LuxSci

How Does HIPAA Emailing Patient Information Work Securely?

HIPAA Emailing Patient Information

HIPAA emailing patient information requires healthcare organizations to implement encryption protocols, authentication controls, and business associate agreements that protect electronic protected health information during transmission and storage. Federal privacy regulations mandate that all email communications containing patient data meet stringent security standards to prevent unauthorized access, interception, or disclosure. Healthcare providers must understand which types of patient information can be transmitted via email, what security measures are necessary, and when alternative communication methods provide better protection for sensitive health data.

Permitted Uses of Email for Patient Communications

Healthcare providers can use email to communicate with patients about treatment, payment, and healthcare operations without obtaining specific authorization under HIPAA regulations. Appointment reminders, general health education materials, and prescription refill notifications fall within permitted communications that do not require patient consent. Laboratory results, medication instructions, and follow-up care guidance can be transmitted through secure email channels when proper encryption protects the information.

Treatment coordination between healthcare providers allows email communication about patient care without patient authorization when all parties are involved in the patient’s treatment. Referrals to specialists, consultation requests, and care plan discussions can occur through encrypted email platforms that meet security requirements. Payment communications including billing statements, insurance verification, and claim status updates are permissible through secure channels.

Healthcare operations activities such as quality improvement initiatives, case management, and care coordination support email communication when security measures protect patient information. Staff training scenarios using de-identified patient cases can be shared via email without violating privacy rules. Administrative functions including appointment scheduling and general practice information distribution do not require patient authorization when conducted through secure systems.

Limitations exist for certain types of sensitive health information that require extra protection beyond standard email security. Psychotherapy notes, substance abuse treatment records, and HIV test results need enhanced safeguards or alternative communication methods. Mental health information and genetic testing results may warrant more secure transmission methods than standard encrypted email provides.

Encryption Requirements for Patient Data Transmission

Message-level encryption converts email content into unreadable code before transmission, ensuring that only intended recipients can decrypt and read patient information. Advanced Encryption Standard 256-bit encryption provides strong protection that meets healthcare industry standards for securing electronic protected health information. Transport Layer Security protocols create secure connections between email servers during message delivery, preventing interception while communications travel across networks.

End-to-end encryption protects messages throughout their entire journey from sender to recipient, maintaining security even if intermediate servers are compromised. Automatic encryption activation eliminates human error by securing all outbound messages without requiring staff to remember manual encryption procedures. HIPAA emailing patient information demands consistent encryption application across all communications containing protected health information regardless of content sensitivity.

Key management systems protect the encryption keys that secure patient communications while enabling authorized recipients to decrypt necessary messages. Secure key storage prevents unauthorized access while backup procedures protect against data loss during system failures. Certificate-based authentication verifies recipient identity before allowing message delivery, reducing risks of misdirected emails containing patient information.

Digital signatures provide verification that messages originated from legitimate healthcare sources and were not altered during transmission. Integrity checks detect any unauthorized modifications to email content, alerting recipients when communications may have been tampered with during delivery. These verification mechanisms build trust in email communications while meeting regulatory requirements for data integrity.

Access Controls and User Authentication

Multi-factor authentication requires users to provide multiple forms of identification before accessing email accounts containing patient information. Password combinations with mobile verification codes, biometric scans, or hardware tokens create layered security that prevents unauthorized account access. Authentication systems should integrate smoothly with existing healthcare technology to avoid creating workflow barriers that encourage security shortcuts.

Role-based permissions ensure healthcare staff can only access patient communications relevant to their job functions and care relationships. Physicians need different access levels compared to billing specialists or administrative personnel, with granular controls preventing inappropriate information viewing. Automatic permission adjustments when staff change roles or departments maintain appropriate access restrictions as organizational structures evolve.

Session management protocols automatically log users out after inactivity periods, preventing unauthorized access from unattended workstations. Concurrent login monitoring detects unusual access patterns such as simultaneous logins from different geographic locations that might indicate account compromise. Immediate access revocation procedures ensure departing employees lose email access promptly to protect patient information.

Audit logging tracks all user activities within email systems including message viewing, sending, forwarding, and administrative actions. Detailed logs capture who accessed which patient communications, when access occurred, and what actions were performed. These records support security investigations, regulatory audits, and compliance monitoring while deterring inappropriate information access.

Business Associate Agreements and Vendor Responsibilities

Written contracts between healthcare organizations and email service providers establish clear responsibilities for protecting patient information during transmission and storage. Agreements must specify encryption standards, security measures, incident reporting timelines, and procedures for handling patient data when contracts terminate. Liability allocation clauses define financial responsibilities when security breaches result from provider system failures or negligence.

Vendor security certifications demonstrate that email providers maintain appropriate controls for protecting healthcare information. SOC 2 audits verify security measure effectiveness while HITRUST certification indicates healthcare industry experience and compliance knowledge. Current certifications provide assurance that providers maintain security standards consistently rather than just during initial implementations.

Incident response procedures outlined in agreements specify how providers will notify healthcare organizations when security breaches occur involving patient information. Notification timelines should allow organizations to meet their own breach notification obligations to patients and regulatory authorities. Provider responsibilities for breach investigation, containment, and remediation should be clearly defined in contractual terms.

Data retention and destruction procedures govern how providers handle patient information when business relationships end or retention periods expire. Secure deletion methods ensure patient data cannot be recovered after authorized destruction. Healthcare organizations conducting HIPAA emailing patient information need verification that providers completely remove all patient communications from their systems when required.

