Healthcare Privacy Policy

Healthcare Privacy Policy

Healthcare Notice of Privacy Practices


This Notice of Privacy Practices applies to SEA, Ltd. and all of its subsidiaries and business units, including, but not limited to, One Bond Laboratories, LLC. (collectively referred to as “S-E-A” in this Notice), except to the extent that a subsidiary, division, or business unit of S-E-A performs other services that do not involve standard electronic transactions for which the Department of Health and Human Services (“HHS”) has adopted standards.

S-E-A’s Protection of Protected Health Information (PHI)

Under the Health Insurance Portability and Accountability Act of 1996 (HIPAA), S-E-A is required by law to maintain the privacy of health information that identifies you, called protected health information (PHI), and to provide you with notice of our legal duties and privacy practices regarding PHI. S-E-A is committed to the protection of your PHI and will make reasonable efforts to ensure the confidentiality of your PHI, as required by statute and regulation. We take this commitment seriously and will work with you to comply with your right to receive certain information under HIPAA.

S-E-A  ‘s Use and Disclosure of PHI

As permitted under HIPAA, the following categories explain the types of uses and disclosures of PHI that S-E-A may make. Some of the uses and disclosures described may be limited or restricted by state laws or other legal requirements, for example, the Clinical Laboratory Improvement Amendments of 1988 (CLIA). Please contact our Privacy Officer, using the contact information provided at the end of this notice, for specific information regarding your state.

  • Individuals involved in your care or payment for your care – S-E-A may disclose PHI to a person who is involved in your care or helps pay for your care, such as a family member or friend. We also may notify your family about your location or general condition or disclose such information to an entity assisting in a disaster relief effort. As allowed by federal and state law, we may disclose the PHI of minors to their parents or legal guardians.
  • Business associates – S-E-A may disclose PHI to its business associates to perform certain business functions or provide certain business services to S-E-A. For example, we may use another company to perform billing services on our behalf. All of our business associates are required to maintain the privacy and confidentiality of your In addition, at the request of your health care providers or health plan, S-E-A may disclose PHI to their business associates for purposes of performing certain business functions or health care services on their behalf. For example, we may disclose PHI to a business associate of Medicare for purposes of medical necessity review and audit.
  • Disclosure for judicial and administrative proceedings – Under certain circumstances, S- E-A may disclose your PHI in the course of a judicial or administrative proceeding, including in response to a court or administrative order, subpoena, discovery request, or other lawful process.
  • Law enforcement – S-E-A may disclose PHI for law enforcement purposes, including reporting of certain types test results or in response to a court order, warrant, subpoena or summons, or similar process authorized by law. We may also disclose PHI when the information is needed: 1) for identification or location of a suspect, fugitive, material witness or missing person, 2) about a victim of a crime, 3) about an individual who has died, 4) in relation to criminal conduct on S-E-A premises, or 5) in emergency circumstances to report a crime, the location of the crime or victims, or the identity, description, or location of the person who committed the crime.
  • As required by law – S-E-A must disclose your PHI if required to do so by federal, state, or local law.
  • Public Health – S-E-A may disclose PHI for public health activities. These activities generally include: 1) disclosures to a public health authority to report, prevent or control disease, injury, or disability; 2) disclosures to report births and deaths, or to report child abuse or neglect; 3) disclosures to a person subject to the jurisdiction of the Food and Drug Administration (“FDA”) for purposes related to the quality, safety or effectiveness of an FDA-regulated product or activity, including reporting reactions to medications or problems with products or notifying people of recalls of products they may be using; 4) disclosures to notify a person who may have been exposed to a disease or may be at risk for contracting or spreading a disease or condition; and 5) disclosures to an employer about an employee to conduct medical surveillance in certain limited circumstances concerning work-place illness or injury.
  • Disclosure about victims of abuse, neglect, or domestic violence – S-E-A may disclose PHI about an individual to a government authority, including social services, if we reasonably believe that an individual is a victim of abuse, neglect, or domestic violence.
  • Health oversight activities – S-E-A may disclose PHI to a health care oversight agency for activities authorized by law such as audits, civil, administrative, or criminal investigations and proceedings/actions, inspections, licensure/disciplinary actions, or other activities necessary for appropriate oversight of the health care system, government benefit programs, and compliance with regulatory requirements and civil rights laws.
  • Coroners, medical examiners, and funeral directors – S-E-A may disclose PHI to a coroner, medical examiner, or funeral director for the purpose of identifying a deceased person, determining cause of death, or for performing some other duty authorized by law.
  • Personal Representative – S-E-A may disclose PHI to your personal representative, as established under applicable law, or to an administrator, executor, or other authorized individual associated with your estate.
  • Serious threat to health or safety – S-E-A may disclose PHI if necessary to prevent or lessen a serious and/or imminent threat to health or safety to a person or the public or for law enforcement authorities to identify or apprehend an individual.
  • Government functions – In certain situations, S-E-A may disclose the PHI of military personnel and veterans, including Armed Forces personnel, as required by military command authorities. Additionally, we may disclose PHI to authorized officials for national security purposes, such as protecting the President of the United States, conducting intelligence, counter-intelligence, other national security activities, and when requested by foreign military authorities. Disclosures will be made only in compliance with U.S. Law.
  • Workers’ compensation – As authorized by applicable laws, S-E-A may use or disclose PHI to comply with workers’ compensation or other similar programs established to provide work-related injury or illness benefits.
  • De-identified Information and Limited Data Sets: S-E-A may use and disclose health information that has been “de-identified” by removing certain identifiers making it unlikely that you could be identified. S-E-A also may disclose limited health information, contained in a “limited data set.” The limited data set does not contain any information that can directly identify you. For example, a limited data set may include your city, county and zip code, but not your name or street address.
Other Uses and Disclosures of PHI

For purposes not described above, S-E-A will ask for patient authorization before using or disclosing PHI. If you signed an authorization form, you may revoke it, in writing, at any time, except to the extent that action has been taken in reliance on the authorization.

