2 that people are most concerned about when trying to understand if their email message is transmitted securely. They usually assume or check that everything is secure and OK at the two ends. Indeed, most users who need to can take steps to ensure that they are using SSL-enabled WebMail or POP/IMAP/SMTP/Exchange services so that steps 1 and 3 are secure. The intermediate step, where the email is transmitted between two different providers, is where messages may be sent insecurely.

            To determine if the message was transmitted securely between the sender’s and recipient’s servers (over TLS), we need to extract the “Received” header lines from the received email message. If you look at the source of the email message, the lines at the top start with “Received.” Let’s look at an example message from a Hotmail user below. The email addresses, IPs, and other information are obviously fake.

            LuxSci:

            The Outlook email was sent to a LuxSci user. The Received headers appear in reverse chronological order, starting with the server that touched the message last. Therefore, in this example, we see the LuxSci servers first.

            Received: from abc.luxsci.com ([1.1.1.1])
            	by def.luxsci.com (8.14.4/8.13.8) with ESMTP id r7JEfLgH003867
            	(version=TLSv1/SSLv3 cipher=DHE-RSA-AES256-SHA bits=256 verify=NOT)
            	for <user-xyz@def.luxsci.com>; Mon, 19 Aug 2019 10:41:21 -0400
            Received: from abc.luxsci.com (localhost.localdomain [127.0.0.1])
            	by abc.luxsci.com (8.14.4/8.13.8) with ESMTP id r7JEfK0Z030182
            	for <user-xyz@def.luxsci.com>; Mon, 19 Aug 2019 09:41:20 -0500
            Received: (from mail@localhost)
            	by abc.luxsci.com (8.14.4/8.13.8/Submit) id r7JEfKXD030178
            	for user-xyz@def.luxsci.com; Mon, 19 Aug 2019 09:41:20 -0500
            Received: from dispatch1-us1.ppe-hosted.com (dispatch1-us1.ppe-hosted.com [2.2.2.2])
            	by abc.luxsci.com (8.14.4/8.13.8) with ESMTP id r7JEfIkK030002
            	(version=TLSv1/SSLv3 cipher=DHE-RSA-AES256-SHA bits=256 verify=NOT)
            	for <someone@luxsci.net>; Mon, 19 Aug 2019 09:41:19 -0500

            Proofpoint:

            LuxSci uses an email filtering service, Proofpoint. Messages reach Proofpoint’s servers before being delivered to LuxSci. Here’s what their servers report about the email transmission:

            Received: from unknown [65.54.190.216] (EHLO bay0-omc4-s14.bay0.hotmail.com)
            	by dispatch1-us1.ppe-hosted.com.ppe-hosted.com
                    (envelope-from <someone@hotmail.com>);
            	Mon, 19 Aug 2019 08:41:18 -0600 (MDT)

            Outlook:

            And finally, here’s what we see from Oultook’s server.

            Received: from BAY403-EAS373 ([65.54.190.199]) by bay0-omc4-s14.bay0.outlook.com
                   with Microsoft SMTPSVC(6.0.3790.4675); 
                   Mon, 19 Aug 2019 07:41:19 -0700

            How to Use Received Message Headers to Tell if the Email is Encrypted

            The message headers contain information that can help us determine if an email is encrypted. Here are a few helpful notes to help you decode the text:

            1. We said this above, but the message headers appear in reverse chronological order. The first one listed shows the last server that touched the message; the last one is the first server that touched it (typically the sending server).
            2. Each Received line documents what a server did and when.
            3. There are three sets of servers involved in this example: one machine at Hotmail, one machine at Proofpoint, where our Premium Email Filtering takes place, and some machines at LuxSci, where final acceptance of the message and subsequent delivery happened.

            Presumably, the processing of email within each provider is secure. The place to be concerned about is the hand-offs between Hotmail and Proofpoint and between Proofpoint and LuxSci, as these are the big hops across the internet between providers.

            In the line where LuxSci accepts the message from Proofpoint, we see:

            (version=TLSv1/SSLv3 cipher=DHE-RSA-AES256-SHA bits=256 verify=NOT)

            This section, typical of most email servers running “sendmail” with TLS support, indicates that the message was encrypted during transport with TLS using 256-bit AES encryption. (“Verify=not” means that LuxSci did not ask Proofpoint for a second SSL client certificate to verify itself, as that is not usually needed or required for SMTP TLS to work correctly). Also, “TLSv1/SSLv3” is a tag that means that “Some version of SSL or TLS was used;” it does not mean that it was SSL v3 or TLS v1.0. It could have been TLS v1.2 or TLS v1.3.

            So, the hop between Proofpoint and LuxSci was locked down and secure. What about the hop between Hotmail and Proofpoint? The Proofpoint server’s Received line makes no note of security at all! This means that the email message was probably not encrypted during this step.

