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Abstract: . . . information infrastructure; and to patients as they seek to participate more fully in decisions regarding their own care. Paul C.Tang, Chair Committee on Data Standards for Patient Safety Cc: Ann Marie Lynch, Acting Assistant Secretary for Planning and Evaluation (ASPE), Department of Health and Human Services Thomas A.Scully, Administrator, Centers for Medicare and Medicaid Services, Department of Health and Human Services Gary Christopherson, Senior Advisor for the Undersecretary for Health, Department of Veterans Affairs . . . . . . un segnalibro o un collegamento alla pagina, utilizzare il seguente URL: http://www.google.com/search?q=cache:98zVni1DDSwJ:www.ehto.org/2005/US%2520ACADEMIA%2520PRESS.doc蛙http+www+powerpoint+href+file://縩康⩞:pdf㤟龊垭쪗:doc㤟龊垭쪗:ppt㤟龊垭쪗:xls㤟龊垭쪗:rtf&hl=it&ct=clnk&cd=100&lr=lang_en Google non è collegato agli autori di questa pagina e non è responsabile del suo contenuto. I termini specificati sono presenti solamente in collegamenti che rimandano alla seguente pagina: html 1146 US ACADEMIA PRESS: Key Capabilities of na EHR System Letter Report 2003 (Book extract pg. 5) (Institute of Medicine, 2001, 2002a, 2002c). PROJECT OVERVIEW In response to the request from DHHS in May 2003, the charge to the IOM Committee on Data Standards for Patient Safety was expanded as follows: Provide guidance to DHHS on a set of basic functionalities that an electronic health record system should possess . . . . . . migration pathway for hospitals would be more rapid than that for nursing homes, recognizing that many hospitals have some EHR system capabilities already in place while most nursing homes do not, and that hospitals generally have greater access to technical expertise. The migration can also be expected to take longer for physicians offices than for hospitals, given the differences between the two in financial resources available for IT investments. The IOM Committee set these targets within the context of the current momentum it is observing in the public and private sectors. A loss of momentum would adversely affect these estimates. It is recognized that not every provider will meet the functional requirements by the times indicated. The functional requirements are intended to be challenging but achievable for a sizable proportion of the health care sector. CONCLUSION The IOM Committee is pleased to have had the opportunity to provide guidance on this important issue. The committee . . . --3000,3,500,2816,30327
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