Patient Consent and Communication Preferences

Healthcare organizations should obtain written consent before emailing detailed medical information to patients, even though regulations may not require authorization for treatment communications. Consent forms should explain security measures while acknowledging inherent risks in electronic transmission despite encryption protection. Patients need clear information about how to protect their own email accounts from unauthorized access that could compromise their health information.

Communication preference documentation helps healthcare organizations understand which patients are comfortable receiving health information via email versus those preferring telephone calls or postal mail. Preference tracking systems ensure staff use appropriate communication methods for different patients based on their documented choices. Alternative communication options should remain available for patients who decline email communications or lack secure email access.

Content appropriateness guidelines help staff determine what patient information is suitable for email transmission versus what requires more secure communication methods. Routine test results and medication changes may be appropriate for encrypted email while complex diagnoses or poor prognosis discussions warrant telephone or in-person conversations. Emergency situations and urgent symptoms require immediate communication methods rather than email that patients might not check promptly.

Patient education about email security helps individuals understand their role in protecting their health information during electronic communications. Instructions about recognizing legitimate healthcare emails, maintaining strong passwords, and reporting suspicious activities empower patients to participate in securing their information. Healthcare organizations benefit from providing clear guidance about email security practices and potential risks.

Compliance Monitoring and Risk Management

Security assessments evaluate whether email systems maintain appropriate protections for patient information throughout their operational lifecycles. Penetration testing identifies vulnerabilities that could allow unauthorized access while security audits verify that controls function as intended. Assessment schedules should include testing after system updates, configuration changes, or security incident discoveries.

Policy development establishes clear guidelines about what patient information can be transmitted via email and what security measures staff must follow. Written policies should specify encryption requirements, recipient verification procedures, and content appropriateness criteria. Policy review schedules ensure guidance remains current as technology and regulations evolve.

Staff training programs educate healthcare workers about proper procedures for HIPAA emailing patient information through secure channels. Training should cover encryption activation, recipient verification, content appropriateness, and incident reporting responsibilities. Documented training records demonstrate compliance efforts during regulatory inspections while reinforcing security culture within organizations.

Incident response planning prepares healthcare organizations to handle security breaches involving email communications containing patient information. Response procedures should include immediate containment measures, breach scope assessment, affected patient notification, and regulatory reporting. Practice drills help ensure staff can execute response plans effectively during actual security emergencies that threaten patient information.

Picture of Erik Kangas

Erik Kangas

With 30 years engaged in to both academic research and software architecture, Erik Kangas is the founder and Chief Technology Officer of LuxSci, playing a core role in building the company into the market leader for HIPAA compliant, secure healthcare communications solutions that it is today. An international lecturer on messaging security, Erik also advises and consults on email technology strategies and best practices, secure architectures, and HIPAA compliance. Erik holds undergraduate degrees in physics and mathematics from Case Western Reserve University, and a doctoral degree in computational biophysics from MIT. Erik Kangas — LinkedIn

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LuxSci G2 2026

LuxSci Earns 19 G2 Spring 2026 Badges

LuxSci continues its strong performance in the G2 Spring 2026 Reports, earning 19 badges that reflect real customer satisfaction and consistent product excellence across multiple areas, including email encryption, HIPAA compliant messaging, email security and email gateways.

G2: A Highly Reputable Peer Review Platformn

In a crowded software landscape, it’s easy for bold claims to blur together. That’s where G2 stands apart. Its rankings are based entirely on verified user feedback, giving buyers a clearer picture of how solutions actually perform in day-to-day use, not just how they’re marketed.

For Spring 2026, LuxSci earned recognition across multiple categories, including Leader, Best Customer Support, and Best ROI. Together, these awards show that LuxSci delivers leading technology and a best-in-class customer experience.

What the Badges Represent

Each G2 badge reflects direct input from customers using LuxSci in real-world environments. These evaluations cover usability, onboarding, support responsiveness, and long-term value. LuxSci’s Spring 2026 badges span leadership, customer satisfaction, ROI, and ease of implementation, demonstrating consistent strength across the full customer lifecycle.

Leader Badge: Market Leadership Validated

The Leader badge is awarded to companies with high customer satisfaction and strong market presence. LuxSci’s placement reflects reliable performance, strong security, and continued trust from organizations operating in highly regulated environments like healthcare.

Best Customer Support: A Standout Strength

In secure healthcare communications, timely and accurate support is essential. Issues must be resolved quickly to avoid operational or compliance risks. Customers consistently highlight LuxSci’s fast response times, deep expertise, and a hands-on approach, showing that our technology and our people deliver meaningful, real-world solutions.

Best ROI: Proven Business Value

ROI includes reduced compliance risk, improved efficiency, and scalable operations, not just cost. Customers report measurable benefits from LuxSci’s reliability, built-in compliance, and streamlined workflows, leading to strong long-term value and a solution that keeps you ahead of security and compliance risks.

What This Means for LuxSci Customers

These awards show LuxSci’s ability to serve organizations of varying sizes, from mid-market to enterprise. All reviews are from verified users, ensuring authenticity and transparency. Customers consistently mention reliability, security, and responsive support, along with overall peace of mind. The recognitions validate LuxSci’s ability to deliver secure, dependable communication solutions backed by strong support, including HIPAA compliant email, marketing and forms.

LuxSci’s 10 G2 Spring 2026 badges—including Leader, Best Customer Support, and Best ROI—demonstrate consistent excellence across performance, usability, and customer satisfaction. These results reinforce its position as a trusted provider in secure communications.