            Hotmail either did not support opportunistic TLS encryption for outbound emails, or Proofpoint did not support receipt of messages over TLS, and thus, TLS could not be used. With additional context, you can know which server supports TLS and which does not.

            In this case, we know that Proofpoint supports inbound TLS encryption. In fact, from another example message where LuxSci sent a message to Proofpoint, we see the Received line:

            Received: from unknown [44.44.44.44] (EHLO wgh.luxsci.com)
            	by dispatch1-us1.ppe-hosted.com.ppe-hosted.com
                    (using TLSv1.2 with cipher ECDHE-RSA-AES256-GCM-SHA384 (256/256 bits))
            	with ESMTP id b-022.p01c11m003.ppe-hosted.com
                    (envelope-from <from@domain.com>);
            	Mon, 02 Feb 2009 19:28:27 -0700 (MST)

            The red text makes it clear that the message was indeed encrypted. Based on the additional context, we can deduce that the Hotmail sending server did not securely transmit the email using TLS.

            How To Tell if an Email is Encrypted With TLS

            1. When analyzing your message headers, consider the following items to determine if the email is encrypted:
              1. The receiving server will log what kind of encryption, if any, was used in receiving the message in the headers.
              2. Different email servers use different formats and syntax to display the encryption used. Look for keywords like “SSL,” “TLS,” and “Encryption,” which will signify this information.
              3. Not all servers will record the use of encryption. While LuxSci has always logged encryption use, not every email service provider does. It is possible to use TLS encryption and not log it. Sometimes, there is no way to tell from the headers if a message is encrypted if it is not logged.
              4. Messages passed between servers at the same provider do not necessarily need TLS encryption to be secure. For example, LuxSci has back-channel private network connections between many servers so that information can be securely passed between them without SMTP TLS. So, the lack of TLS usage between two servers does not mean the transmission between them was “insecure.” You may also see multiple received lines listing the same server: the server passes the message between different processes within itself. This communication also does not need to be TLS encrypted.
              5. If you are a LuxSci customer, you can view online email delivery reports to see if TLS was used for any particular message. We record the kind of encryption in the delivery reports, so it’s easy to see which emails were encrypted.

            How can you Ensure Emails Are Securely Transmitted?

            With some servers not recording TLS in message headers, how can you determine if a message was transmitted securely from sender to recipient?

            To answer this question accurately, you must understand the properties, servers, and networks involved. It may be easy to determine that the message was transmitted securely if included in the header information. However, the absence of information does not necessarily mean the message was insecurely transmitted. You can only know this if you know what each system’s servers record.

            In our example of a message from Hotmail to LuxSci, you need to know that:

            1. Proofpoint and LuxSci will always log the use of TLS in the headers. We can infer that the Hotmail to Proofpoint transmission was not secure as nothing was recorded there.
            2. The transmission of messages within LuxSci’s infrastructure is secure due to private back channel transmissions. So, even though there is no mention of TLS in every Received line after LuxSci accepts the message from Proofpoint (in this example), transferring the messages between servers in LuxSci is as secure as using TLS. Also, the same server can add multiple received lines as it talks to itself. Generally, these hand-offs on the same server will not use TLS, as there is no need. In the LuxSci example, we see this as “abc.luxsci.com” adds several headers.
            3. We don’t know anything about Hotmail’s email servers, so we don’t know how secure the initial transmissions within their network are. However, since we know they did not securely transmit the message to Proofpoint, we are not confident that the transmissions and processing within Hotmail (which may have gone unrecorded) were secure.

            Was the email message sent and received using encryption?

            We skipped steps 1 and 3 and focused on step 2 – the transmission between servers. Steps 1 and 3 are equally, if not more, necessary. Why? Because eavesdropping on the internet between ISPs is less of a problem than eavesdropping near the sender and recipient (i.e., in their workplace or local wireless hotspot). So, it’s essential to ensure messages are sent securely and received securely. This means:

            • Sending: Use SMTP over SSL or TLS when sending messages from an email client or use WebMail over a secure connection (HTTPS).
            • Receiving: Ensure your POP or IMAP connection is secured via SSL or TLS. If using WebMail to read your email, be sure it is over a secure connection (HTTPS).
            • WebMail: There is generally no record in the email headers to indicate if a message sent using WebMail was transmitted from the end-user to WebMail over a secure connection (SSL/HTTPS).

            You can typically control one side and ensure it is secure; you can’t control the other without taking extra steps. So, what can you do to ensure your message is secure even if it might not be transmitted with encryption or if the recipient tries to access it insecurely?

            You could use end-to-end email encryption (like PGP or S/MIME, which are included in SecureLine) or a secure web portal that doesn’t require the recipient to install or set up anything to get your secure email message. These methods meet HIPAA and other regulatory compliance requirements for secure data transmission and provide complete confidence that the message will be sent and received securely.

