[humanser] Resolution 2014-10 Regarding the Omission of Accessibility Standards in the Office of the
Dr. Chappell
mtc5 at cox.net
Sun Jul 13 12:21:11 UTC 2014
Mary Ann,
POWERFUL. Thank you for your efforts in this work and your contributions to
this outcome.
Genuinely,
Mary Tatum Chappell, Psy. D.
-----Original Message-----
From: humanser [mailto:humanser-bounces at nfbnet.org] On Behalf Of Mary Ann
Robinson via humanser
Sent: Sunday, July 13, 2014 8:03 AM
To: Human Services Mailing List
Subject: [humanser] Resolution 2014-10 Regarding the Omission of
Accessibility Standards in the Office of the
I want to thank everyone for working so hard to pass the following
resolution.
Mary Ann Robinson
Resolution 2014-10
Regarding the Omission of Accessibility Standards in the Office of the
National Coordinator for Health and Information Technology's Certification
Criteria for Electronic Health Records
WHEREAS, the transition from print-based medical records to electronic
health records (EHR) offers the opportunity to expand the circle of
participation in the healthcare industry by giving blind providers
mainstream access to systems and material that they need in order to do
their jobs without the need for alternative formats, specialized services,
and customized supports, and by giving blind patients private and equal
access to their health records; and
WHEREAS, most current EHR technology is inaccessible to blind people
working
in or pursuing work in the healthcare industry, creating new barriers that
may ultimately drive blind people out of the industry altogether; and
WHEREAS, the Office of the National Coordinator for Health and Information
Technology (ONC), which is housed in the Department of Health and Human
Services, drives the market for EHR technology by developing Certification
Criteria, allowing developers to know what specifications their EHR
technology must meet in order for providers to use it; and
WHEREAS, in order to update the Certification Criteria, improve its
regulatory timeline, and more effectively respond to stakeholder feedback,
ONC issued a Notice of Proposed Rulemaking unveiling the voluntary 2015
Edition of EHR in March of 2014; and
WHEREAS, ONC's EHR Certification Criteria are a vehicle by which ONC can
break the systemic discrimination within the healthcare industry caused by
inaccessible EHR; and
WHEREAS, ONC missed this remarkable opportunity and failed to integrate
accessibility into the Certification Criteria properly, calling only for
increased accessibility for blind patients and not requiring any
accessibility for blind workers who use the technology; and
WHEREAS, the National Federation of the Blind submitted comments in response
to the NPRM urging ONC to amend the Voluntary 2015 Certification Criteria to
include compliance with WCAG 2.0 Level AA; and
WHEREAS, in our filing the Federation noted that compliance must not only
include access for patients but must also meet the needs of blind people who
currently work or who wish to work in the healthcare industry; and
WHEREAS, the National Federation of the Blind supported our comments by
submitting letters on behalf of sixteen blind doctors, nurses, assistants,
therapists, and students who currently work in the healthcare industry or
are pursuing careers in the healthcare industry and who are facing extreme
discrimination as a result of inaccessible EHR technology: Now, therefore,
BE IT RESOLVED by the National Federation of the Blind in Convention
assembled this fifth day of July, 2014, in the city of Orlando, Florida,
that we strongly urge ONC to amend the Voluntary 2015 Certification Criteria
for EHR technology to include accessibility for all users of the technology;
and
BE IT FURTHER RESOLVED that we commend the sixteen blind healthcare
professionals for telling their stories, because the talents and careers of
many individuals are in jeopardy if those currently facing needless
discrimination because of inaccessible EHR technology do not make their
voices heard; and
BE IT FURTHER RESOLVED that we strongly urge the Centers for Medicare and
Medicaid Services, the Department of Health and Human Services, and any
healthcare provider that deploys EHR technology proactively to demand
accessibility from developers, since all of these entities are stakeholders
in this matter and will never fully realize the benefits of EHR technology
unless that technology is accessible to users with disabilities.
`
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