This policy applies to:
A. Personal Information
When you create or use an account, we may collect:
B. Protected Health Information (PHI)
To deliver prior authorization services, we process PHI strictly under HIPAA’s definition, including:
All PHI is handled as a Business Associate under signed HIPAA Business Associate Agreements (BAAs).
C. Usage & Technical Data
| Purpose | Description |
|---|---|
| Service Delivery | Process prior authorizations, generate clinical letters, and communicate with payers |
| Platform Enhancement | Train and improve AI accuracy, add features, optimize performance |
| Security & Compliance | Monitor access, detect threats, maintain audit trails, ensure HIPAA compliance |
| Support & Communication | Respond to inquiries, send notifications, share product updates |
| Legal & Contractual | Fulfill BAAs, comply with law, enforce terms, respond to lawful requests |
Note: We never use PHI or personal data for marketing or advertising purposes.
Encryption
Access Control
We do not sell or rent any personal information or PHI.
We may share data only under the following circumstances:
With Insurance PayersWe share necessary clinical and administrative information to process prior authorization requests on your behalf.
With Authorized Healthcare ProvidersWe exchange patient information with your EHR system and authorized providers for treatment coordination.
With Service ProvidersTrusted third-party vendors (cloud hosting, AI inference, analytics, support) operating under executed Business Associate Agreements.
For Legal ComplianceWhen required by law, court order, subpoena, or to protect rights, property, and safety.
With Your ConsentFor purposes not described above with your explicit consent.
All sub-processors are U.S. based or certified under appropriate data transfer safeguards.
Under HIPAA (45 CFR § 164.524 – 528) and applicable laws, you may:
Access
Request access to your PHI and personal information
Correction
Correct inaccurate or incomplete data
Accounting
Receive an accounting of PHI disclosures
Restriction
Request restrictions on certain uses
Confidential Communication
Request communications by alternative means
Complaint
File a complaint about privacy practices
To exercise these rights, please contact our Privacy Officer at privacy@superauth.ai
For California residents (CCPA) and EU users (GDPR), additional rights to deletion, portability, and objection apply where relevant.
| Data Type | Retention Period | Justification |
|---|---|---|
| PHI / Clinical Data | 7 years after case closure | HIPAA record retention |
| Account Data | While active + 30 days after termination | Service continuity |
| Audit Logs | 7 years | Security & compliance evidence |
| Backups | Encrypted; 90 days | Disaster recovery |
Older data is securely destroyed using NIST 800-88 methods.
In the unlikely event of a security incident involving PHI:
We may update this policy periodically. Material updates will be communicated via:
Your continued use after changes become effective constitutes acceptance.
Privacy Officer
Transforming prior authorization with AI-powered automation. Get approvals faster, reduce administrative burden, and improve patient care.