Information Breach Notification

S-E-A is required to provide notification if it discovers a breach of unsecured PHI unless there is a demonstration, based on a risk assessment, that there is a low probability that the PHI has been compromised. You will be notified without unreasonable delay and no later than 60 days after discovery of the breach. Such notification will include information about what happened and what can be done to mitigate any harm.

Patient Rights Regarding PHI

Subject to certain exceptions, HIPAA establishes the following patient rights with respect to PHI:

  • Right to Receive a Copy of the S-E-A Healthcare Notice of Privacy Practices – You have a right to receive a copy of the S-E-A Healthcare Notice of Privacy Practices at any time bycontacting us at [email protected] , calling us at (800) 782-6851 and asking for the S-E-A HIPAA Privacy Officer, or by sending a written request to: HIPAA Privacy Officer, SEA, Ltd., 7001 Buffalo Parkway, Columbus, OH 43229. This Notice will also be posted on the internal resource page for SEA, Ltd., and on the website of One Bond Laboratories, LLC.
  • Right to Request Limits on Uses and Disclosures of your PHI – You have the right to request that we limit: 1) how we use and disclose your PHI for treatment, payment, and health care operations activities; or 2) our disclosure of PHI to individuals involved in your care or payment for your care. S-E-A will consider your request but is not required to agree to it unless the requested restriction involves a disclosure that is not required by law. If we agree to a restriction on other types of disclosures, we will state the agreed restrictions in writing and will abide by them, except in emergency situations when the disclosure is for purposes of treatment.
  • Right to Request Confidential Communications – You have the right to request that S-E-A communicate with you about your PHI at an alternative address or by an alternative means. S-E-A will accommodate reasonable requests.
  • Right to See and Receive Copies of Your PHI – You and your personal representative have the right to access PHI consisting of your laboratory test results. Within 30 days after our receipt of your request, you will receive a copy of the completed laboratory report from S-E-A unless an exception applies. Exceptions include a determination by a licensed health care professional that the access requested is reasonably likely to endanger the life or safety of you or another person, and our inability to provide access to the PHI within 30 days, in which case we may extend the response time for an additional 30 days if we provide you with a written statement of the reasons for the delay and the date by which access will be provided. You have the right to access and receive your PHI in an electronic format if it is readily producible in such a format.  You also have the right to direct S-E-A to transmit a copy to another person you designate, provided such request is in writing, signed by you, and clearly identifies the designated person and where to send the copy of your PHI. To request a copy of your PHI: 
  • Right to Receive an Accounting of Disclosures – You have a right to receive a list of certain instances in which S-E-A disclosed your PHI. This list will not include certain disclosures of PHI, such as (but not limited to) those made based on your written authorization or those made prior to the date on which S-E-A was required to comply. If you request an accounting of disclosures of PHI that were made for purposes other than treatment, payment, or health care operations, the list will include disclosures made in the past six years, unless you request a shorter period of disclosures. If you request an accounting of disclosures of PHI that were made for purposes of treatment, payment, or health care operations, the list will include only those disclosures made in the past three years for which an accounting is required by law, unless you request a shorter period of disclosures.
  • Right to Correct or Update your PHI – If you believe that your PHI contains a mistake, you may request, in writing, that S-E-A correct the information. If your request is denied, we will provide an explanation of the reasoning for our denial.
How to Exercise Your Rights

To exercise any of your rights described in this notice, you must send a written request to: HIPAA Privacy Officer, SEA, Ltd., 7001 Buffalo Parkway, Columbus, OH 43229.

How to Contact Us or File a Complaint

If you have questions or comments regarding the S-E-A Notice of Privacy Practices, or have a complaint about our use or disclosure of your PHI or our privacy practices, please contact: [email protected], call us at (614) 888-4160 and ask for the S-E-A HIPAA Privacy Officer, or by sending a written request to: HIPAA Privacy Officer, SEA, Ltd., 7001 Buffalo Parkway, Columbus, OH 43229. You also may file a complaint with the Secretary of the U.S. Department of Health and Human Services. S-E-A will not take retaliatory action against you for filing a complaint about our privacy practices.

Changes to the S-E-A Notice of Privacy Practices

S-E-A reserves the right to make changes to this notice and to our privacy policies from time to time. Changes adopted will apply to any PHI we maintain about you. S-E-A is required to abide by the terms of our notice currently in effect. When changes are made, we will promptly update this notice and post the information on the internal resource page of SEA, Ltd. and on the One Bond Laboratories website at Please review this site periodically to ensure that you are aware of any such updates.

Effective Date of Notice: February 8, 2021