LuxSci MFA

Traditional MFA No Longer Qualifies as “Reasonable” Security

For years, multi-factor authentication (MFA) was considered one of the most effective ways to protect sensitive systems. By requiring a second verification step, such as a text message code or push notification, organizations could significantly reduce the risk of compromised passwords.

But the threat landscape has changed.

Today, attackers routinely bypass traditional MFA using techniques such as MFA evasion, token replay attacks, and consent phishing. These methods are no longer rare or highly sophisticated. They are widely used, automated, and increasingly effective.

As a result, regulators, auditors, and security frameworks are raising expectations for authentication security. For healthcare organizations in particular, traditional MFA alone may no longer satisfy the HIPAA requirement to implement “reasonable and appropriate safeguards.”

In the near future, email systems that rely only on basic MFA, without conditional access or phishing-resistant authentication, may increasingly be viewed as security gaps during risk assessments.

Why Traditional MFA Is No Longer Enough

Traditional MFA still improves security compared to passwords alone. However, many common MFA methods were designed before today’s phishing techniques and cloud authentication attacks became widespread.

Common MFA methods include:

  • SMS verification codes
  • Email-based authentication codes
  • Push notifications to mobile apps

While these mechanisms add friction for attackers, they can still be intercepted or manipulated during sophisticated phishing attacks. Because modern attackers now target authentication workflows directly, organizations relying solely on traditional MFA may be more vulnerable than they realize.

How Attackers Bypass MFA Today

Cybercriminals increasingly rely on tools that capture credentials and authentication tokens during login sessions. Three attack techniques are now especially common.

  • MFA Evasion and Phishing Proxies – Attackers frequently deploy adversary-in-the-middle phishing kits that sit between the user and the real login service. When users enter their credentials and MFA code on a phishing page, the attacker forwards the information to the legitimate site and captures the authentication session. The user successfully logs in—but the attacker gains access as well. If attackers capture those tokens, they can reuse them to access the account directly.
  • Token Replay Attacks – After successful authentication, systems typically issue session tokens that allow users to remain logged in without repeated MFA prompts. This technique has been widely observed in attacks targeting cloud email platforms such as Microsoft 365, allowing attackers to access email data even when MFA is enabled.
  • Consent Phishing – Consent phishing bypasses MFA entirely. Instead of stealing passwords, attackers trick users into granting permissions to malicious applications that request access to their mailbox or files. If users approve the request, the attacker’s application receives persistent access to the account through APIs—often without triggering security alerts.

Why Email Authentication Matters Most in Healthcare

Email remains one of the most critical systems in healthcare organizations. It supports patient communication, internal collaboration, and the exchange of sensitive information. Unfortunately, it is also the most frequently targeted entry point for cyberattacks.

Once attackers gain access to an email account, they can:

  • Impersonate healthcare staff
  • Launch internal phishing attacks
  • Access sensitive patient communications
  • Extract protected health information (PHI)

Because of this, email authentication controls are becoming a major focus for security teams and compliance auditors alike.

Evolving Regulatory Expectations

HIPAA does not prescribe specific technologies, but it requires organizations to implement safeguards that are “reasonable and appropriate” based on risk. As new attack methods emerge, the definition of reasonable security evolves.

Today, many security frameworks and regulatory bodies are emphasizing stronger identity protections, including:

  • Phishing-resistant authentication
  • Conditional access policies
  • Monitoring for suspicious login behavior
  • Controls for third-party application permissions

Organizations that rely solely on basic MFA may increasingly struggle to demonstrate that their authentication protections are sufficient.

The Shift Toward Phishing-Resistant Authentication

To address the weaknesses of traditional MFA, many organizations are adopting phishing-resistant authentication technologies, which can be enabled with tools like Duo and Okta. These solutions rely on cryptographic authentication tied to trusted devices, which prevents attackers from capturing or replaying login credentials.

Examples include:

  • Hardware security keys
  • Passkeys
  • Certificate-based authentication

Because authentication is tied to both the device and the legitimate website domain, these technologies significantly reduce the success rate of phishing attacks.

Why Conditional Access Is Becoming Essential

Conditional access adds another layer of protection by evaluating context and risk before granting access. Instead of treating every login the same, conditional access policies analyze signals such as:

  • Device security status
  • Geographic location
  • Network reputation
  • User behavior patterns

If something appears unusual, such as a login from a new country, the system can require stronger authentication or block the attempt altogether. This risk-based approach to authentication helps prevent many account compromise scenarios.

The Future of HIPAA Risk Assessments

As authentication threats evolve, healthcare security assessments are increasingly focusing on identity protection maturity. Organizations may begin seeing findings related to:

  • Weak or outdated MFA methods
  • Lack of conditional access policies
  • Insufficient monitoring of login activity
  • Unrestricted third-party application permissions

In particular, email systems without advanced authentication protections may be flagged as high-risk vulnerabilities, especially when PHI is accessible.

LuxSci’s Modern Approach to MFA

Modern threats require more than a simple second login factor. LuxSci approaches authentication security with layered identity protection designed specifically for healthcare environments.

Instead of relying solely on basic MFA methods like SMS codes or email verification, LuxSci supports stronger authentication controls and policies that align with evolving security expectations. These protections can include:

  • Strong multi-factor authentication options
  • Monitoring for unusual login behavior
  • Enhanced identity verification mechanisms

By combining multiple security layers within its HIPAA-compliant secure communications email and marketing solutions, LuxSci helps healthcare organizations protect sensitive email communications while maintaining usability for providers, health plan administrators, payment providers, and patient engagement teams.

