We’re in the final days of 2025—and the countdown to 42 CFR Part 2 enforcement is no longer theoretical.
February 16th is just weeks away.
If your redisclosure tracking, ownership model, and audit trail aren’t in place now, the window to prepare is rapidly closing.
This isn’t about fear.
It’s about clarity, accountability, and protecting the trust your patients and partners place in you.
Where Most Teams Are Still Behind
Even among teams that have “started,” we’re still seeing:
- Redisclosure logs that aren’t current or auditable
- Consent forms that are stored, but not accessible
- Ownership gaps (“I thought IT had it”)
- No fallback process if the EHR misses a redisclosure flag
- No quarterly audit to prove the process actually works
If this sounds familiar—there’s still time. But not much.
The Final 3-Week Checklist
Use these next few weeks to:
- Assign a redisclosure lead by name—not department
- Audit 3 real disclosures and walk through the chain
- Check for redisclosure notice, log entry, and consent match
- Test what happens if the EHR fails—who notices? Who fixes it?
- Brief your leadership team before year-end
- Book your readiness review before the holiday closure
The Gift of Confidence Heading into 2026
Compliance isn’t about paperwork.
It’s about preparedness.
And nothing beats starting the year knowing your house is in order.
Let’s wrap this up before the year ends—so you can focus on care, not chaos.
Get the checklist or book your readiness review now
- Simple
- No-pressure
- Built to catch what you might have missed




