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Protect your privacy
We use reasonable administrative, physical, and technical safeguards to help prevent unauthorized access, use, loss, or disclosure of your PHI.
Tender Hand Healthcare Services
HIPAA Notice of Privacy Practices
The health information we keep about you tells your story. This Notice explains how that information may be used and shared, and the rights you hold over it — because protecting your record is part of protecting you.
HIPAA · PII / PHI
Effective date: May 19, 2026 · Last reviewed: May 19, 2026
This Notice explains how Tender Hand Healthcare Services LLC (THHS) may use and share your protected health information, the responsibilities we have when handling that information, and the rights you have under federal and New Jersey law.
This Notice applies to individuals receiving services from THHS and, when legally applicable, their guardians, personal representatives, or other authorized decision-makers.
It applies to protected health information created, received, maintained, or transmitted by THHS in paper, spoken, photographic, and electronic form.
Tender Hand Healthcare Services LLC may be referred to in this Notice as “Tender Hand,” “THHS,” “we,” “us,” or “our.”
THHS provides person-centered healthcare, community-based support, respite, and related services to individuals and families throughout New Jersey.
During the course of providing and coordinating services, THHS may create, receive, maintain, or share information about:
This Notice describes the privacy practices followed by THHS, its workforce, and other persons who are legally authorized to act on its behalf.
“Protecting your information means respecting the person, the choices, and the life behind every record.”
Protected health information, or PHI, is information that identifies you, or could reasonably be used to identify you, and relates to:
PHI may exist in many forms, including:
Information may still be protected even when it does not include your full name. Other details, when combined, may identify you.
Need-to-know access
THHS limits access to your information to workforce members and authorized persons who need it to provide, coordinate, administer, monitor, or support your services, or to perform another function permitted or required by law.
THHS is required to protect the privacy and security of your PHI and to follow the terms of the Notice of Privacy Practices currently in effect.
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We use reasonable administrative, physical, and technical safeguards to help prevent unauthorized access, use, loss, or disclosure of your PHI.
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When the minimum-necessary standard applies, we make reasonable efforts to use, request, or disclose only the amount of information needed for the purpose.
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We provide this Notice to individuals receiving services and, when applicable, their legal guardians or personal representatives.
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We provide reasonable ways for you to access your records, request corrections, ask for restrictions, and exercise your other privacy rights.
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We will notify you when required if a breach compromises the privacy or security of your unsecured PHI.
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THHS will not deny services, retaliate, or treat you unfairly because you exercise a privacy right or submit a complaint in good faith.
We train members of our workforce regarding their privacy and confidentiality responsibilities. We also require appropriate privacy protections from outside organizations that perform certain services for THHS and have access to PHI.
HIPAA generally permits THHS to use and disclose your PHI for treatment, payment, and healthcare operations without obtaining a separate written authorization from you.
These uses and disclosures allow THHS and other authorized providers to coordinate services, maintain safe and effective support, and carry out essential operations.
We may use or share your PHI to provide, coordinate, manage, or support your healthcare and community-based services.
This may include communicating with:
Example
A THHS staff member may share information about your allergies, medications, mobility needs, communication preferences, or safety plan with an authorized healthcare provider or support professional who needs that information to assist you safely.
We may use or disclose your PHI to obtain payment, confirm eligibility, secure service authorization, submit claims, or respond to billing and payment questions.
This may include communication with:
Example
THHS may submit information showing the authorized service, date of service, amount of service delivered, and supporting documentation needed for Medicaid or another authorized payer to process a claim.
We may use or disclose your PHI for activities necessary to operate THHS and maintain the quality, safety, integrity, and effectiveness of our services.
Healthcare operations may include:
Example
THHS may review service notes, incident documentation, or feedback from you and your support team to determine whether services are meeting your needs and whether improvements are necessary.
The minimum-necessary standard
When the minimum-necessary requirement applies, THHS makes reasonable efforts to limit a use, request, or disclosure to the information reasonably needed for its purpose.
The minimum-necessary requirement does not apply in every circumstance, including certain disclosures for treatment, disclosures made directly to you, uses or disclosures made under your authorization, and disclosures required by law.
THHS may use or disclose your PHI without your written authorization in other circumstances permitted or required by law. We will limit the information shared when the minimum-necessary standard applies.
We may disclose information to authorized public health agencies or other responsible authorities for activities such as:
We may disclose information to an authorized government or protective-services agency when we reasonably believe that a person may be a victim of abuse, neglect, exploitation, or domestic violence, or when reporting is otherwise required by law.
We may disclose PHI to government agencies legally authorized to conduct audits, inspections, investigations, credentialing reviews, quality monitoring, civil-rights reviews, or other oversight activities.
This may include the New Jersey Department of Human Services, the Division of Developmental Disabilities, Medicaid authorities, licensing agencies, and other authorized oversight bodies.
We may disclose PHI in response to a valid court order, administrative order, subpoena, discovery request, or other lawful process when the applicable legal requirements have been met.
We may disclose PHI to law-enforcement officials when permitted or required by law, including in response to certain legal processes, to report specific injuries or crimes, to locate a person, or to address a serious threat.
We may disclose PHI to a coroner, medical examiner, or funeral director when authorized by law and necessary for that person to perform their duties.
We may disclose PHI as authorized by and necessary to comply with workers’ compensation laws or similar programs established by law.
We may use or disclose PHI for research only when the research has received the approvals or waivers required by law, or when you have signed a valid authorization.
When legally authorized, we may disclose PHI for certain specialized government functions, military or veterans’ activities, national-security activities, protective services, correctional-institution activities, or lawful custody purposes.