Conclusion

Multi-factor authentication remains an important security control—but not all MFA is created equal. Attack techniques such as phishing proxies, token replay, and consent phishing have demonstrated that traditional MFA methods can be bypassed. As a result, regulators and auditors are increasingly expecting stronger identity protections.

For healthcare organizations that rely heavily on email communications, the implications are significant. Weak authentication controls can expose sensitive patient data and may soon appear as high-risk findings during HIPAA risk assessments. The organizations best positioned for the future will be those that modernize authentication strategies now, moving toward phishing-resistant methods, conditional access policies, and layered identity protection.

Reach out to LuxSci today to learn how HIPAA compliant email can support both your organization’s engagement and cybersecurity needs.


FAQs

1. What is traditional MFA?

Traditional MFA refers to authentication methods that require a second verification step, typically SMS codes, email codes, or push notifications.

2. Why can attackers bypass MFA today?

Modern phishing tools can intercept authentication sessions or steal login tokens, allowing attackers to access accounts even when MFA is enabled.

3. What is phishing-resistant authentication?

Phishing-resistant authentication uses cryptographic methods tied to trusted devices, preventing attackers from capturing login credentials.

4. Why is email security especially important for healthcare organizations?

Email systems often contain patient communications and sensitive information, making them a common target for cyberattacks.

5. How can organizations improve authentication security?

Organizations can strengthen identity security by adopting phishing-resistant authentication methods, implementing conditional access policies, and monitoring login activity.

LuxSci Automated Email Encryption

Encryption Optional Email Will Fail Audits in 2026 and Beyond

For years, healthcare organizations have relied on click-to-encrypt email workflows and secure portals as a practical compromise between usability and compliance. Or in some cases, they simply thought most of their emails did not need to be compliant. In regulated industries where data security and privacy are paramount, this approach was still considered “good enough.”

That era is ending.

As we progress into 2026 and beyond, regulators, auditors, and cyber insurers are sending a clear and consistent message: encryption that depends on human choice is no longer acceptable. It’s already happening. Encryption optional email isn’t merely raising concerns, it’s failing audits outright.

An Email Threat Landscape That’s Changing Faster Than Email Habits

Historically, email encryption was treated as a best practice rather than a hard requirement. If an organization could demonstrate that encryption tools existed and that employees had access to them, auditors were often satisfied. The box was checked, everybody moved on.

Today, the questions auditors ask are fundamentally different. Instead of asking whether encryption is available, they are asking whether sensitive data can ever leave the organization unencrypted. If the answer is yes, even in rare cases, or even accidentally, that’s no longer viewed as an acceptable gap. It’s viewed as inadequate control.

Why 2026 Is a Tipping Point for Email Security

Several forces are converging here in 2026 that make optional encryption increasingly untenable. Regulatory scrutiny around PHI and PII exposure continues to intensify. Breach costs and litigation are rising, with email remaining one of the most common vectors for data exposure and breaches. AI is also changing the game for cybercriminals, and attacks will continue to increase and be more sophisticated. As a result, cyber insurers are tightening underwriting requirements and demanding stronger, more predictable controls.

At the same time, email user behavior is unpredictable and inconsistent, which is a non-starter for data security in today’s world.

Taken together, these trends and behaviors point to a single requirement: email security controls must be automated. They must be enforced by systems, not dependent on employee memory, judgment, or good intentions.

The Reality of “Encryption Optional” in Practice

On paper, optional encryption can sound reasonable. In practice, it creates gaps large enough to open you up to a breach.

Secure portals are a good example. They require recipients to click a link, authenticate, and access content in a controlled environment. While this protects data in transit, and is a better approach than no security at all, it also introduces friction. And people don’t like friction. Senders forget to use the portal. Recipients ask for “just a quick email instead.” Shortcuts are taken to save time. And every shortcut becomes a risk.

Click-to-encrypt systems suffer from a similar problem. They rely on users to correctly identify sensitive data and remember to take action. But people often misclassify information, forget to click the button, or assume someone else has already secured the message. From an auditor’s perspective, this isn’t a training failure. It’s a set-up and control failure.

Email Security Defaults Are the New Normal

The latest message from regulators, auditors, and insurers is clear. If encryption is optional, data vulnerabilities become inevitable.

What can you do?

Below is a quick email security checklist to help you get started. Cyber insurers may require or recommend the following safeguards during the underwriting process, such as:

  • Multi-factor authentication (MFA)
  • Endpoint protection
  • Encrypted backups
  • Incident response planning
  • Encryption protocols for sensitive data in transit and at rest, including PHI in emails

In 2026 and beyond, healthcare organizations and regulated industries will be judged not by what they allow, but by what they prevent. Automated, encrypted email is the new. normal.

Want to learn more about LuxSci HIPAA compliant email? Reach out today.

LuxSci Oiva Health

LuxSci and Oiva Health Combine to Form Transatlantic Healthcare Communications Group

Boston & Helsinki, February 12, 2026 – LuxSci, a provider of secure healthcare communications solutions in the United States, and Oiva Health, a Nordic provider of Digital Care solutions in social and healthcare services, today announced that the companies are joining forces. Backed by Main Capital Partners (“Main”), the combination brings together two complementary platforms and teams, forming a strong transatlantic software group focused on secure healthcare communications.