            LuxSci’s SecureLine offers flexible encryption options, including TLS, secure web portal, PGP, and S/MIME. Its dynamic capabilities can determine what types of encryption the recipient’s server supports to ensure your emails are always sent securely. Contact our team today to learn more about how to secure your emails.

            HIPAA Secure Email

            Is There a HIPAA Compliant Email?

            Yes, HIPAA compliant email is available through specialized platforms and services designed specifically for healthcare organizations that need to transmit protected health information securely. HIPAA compliant email solutions include encryption, access controls, audit logging, and other security features required to meet regulatory standards for protecting patient information during electronic communication. Healthcare providers, payers, and suppliers can choose from various HIPAA compliant email options that range from standalone secure messaging platforms to integrated solutions that work with existing healthcare systems. Understanding available HIPAA compliant email solutions helps organizations select appropriate tools for their communication needs while maintaining regulatory compliance and protecting patient privacy.

            Types of HIPAA Compliant Email Solutions

            Several categories of HIPAA compliant email solutions serve different organizational needs and technical requirements. Cloud-based secure email platforms provide hosted solutions that require minimal technical infrastructure while offering enterprise-grade security features. These platforms handle encryption, server maintenance, and security updates, allowing healthcare organizations to focus on patient care rather than email system management. On-premises HIPAA compliant email systems give organizations direct control over their email infrastructure and data storage locations. Hybrid solutions combine cloud convenience with on-premises control, allowing organizations to customize their email security approach based on specific requirements. Email encryption gateways work with existing email systems to add HIPAA compliance features without requiring complete system replacement.

            Security Features in HIPAA Compliant Email Platforms

            HIPAA compliant email platforms include end-to-end encryption that protects messages and attachments from unauthorized access during transmission and storage. Transport Layer Security protocols secure connections between email servers, while message-level encryption ensures that only intended recipients can read email content. Digital signatures verify sender authenticity and message integrity, preventing tampering or impersonation. Multi-factor authentication requires users to provide additional verification beyond passwords before accessing email accounts. Access controls limit which users can send emails to external recipients and which types of information can be included in different message categories. Automatic data loss prevention features scan outgoing emails for protected health information and apply appropriate security measures or block transmission of potentially sensitive content.

            Business Associate Agreements and Vendor Requirements

            Healthcare organizations using HIPAA compliant email services need business associate agreements with their email providers to ensure regulatory compliance. These agreements specify how email vendors will protect patient information, limit data use to authorized purposes, and report security incidents or unauthorized disclosures. Email providers operating as business associates must implement appropriate safeguards and allow healthcare organizations to audit their security practices. Vendor selection criteria should include security certifications, compliance track records, and technical capabilities that meet organizational requirements. Service level agreements define uptime expectations, support response times, and data recovery procedures. Due diligence processes help verify that email providers have appropriate security controls and compliance programs before entering into business relationships.

            Implementation Challenges and Solutions

            Healthcare organizations implementing HIPAA compliant email often encounter workflow disruptions as staff adapt to new security procedures and software interfaces. Training programs help users understand proper email security practices and organizational policies for handling protected health information. Change management strategies address resistance to new procedures and ensure that staff members understand the importance of email security compliance. Technical integration challenges arise when connecting HIPAA compliant email systems with existing healthcare applications and databases. Application programming interfaces enable custom integrations that streamline workflows while maintaining security standards. Migration planning addresses data transfer from legacy email systems and ensures that historical communications remain accessible when needed.

            Cost Considerations for HIPAA Compliant Email

            HIPAA compliant email solutions involve various cost components including software licensing, implementation services, ongoing support, and staff training expenses. Per-user subscription models allow organizations to scale email security based on their actual usage patterns. Enterprise licensing agreements may provide cost advantages for larger healthcare organizations with many email users. Hidden costs can include system integration expenses, data migration fees, and productivity losses during implementation periods. Return on investment calculations should consider potential savings from avoiding HIPAA violation penalties, reduced risk of data breaches, and improved operational efficiency from streamlined secure communication processes. Long-term cost analysis helps organizations budget appropriately for ongoing email security requirements.

            Selecting the Right HIPAA Compliant Email Solution

            Healthcare organizations should evaluate HIPAA compliant email options based on their specific communication patterns, technical infrastructure, and regulatory requirements. Feature comparisons help identify which platforms offer the security capabilities and integration options needed for particular use cases. Pilot testing allows organizations to evaluate user experience and system performance before making long-term commitments. Vendor demonstrations provide opportunities to assess ease of use, administrative features, and customer support quality. Reference checks with similar healthcare organizations offer insights into real-world performance and implementation experiences. Decision frameworks that consider security requirements, usability needs, and budget constraints help organizations select HIPAA compliant email solutions that will serve their long-term communication and compliance objectives effectively.