Required by law
THHS may use or disclose PHI when a federal or New Jersey law requires us to do so. We will disclose only the information required by that law.
When appropriate and permitted by law, THHS may share information relevant to your care or payment for your care with a family member, friend, guardian, personal representative, Support Coordinator, or another person involved in helping you.
When you are present and able to make decisions, we may:
If you are not present, are incapacitated, or an emergency makes it impractical to ask you, we may use professional judgment to share information that is directly relevant to the person’s involvement in your care and is in your best interest.
Example
If a person you have identified helps coordinate transportation to a medical appointment, THHS may share the limited scheduling or support information reasonably needed for that purpose.
A person legally authorized to act on your behalf may exercise your privacy rights and receive information to the extent permitted by law and consistent with that person’s legal authority.
THHS may request documentation showing the representative’s authority, such as guardianship papers, a healthcare power of attorney, or another legally recognized document.
THHS will obtain your written authorization before using or disclosing your PHI when HIPAA or another applicable law requires authorization.
Written authorization is generally required for:
You may revoke an authorization at any time by giving THHS a written request. Your revocation will apply to future uses and disclosures. It will not undo actions already taken in reliance on the authorization.
THHS generally will not condition services, eligibility, or payment on your signing an authorization, except when the law specifically permits such a condition.
You have important rights regarding your PHI. Some rights have legal limits or exceptions. THHS will explain any applicable requirements when you make a request.
You may ask to inspect or receive an electronic or paper copy of PHI maintained in a designated record set. THHS will respond within the period required by law and may charge a reasonable, cost-based fee when permitted.
You may ask THHS to correct PHI that you believe is inaccurate or incomplete. We may deny the request in certain circumstances, but we will explain the denial in writing and describe your further rights.
You may ask THHS to contact you in a particular way or at a different location. We will accommodate reasonable requests as required by law.
You may ask us not to use or disclose certain PHI for treatment, payment, healthcare operations, or to people involved in your care. We are not always required to agree, except in circumstances where the law requires agreement.
You may request a list of certain disclosures of your PHI made during the period allowed by law. The accounting will not include every disclosure, such as many disclosures for treatment, payment, or healthcare operations.
You may request a paper copy of this Notice at any time, even if you previously agreed to receive it electronically.
A legally authorized personal representative may exercise your rights on your behalf. THHS may verify that person’s authority before acting on a request.
You may complain to THHS or to the U.S. Department of Health and Human Services if you believe your privacy rights were violated. THHS will not retaliate against you.
Contact the THHS Privacy Officer using the information in Section 12. We may ask you to submit the request in writing and to provide information needed to verify your identity and understand the request.
Restriction for services paid fully out of pocket
When applicable, if you pay THHS in full out of pocket for a healthcare item or service and ask us not to disclose information about that item or service to a health plan for payment or healthcare operations, we will honor the request when the law requires us to do so.
Some types of information may receive additional protection under federal or New Jersey law. When a more protective law applies, THHS will follow that law.
Information concerning a person’s HIV status is handled according to applicable confidentiality requirements and the safeguards reflected in New Jersey Division Circular #45.
THHS’s approved operational policy provides that HIV-status information is not included in the general individual record and is made available only in accordance with the applicable circular and law.
Records created or maintained by a federally assisted substance use disorder program may be protected by 42 CFR Part 2 in addition to HIPAA. When THHS receives or maintains Part 2 records, we will use and disclose them only as permitted by applicable law.
Psychotherapy notes, genetic information, certain communicable-disease information, and other specially protected records may be subject to additional restrictions. THHS will obtain authorization or follow another legally permitted process when required.
More protective laws control
When New Jersey or another applicable law gives your information greater protection than HIPAA, THHS will follow the more protective requirement.
THHS takes suspected privacy and security incidents seriously. We assess reported incidents to determine what happened, what information was involved, who may have received or accessed it, and what steps are necessary to reduce harm and prevent recurrence.
If a breach of unsecured PHI occurs, THHS will provide notice to affected individuals and to government authorities when required by law.
The notice may describe:
THHS may change this Notice and its privacy practices. A revised Notice may apply to PHI that THHS already maintains as well as information created or received after the change.
When a material change is made, THHS will revise the Notice promptly and make the current version available:
The effective date printed near the beginning of the Notice identifies the version currently in effect.
Contact the THHS Privacy Officer to ask a question, exercise a privacy right, request another copy of this Notice, or report a privacy concern.
Tender Hand Healthcare Services LLC
50 Division Street, Suite 501
Somerville, New Jersey 08876
Telephone: 908-444-6164
Email: legal@thhs.care
Website: thhs.care
You may submit a complaint to the THHS Privacy Officer by telephone, email, mail, or another reasonable method. Please describe what happened and how we may contact you.
You may also file a complaint with the U.S. Department of Health and Human Services, Office for Civil Rights:
Telephone: 1-800-368-1019
TDD: 1-800-537-7697
Email: OCRMail@hhs.gov
Portal: ocrportal.hhs.gov
THHS will not retaliate against you for filing a complaint.
“You will not lose services, opportunities, or respect for speaking up about your privacy.”
THHS will not retaliate against you, deny services, or treat you differently because you exercise a privacy right or file a complaint in good faith.
Our commitment to access
You may request this Notice in an accessible format or ask for help understanding your privacy rights. Your rights as a participant go beyond privacy. Learn what you can expect from THHS and how to speak up.
Read our Accessibility Statement →Tender Hand Healthcare Services LLC · Notice of Privacy Practices · Effective May 19, 2026 · Last reviewed May 19, 2026