Founded in 1999, LuxSci is a U.S. provider of HIPAA‑compliant, secure email, marketing, and forms solutions. Its application and infrastructure software enable organizations to securely deliver personalized, sensitive data at scale to support a broad range of healthcare communications and workflows including care coordination, benefits and payments, marketing, wellness communications, after care and ongoing care. Certified by HITRUST for the highest levels of data security, LuxSci serves dozens of healthcare enterprises and hundreds of mid‑market organizations.

Founded in 2010, Oiva Health is a provider of digital care and communications solutions in the Nordics. Headquartered in Finland, with additional offices in Denmark, Norway, and Sweden, Oiva Health offers digital care and digital clinic solutions – including digital visits, secure messaging, online scheduling and appointments, and caregiver communications – serving the long-term care, especially elderly care, and occupational healthcare verticals. The company employs approximately 60 people and has recently expanded across the Nordic region, with a growing presence in Norway and Sweden.

The combination of LuxSci and Oiva Health creates a larger, cross Atlantic group with complementary solutions, serving the U.S. and European markets. Together, the companies offer healthcare providers, payers, and suppliers a comprehensive suite of tools to communicate securely and compliantly, spanning communications, workflows, and virtual care delivery.

Daan Visscher, Partner and Co-Head North America at Main, commented: “We are pleased to announce this cross Atlantic transaction, creating an internationally active secure communications player within the healthcare and home care space. The combined product suite enables healthcare organizations to drive much needed efficiency gains in healthcare provision addressing a global trend of rising costs, aging population, and increasing pressure on resources needed to provide high-quality care.”

Mark Leonard, CEO of LuxSci, said, “We are thrilled to join forces with Oiva Health and believe that together we can truly make a difference in healthcare coordination, access, and delivery. We see an exciting path forward with our customers benefiting from an end-to-end, secure and compliant approach to optimizing both healthcare communications and today’s frontline workers, which we need now more than ever.”

Juhana Ojala, CEO at Oiva Health, concluded, “We look forward to this new chapter together with LuxSci. We are very excited about the strong alignment between our solutions, which especially strongly positions us to expand our flagship Digital Care offering to the high-potential U.S. care market – from care coordination to care delivery to in-home and institutional care.”

Nothing contained in this Press Release is intended to project, predict, guarantee, or forecast the future performance of any investment. This Press Release is for information purposes only and is not investment advice or an offer to buy or sell any securities or to invest in any funds or other investment vehicles managed by Main Capital Partners or any other person.

[END OF MESSAGE]

About LuxSci

LuxSci is a U.S.-based provider of secure healthcare communications solutions for the healthcare industry. The company offers secure email, marketing, forms and hosting, delivering HIPAA‑compliant communication solutions that enable organizations to safely manage and transmit sensitive data. Founded in 1999, LuxSci serves more than 1,900 customers across healthcare verticals, including providers, payers, suppliers, and healthcare retail, home care providers, and healthcare systems, as well as organizations operating in other highly regulated industries. LuxSci is HITRUST‑certified with example clients being Athenahealth, 1800 Contacts, Lucerna Health, Eurofins, and Rotech Healthcare, among others.

About Oiva Health

Oiva Health is a Digital Care provider in the Nordics, offering a comprehensive Digital Platform for integrated health and care services to digitalize primary healthcare, social care, hospital healthcare and long-term care services. The company was founded in 2010 and currently employs approximately 60 people in Finland, Denmark, Norway, and Sweden serving domestic municipalities, customers and partners, such as City of Helsinki, Keski-Suomi Welfare Region, Länsi-Uusimaa Welfare Region in Finland, and Viborg municipality in Denmark with its Digital Care platform. Annually over 5 million customer contacts are handled digitally through Oiva Health’s Digital Care and Digital Clinic platforms.  

About Main Capital Partners

Main Capital Partners is a software investor managing private equity funds active in the Benelux, DACH, the Nordics, France, and the United States with approximately EUR 7 billion in assets under management. Main has over 20 years of experience in strengthening software companies and works closely with the management teams across its portfolio as a strategic partner to achieve profitable growth and create larger outstanding software groups. Main has approximately 95 employees operating out of its offices in The Hague, Düsseldorf, Stockholm, Antwerp, Paris, and an affiliate office in Boston. Main maintains an active portfolio of over 50 software companies. The underlying portfolio employs approximately 15,000 employees. Through its Main Social Institute, Main supports students with grants and scholarships to study IT and Computer Science at Technical Universities and Universities of Applied Sciences.

The sender of this press release is Main Capital Partners.

For more information, please contact:

Main Capital Partners
Sophia Hengelbrok (PR & Communications Specialist)

sophia.hengelbrok@main.nl

+ 31 6 53 70 76 86

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HIPAA Compliant

Which Platform is HIPAA Compliant?

No platform is automatically HIPAA compliant without proper configuration and implementation. Major cloud platforms like AWS, Microsoft Azure, and Google Cloud can support HIPAA compliance when configured correctly and covered by a Business Associate Agreement (BAA). Healthcare organizations must implement appropriate security controls, access restrictions, and monitoring regardless of which platform they select. The HIPAA compliance of any platform depends on both vendor capabilities and how organizations implement and maintain their systems, as well as their willingness to sign BAA.

Cloud Service Provider Options

Major cloud providers offer environments that support healthcare applications when properly configured. Amazon Web Services (AWS) provides HIPAA compliant services with appropriate security features and BAA coverage. Microsoft Azure includes healthcare-focused compliance documentation and security implementations that align with HIPAA requirements. Google Cloud Platform offers similar capabilities with HIPAA eligible services listed in their compliance documentation. These platforms provide the foundation for building HIPAA compliant applications, but don’t deliver compliance automatically. Healthcare organizations must understand which services within each platform qualify for BAA coverage and how to configure them properly.

