HIPPA Privacy Policy


Effective Date: January 2026

This Notice of Privacy Practices describes how medical information about you may be used and disclosed and how you can access this information. Please review it carefully.

Revrcel (“we,” “us,” “our”) is committed to protecting your protected health information (“PHI”) in accordance with the Health Insurance Portability and Accountability Act of 1996 (“HIPAA”) and related regulations.


1. Uses & Disclosures for Treatment, Payment & Healthcare Operations

We may use or disclose PHI for:

Treatment:
• Telehealth consultations
• Clinical assessments
• Biomarker review and therapy recommendations
• Coordination with licensed medical professionals, laboratories, or pharmacies

Payment:
• Billing and subscription management
• Prescription order processing
• Payment and invoice reconciliation

Healthcare Operations:
• Quality assurance
• Compliance and regulatory adherence
• Care coordination and clinical oversight

2. Other Uses Permitted by Law

We may disclose PHI without authorization for:

• Public health reporting
• Law enforcement requests
• Regulatory oversight
• Healthcare audits and accreditation
• Court orders or subpoenas
• Research (when legally permitted)
• Workers’ compensation claims
• Serious health or safety threats

All other disclosures require written authorization.

3. Patient Rights Under HIPAA

You have the right to:

• Access your PHI
• Request amendments to PHI
• Request confidential communications
• Request restrictions on disclosures
• Obtain an accounting of disclosures
• Receive a paper or digital copy of this Notice

Requests may be submitted to info@revrcel.com

4. Telehealth Limitations

Telehealth services may have diagnostic limitations and may not replace in-person care. If in-person examination is deemed necessary, you may be referred to a local provider. Telehealth is provided only within jurisdictions where clinicians are authorized to practice.

5. Breach Notification

In the event of a breach involving unsecured PHI, we will notify affected individuals in accordance with HIPAA breach notification requirements.

6. Business Associates

We may share PHI with Business Associates including:

• Laboratories
• Telehealth platforms
• Pharmacies
• Electronic record storage vendors

Business Associates are contractually obligated to safeguard PHI.

7. Data Security Safeguards

We utilize administrative, technical, and physical safeguards including:

• Secure servers
• Access control
• Encryption
• Confidentiality agreements
• Identity verification

No digital communication system is entirely risk-free.

8. Changes to This Notice

We reserve the right to modify this Notice at any time. Updated versions will carry a new effective date

9. Contact Information

For questions, requests or complaints, please contact:

Bluprint Health, DBA Revrcel
Email: info@revrcel.com
Phone: 1-201-831-9881
Website: https://revrcel.com

Mailing Address:
1603 Capital Ave Ste 415, #853893
Cheyenne, WY 82001

You may also contact the U.S. Department of Health & Human Services. No retaliation will occur for filing complaints.

Privacy Preference Center