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Cardiology InsightsIntegrated cardiovascular access
Applicability matters. Some information may be governed by healthcare, medical-information, HIPAA, employment, business-to-business, or other provisions and exceptions. A participating medical organization may be the business or covered entity responsible for a particular record.

Categories collected and purposes

CategoryExamplesPurposes
Identifiers and contact informationName, email, mobile number, ZIP, account identifiers, verification statusVerification, routing, patient access, support, accounts, privacy requests
Characteristics and demographic informationAge, sex, race used by an approved calculator, geographyAssessment, eligibility, safety, routing, quality
Health-related and sensitive informationSymptoms, risk factors, measurements, assessment answers, clinical-support output, urgency, insurance compatibilityEducational assessment, authorized patient access, safety, service-line and payer matching
Internet, device, and security informationSession, browser, network fingerprint, timestamps, anti-bot and rate-limit eventsSecurity, fraud prevention, troubleshooting, auditability
Professional and employment informationWork contact, role, organization, location scope, professional introductionCustomer accounts, authorization, support, business development
Commercial and interaction informationDemonstration request, campaign source, scheduling status, support communicationService delivery, attribution, customer relationship, reporting
Inferences and recommendationsRisk classification, ranked clinical-support output, urgency, recommended type of care or routeEducational guidance, safety, authorized routing and access operations

Sources and recipients

Information may come directly from the individual; a customer workforce user acting within an authorized role; the selected participating organization; the individual’s browser or device; security and verification providers; or operational records created by the platform. Recipients are described in the main Privacy Notice.

Sale, sharing, and sensitive personal information

Cardiology Insights does not sell personal information and does not share personal information for cross-context behavioral advertising. Sensitive health-related information is not used to infer characteristics for advertising. It is used for the assessment, authorized access workflow, safety, security, support, quality, legal obligations, and customer-directed services described in the Privacy Notice.

California rights

Where applicable, California residents may request to know or access categories and specific pieces of personal information, correct inaccurate information, delete information subject to exceptions, receive information about sources, purposes, and recipients, obtain a portable copy, opt out of sale or sharing, limit certain uses of sensitive personal information, and receive equal service without unlawful discrimination for exercising rights.

Submit a request through Your Privacy Rights. Cardiology Insights may verify identity, authority, and the responsible organization. Authorized agents may be required to provide evidence of authority, and the individual may also need to verify directly.

Requests, appeals, and timing

Cardiology Insights will acknowledge, verify, route, and respond within the period required by applicable law. If a request is denied or limited, the response will explain the basis where required and provide an appeal or complaint path when applicable.