Electronic Healthcare Record System Platforms

EHR platforms typically include built-in features designed for HIPAA compliance. Systems like Epic, Cerner, and Athenahealth incorporate security controls, access management, and audit logging capabilities aligned with healthcare regulations. These platforms still require proper implementation and configuration to achieve actual compliance. Organizations using EHR systems must apply appropriate security settings, user permissions, and monitoring tools. Staff need training on maintaining compliance within these environments. Even with healthcare-focused platforms, organizations maintain responsibility for overall HIPAA compliance including staff procedures, proper system usage, and ongoing security management.

Customer Data Platforms

A Customer Data Platform (CDP) provide as a central repository for all data within your organization. A CDP consolidates and centralized data from various applications and sources, including customer relationship management (CRM) systems, social media channels, communications channels, and more to create a comprehensive unified customer profile. In healthcare, a HIPAA compliant CDP can help ensure that all patient interactions comply with strict data protection laws, safeguarding PHI in ways that optimize personalization without compromising privacy. Integrating HIPAA-compliant communications, such as email, with CDPs enable healthcare providers, payers and suppliers to devleop more relevant, timely, and consistent communications with their patients and customers.

Video Conferencing and Messaging Solutions

Healthcare teams use various communication platforms that must maintain patient information security. Microsoft Teams can support HIPAA compliant communication when implemented as part of a properly configured Microsoft 365 environment with a BAA. Zoom for Healthcare provides a version of their video platform with additional security features and BAA coverage. Standard consumer messaging applications like regular Zoom, WhatsApp, or Facebook Messenger lack appropriate security features for protected health information. Healthcare organizations must distinguish between regular communication tools and versions designed for healthcare use. Staff training should clearly identify which platforms may handle patient information.

Patient Engagement Web Platforms and Patient Portals

Healthcare organizations use various website platforms and patient portals for patient interaction. Content management systems like WordPress can support HIPAA compliance with proper hosting, security plugins, and configuration. Patient portal systems from vendors like Athenahealth, NextGen, and eClinicalWorks include features designed for compliance with healthcare regulations. Website platforms require careful attention to form handling, data storage, and transmission security. Organizations often separate public website content from patient portals to maintain appropriate security boundaries. The compliance status depends not just on the platform selection but on implementation details and ongoing maintenance.

Mobile Health Applications

Mobile health applications create distinct HIPAA compliance challenges. Development platforms like Apple iOS and Android don’t automatically create HIPAA compliant applications. Developers must implement security measures including encryption, authentication, and secure data storage. Mobile device management (MDM) solutions help organizations maintain security on devices accessing patient information. Healthcare organizations need policies governing mobile application usage and development standards. Testing should verify security implementations before deploying applications handling patient data. The mobile strategy must address both organization-provided and personal devices.

Platform Selection Methodology

Healthcare organizations benefit from following a structured approach when selecting platforms for handling protected health information. This process begins with documenting workflow requirements and data handling needs. Organizations should request compliance documentation from vendors including BAA availability and security capabilities. Implementation plans need to address configuration requirements for maintaining compliance. Ongoing management procedures should include regular security assessments and updates. Organizations often consult with healthcare security experts when making platform decisions. A thorough evaluation process helps balance functional requirements against security needs while identifying appropriate HIPAA compliant marketing solutions.

LuxSci Secure Email Reporting Statistics

New Reporting Features Go Deeper on Email Deliverability Statistics, Trends and Analysis

We recently rolled out new email reporting features, taking deliverability depth and analysis to new levels. If you’re a current LuxSci customer and haven’t checked them out, now’s the time. If you’re new to LuxSci, learn more below, and don’t hesitate to reach out for more info – or a demo.

LuxSci secure communications solutions have always featured rich reporting on email deliverability, including volumes and percentages for emails:

  • in queue
  • opened
  • clicked
  • failed
  • secured

With our latest release, we made these powerful statistics easier to consume and analyze with an improved user interface for more efficiency and greater ease-of-use. Users can simply select the type of report they’d like and customize it using a range of filtering selections. This is great for diving deeper into your email performance to make adjustments on-the-fly, and to spot trends or opportunities for better engagement that you may have missed before.

New UI – Email Deliverability Statistics

LuxSci Secure Email Reporting Statistics

Get more granular, ID trends in real time with Split Reporting

As part of this release, we are pleased to introduce our Split Reporting feature, which empowers users to drill down on email deliverability statistics across a range of parameters, including:

  • subject
  • from address
  • recipient domains
  • marketing ID or campaign
  • custom field

For example, users can analyze email deliverability statistics by subject to determine which ones are performing best, by use case to track results by campaign, or to track performance by recipient email domains. With split reporting, users also can analyze email volumes across queued, delivered, opened, failed and clicked parameters, and determine click-through rates (CTR) to measure effectiveness and ROI of campaigns.

New Feature Example – Split Reporting by Recipient Domain

LuxSci Secure Email Split Reporting

If you’d like to learn more, reach out and connect with us today!

 

HIPAA Compliant

How Do You Know If Software is HIPAA Compliant?

No software is inherently “HIPAA compliant” without proper implementation and usage. To determine if software can support HIPAA compliance, evaluate whether the vendor offers a Business Associate Agreement, assess security features like encryption and access controls, review documentation about compliance capabilities, verify third-party certifications, and consider implementation requirements. Software only becomes part of a HIPAA compliant solution when configured and used according to healthcare privacy regulations.

