Personal Health Information Act (Newfoundland and Labrador)

Overview

The Personal Health Information Act, SNL 2008, c P-7.01 (NL PHIA), is Newfoundland and Labrador’s health-sector specific privacy legislation which applies to the collection, use, and disclosure of personal health information (PHI) involved in the delivery of health care services in the Province of Newfoundland and Labrador.

Customers are always in control of how they manage and access their content stored on AWS. AWS does not have visibility into or knowledge of what customers are uploading onto its network, including whether or not that data is deemed subject to NL PHIA legislation, and customers are responsible for ensuring their own NL PHIA compliance. AWS customers can design and implement an AWS environment, and use AWS services in a manner that satisfies their obligations under NL PHIA.

The AWS Canada (Central) Region is currently available for multiple services, including Amazon Elastic Compute Cloud (Amazon EC2), Amazon Simple Storage Service (Amazon S3), and Amazon Relational Database Service (Amazon RDS). For a complete list of AWS Regions and services, visit the Global Infrastructure page. Canada Region pricing is available on the detail page of each service, which can be found through our products and services page.

  • The Personal Information Protection and Electronic Documents Act (PIPEDA) is a Canadian federal law that applies to the collection, use, and disclosure of personal information in the course of commercial activities in all Canadian provinces. Certain Canadian provinces have also adopted their own general privacy laws for both the public and private sector, as well as privacy laws specific to personal health information. The Personal Health Information Act, SNL 2008, c P-7.01 (NL PHIA) is privacy legislation in Newfoundland and Labrador (NL), that governs the collection, use, and disclosure of personal health information (PHI) involved in the delivery of health care services in NL. NL PHIA governs information held by custodians of PHI as defined within the regulations, such as a pharmacist or ambulance service. A “custodian” includes, but is not limited to a health care professional, when providing health care to an individual or performing a function necessarily related to the provision of health care to an individual.

    Whether, and the extent to which, an AWS customer is subject to PIPEDA, NL PHIA, or any other Canadian provincial privacy requirements may vary depending on the customer’s business.

    Other organizations may be subject to PIPEDA or provincial privacy laws as well. For more information about PIPEDA, please visit the AWS website here.

    Customers should consult their own legal advisors to understand the privacy laws to which they are subject.

  • AWS customers can design and implement an AWS environment, and use AWS services in a manner that satisfies their obligations under NL PHIA.

    Customers that are subject to NL PHIA may have to comply with requirements relating to the collection, access, use, disclosure and protection of personal health information. AWS gives customers control over how their content is stored or processed when using AWS services, including control over how that content is secured and who can access that content. AWS provides services that customers can configure and use to aid in the security of personal health information they store on AWS, and it is the responsibility of the customer to architect a solution that meets applicable privacy requirements.

    Note that there is no officially recognized “certification” for NL PHIA compliance in the same way that an entity might be SOC, PCI, or FedRAMP certified or authorized. Instead, AWS offers its customers considerable information regarding the policies, processes, and controls established and operated by AWS. AWS provides workbooks, whitepapers, and best practice guides on our AWS Compliance Resources page and customers have on-demand access to AWS third-party audit reports in AWS Artifact.

  • Customers are always in control of how they manage and access their content stored on AWS. AWS provides an advanced set of access, encryption, and logging features to help customers manage their access and content. AWS does not access or disclose customer content unless at the direction of the customer, or if necessary to comply with the law or a legally valid and binding order of a governmental or regulatory body having jurisdiction. Unless AWS is legally prohibited from doing so or there is a clear indication of illegal conduct in connection with the use of AWS services, AWS notifies customers before disclosing customer content so they can seek protection from disclosure. For more information, visit Data Privacy FAQ.  

  • Customers should consult their own legal advisors when seeking to comply with privacy laws. NL PHIA legislation may require custodians to put certain measures in place to protect PHI in their custody or control such as administrative, technical and physical safeguards. PHI that is to be stored, accessed, used, or disclosed outside of NL or Canada may be subject to certain obligations under NL PHIA prior to such storage, access, use or disclosure outside of NL or Canada. It is the responsibility of each customer to determine whether transferring and storing data outside of NL or outside of Canada satisfies their security and privacy obligations under NL PHIA.

    AWS customers should consider whether PIPEDA or the laws of any other Canadian provinces may apply, and review such laws for any data residency limitations. AWS customers choose the region(s) in which their content will be stored. AWS will not move or replicate customer content outside of the customer’s chosen region(s) without the customer’s consent.

  • Under NL PHIA, there is no specific requirement to encrypt personal information. However, entities subject to NL PHIA are required to take steps to safeguard personal health information and it is the responsibility of each customer to determine whether encryption is appropriate to satisfy its security obligations. AWS recommends that PHI always be encrypted at rest and in transit as a best practice.

  • AWS makes available a wide range of materials to help customers understand the AWS environment and security controls. AWS provides customers with on-demand access to third-party audit reports (such as our SOC 1 and SOC 2 reports) in AWS Artifact. AWS also provides workbooks, whitepapers, and best practices on our AWS Compliance Resources page about how to run workloads on AWS in a secure manner.

  • As part of the Shared Responsibility Model, customers should consider implementing auditing and logging across their AWS environment in a manner sufficient to meet their compliance requirements. AWS offers services that make scalable logging and log analytics architectures simpler to implement. AWS also has a variety of partners in the AWS Marketplace that provide security logging solutions. Refer to this AWS Security-Logging Capabilities page for more information on how to implement logging on AWS.

  • You can read our latest blog about trends in Canadian healthcare. Additional information on healthcare compliance on the AWS Cloud can be found here.

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