I am trying to determine the impact of the marketing changes to fundraising activities.  I can't find where the Privacy regulations address requirements for fundraising type activities (versus marketing). Do CE's have to obtain an authorization to contact individuals for fundraising purposes or can this be stated in the NPP (with an option to opt out and reasonable efforts to honor opt out options)?
 
 
Leslie Street
Privacy Specialist
Mountain States Health Alliance
Johnson City, TN 37604
 

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