Business Associate Agreement Availability

The most fundamental indicator of software’s compliance potential is whether the vendor offers a Business Associate Agreement (BAA). This legal document establishes the vendor’s responsibilities for protecting healthcare information under HIPAA regulations. Software vendors unwilling to sign a BAA cannot legally handle protected health information regardless of their security features. Healthcare organizations should request BAA information early in the evaluation process. The agreement typically states which software components fall under HIPAA compliant related coverage, as vendors may exclude certain features or modules. Organizations must obtain this agreement before storing any patient data in the software.

Security Feature Assessment

Software that works with HIPAA requirements includes necessary security capabilities aligned with regulatory standards. Encryption safeguards data during storage and transmission across networks. User authentication confirms identities through password requirements and multi-factor verification. Access controls limit information viewing based on job roles and responsibilities. Audit logging records who accessed information and what actions they performed. Backup systems preserve data availability while maintaining appropriate security measures. When evaluating software, healthcare organizations need to determine whether these features address their compliance requirements based on the patient information they handle.

Compliance Documentation Review

Reputable vendors supply documentation describing how their software supports regulatory requirements. Security white papers, HIPAA compliance guides, and implementation recommendations form part of this documentation package. Configuration guides detail how to set up the software to meet HIPAA security standards. Responsibility matrices explain which compliance obligations belong to the vendor versus the healthcare organization. Documentation quality generally reflects the vendor’s understanding of healthcare regulatory requirements. A thorough review of these materials helps organizations determine whether the software addresses their needs to become HIPAA compliant.

Third-Party Certifications and Audits

Many vendors seek independent verification of their security practices through formal assessments. SOC 2 reports examine security, availability, and confidentiality controls. ISO 27001 certification shows structured information security management. HITRUST certification addresses healthcare security requirements. Independent assessments provide objective evidence of security practices beyond what vendors claim themselves. Organizations benefit from verifying certification validity and reviewing scope statements to understand what was evaluated. While certifications don’t guarantee HIPAA compliance, they show the vendor follows established security practices relevant to healthcare environments.

Implementation Requirements Evaluation

Software compliance capabilities matter only when organizations can implement them effectively. Technical features like encryption may require particular hardware or additional components. Administrative functions might demand specialized knowledge to configure correctly. Integration with existing systems determines whether security controls function consistently across environments. Before selecting software, organizations need to assess whether they have resources and expertise to implement necessary security measures. Complex implementation requirements might indicate that general-purpose software won’t practically support healthcare compliance needs without considerable effort.

Support and Updates

HIPAA compliance depends on maintaining software security over time as threats and standards evolve. Vendors serving healthcare customers provide regular security updates addressing emerging vulnerabilities. Support offerings include help with compliance-related configurations and troubleshooting. Version upgrades maintain security while introducing new features. When selecting software, organizations should examine the vendor’s history of timely security patches and compliance updates. Without active security maintenance, software gradually becomes non-HIPAA compliant as new threats emerge and security standards change. Consistent vendor support remains important for maintaining HIPAA compliance throughout the software lifecycle.

Best HIPAA Compliant Email Providers

What Is HIPAA Email Marketing?

HIPAA email marketing involves digital promotional communications sent by healthcare organizations that must comply with federal privacy regulations when using Protected Health Information (PHI) to reach patients and prospects. Healthcare providers can engage in email marketing activities, but they encounter strict limitations when using patient contact information obtained through clinical encounters or when targeting recipients based on health conditions. The HIPAA Privacy Rule requires written authorization for most email marketing that involves individually identifiable health information, while permitting certain treatment-related communications and health plan activities without patient consent.

Healthcare organizations increasingly rely on email communication to reach patients efficiently while managing costs and improving engagement. Carrying out effective digital marketing while adhering to privacy compliance requires understanding when authorization is needed and how to implement compliant email marketing strategies.

Why Healthcare Organizations Use Email Marketing

Cost efficiency drives healthcare email marketing adoption as organizations seek affordable ways to communicate with large patient populations. Email campaigns cost significantly less than direct mail, print advertising, or telephone outreach while providing measurable engagement metrics. Healthcare systems can reach thousands of patients instantly with preventive care reminders, health education materials, or service announcements at minimal expense per recipient.

Patient engagement improves through targeted email communications that provide relevant health information and service updates. Email marketing allows healthcare organizations to segment audiences based on demographics, health interests, or service utilization patterns. Personalized email content generates higher open rates and click-through rates than generic mass communications, leading to better patient response and participation in health programs.

Competitive positioning requires healthcare organizations to maintain visibility in patient inboxes alongside other service providers and health information sources. Patients receive numerous health-related emails from insurance companies, pharmaceutical manufacturers, wellness apps, and other healthcare entities. Organizations that do not engage in compliant email marketing may lose mindshare and patient loyalty to more communicative competitors.

Revenue generation opportunities emerge from email marketing campaigns that promote elective services, wellness programs, or expanded care offerings. Healthcare organizations can use email to announce new service lines, highlight specialist capabilities, or educate patients about treatment options. Revenue-generating email marketing requires careful attention to HIPAA authorization requirements to avoid compliance violations.

Healthcare Emails Requiring Patient Authorization

Promotional emails for elective services or non-treatment programs require written patient authorization when using contact information obtained through clinical encounters. Healthcare organizations cannot email patients about cosmetic procedures, weight loss programs, or wellness services without explicit consent, even when using their own patient databases. The authorization must specifically address email marketing and describe the types of services being promoted.

Third-party product promotions sent via email require patient authorization regardless of the healthcare organization’s relationship with the product manufacturer. Organizations cannot send emails promoting pharmaceutical products, medical devices, or health-related consumer goods without written patient consent.

Targeted health campaigns that use diagnostic or treatment information to select email recipients require authorization under HIPAA marketing rules. Healthcare organizations cannot send diabetes management emails to patients with diabetes diagnoses or cardiac health information to patients with heart conditions without written permission. The targeting based on health status distinguishes these campaigns from general health education communications.

Social event invitations and fundraising appeals sent via email may require authorization depending on how recipient lists are compiled and whether health information influences targeting decisions. Healthcare organizations can send general fundraising emails to broad patient populations but need authorization when targeting based on specific conditions, treatments, or service utilization patterns.

HIPAA Compliant Treatment-Related Emails

Appointment communications qualify as treatment-related emails that do not require marketing authorization under HIPAA regulations. Healthcare organizations can send appointment confirmations, reminders, and rescheduling notices without patient consent because these communications support ongoing care relationships. Follow-up appointment scheduling and routine care reminders also fall under permissible treatment communications.

Care coordination emails between healthcare providers remain exempt from marketing restrictions when they facilitate patient treatment. Primary care physicians can email specialists about patient referrals, and care teams can coordinate treatment plans via email without authorization requirements. The communications must relate directly to patient care rather than promoting additional services or programs.

Health education materials related to conditions that patients are receiving treatment for do not require marketing authorization. Healthcare organizations can email diabetes management tips to diabetic patients currently receiving care or send cardiac rehabilitation information to patients enrolled in cardiac programs. The education must relate to active treatment relationships rather than general health promotion.

Prescription and laboratory result communications via email support treatment activities and do not trigger marketing restrictions. Healthcare organizations can notify patients about prescription readiness, laboratory result availability, or medication adherence reminders without written authorization. Patient portal notifications about available health information also qualify as treatment communications.

HIPAA Email Marketing Compliance Supports

Encryption protection is necessary for all email communications containing PHI, whether for treatment or marketing purposes. Healthcare organizations must implement appropriate safeguards to protect patient information during email transmission and storage. Email marketing platforms used by healthcare organizations need encryption capabilities and security controls that meet HIPAA Security Rule requirements.

Access controls within email marketing systems ensure that only authorized personnel can access patient contact information and send marketing communications. Role-based permissions limit which staff members can create marketing campaigns, access patient lists, or modify email content. Multi-factor authentication adds security layers that protect against unauthorized access to email marketing platforms containing patient data.

Audit logging capabilities track all activities within HIPAA email marketing systems to create compliance documentation. The systems must log campaign creation, email sends, list access, and user activities to provide audit trails for regulatory reviews. Automated reporting features help healthcare organizations monitor email marketing compliance and identify potential privacy violations.

Opt-out mechanisms are required for all healthcare email marketing communications to provide patients with control over future messaging. Unsubscribe processes must be easy to use and honor patient requests promptly to maintain compliance with both HIPAA and CAN-SPAM regulations. Email marketing systems need automated processing of opt-out requests and suppression list management capabilities.

Obtaining Valid Email Marketing Authorization

Authorization documents for email marketing must include specific elements required by HIPAA Privacy Rule regulations. The authorization must describe what patient information will be used, identify who will receive the information, and explain the purpose of the email marketing communications. Patients must understand their right to revoke authorization and any consequences of refusing to provide consent for marketing activities.

Timing considerations affect when healthcare organizations can request email marketing authorization from patients. Authorization requests should not be bundled with treatment consent forms or presented during medical emergencies when patients cannot provide informed consent. Organizations need separate processes for obtaining marketing authorization that do not interfere with treatment decisions or patient care activities.

Electronic signature capabilities allow healthcare organizations to collect email marketing authorization digitally while meeting HIPAA documentation requirements. Patient portal systems, website forms, or tablet-based signature capture can facilitate authorization collection. Electronic authorization systems must provide adequate authentication and maintain signed documents for audit purposes.

Renewal procedures help healthcare organizations maintain current authorization for ongoing email marketing campaigns. Authorization documents should specify expiration dates or renewal requirements to ensure patient consent remains valid. Entities need systems to track authorization status and remove patients from marketing lists when consent expires or is revoked.

Compliance Challenges Affecting HIPAA Email Marketing

List management complexity creates compliance risks when healthcare organizations use multiple sources of patient contact information for email marketing. Patient lists derived from treatment encounters require different handling than lists compiled from website registrations or health screenings. Organizations need clear policies about which lists can be used for marketing purposes and which require patient authorization.

Content classification challenges arise when determining whether specific email communications qualify as treatment-related or marketing activities. Healthcare organizations may struggle to distinguish between educational content that supports treatment and promotional content that requires authorization. Legal review processes help organizations evaluate email content and determine appropriate compliance requirements.

Vendor management issues emerge when healthcare organizations use third-party email marketing platforms that may not understand healthcare compliance requirements. Marketing vendors need Business Associate Agreements and must implement appropriate safeguards to protect patient information. Organizations remain responsible for vendor compliance with HIPAA requirements even when using external email marketing services.

Cross-platform integration difficulties occur when healthcare organizations attempt to coordinate email marketing with other communication channels or healthcare systems. Patient authorization status must be synchronized across email platforms, patient portals, and electronic health record systems. Data synchronization challenges can create compliance gaps or duplicate communication efforts that frustrate patients and waste resources.