Submitted by CDC_DSMH_WG on
CDC's comment for inclusion in USCDI v7
CDC recommends inclusion of Medical Record Number in USCDI v7. The inclusion of a Medical Record Number (MRN) element where allowable given HIPAA and PII in USCDI v7 would strengthen patient identification and data linkage across healthcare systems, particularly for immunization tracking and public health reporting. The medical record number is an identifier that is unique to a patient within a set of medical records, not necessarily unique within an application.
MRNs are widely used across EHR systems as consistent, organization-level identifiers that support patient identification and record management. Furthermore, the MRNs are transmitted via messaging to IIS as part of the HL7 message exchange’s PID-3 field. Their inclusion in data exchange improves record accuracy, reduces duplicate records, and enhances overall data integrity.
Standardizing the representation and exchange of MRN would improve interoperability between healthcare providers and public health systems, including IIS. This would support more accurate monitoring of immunization coverage, identification of under-vaccinated populations, and more effective responses to outbreaks and vaccination campaigns.
We strongly support the inclusion of Medical Record Number in USCDI v7, with clear guidance on standardized capture and exchange to ensure consistent and reliable use across systems.







Submitted by BLampkins_CSTE on
Medical Record Number - CSTE Comment
1. It is incredibly helpful for person deduplication which currently requires a huge amount of manual effort at STLT public health agencies to manage the many potential duplicates (even with the best algorithms and automation for patient deduplication, often health department staff spend countless hours deduplicating partially matched patient records).
2. It is critical for identifying patients for follow-up - as in when medical information is sought as part of a case investigation or when additional demographics or contact information are needed in order to quickly reach a patient, or when lab results are needed from a hospital.
3. For any type of automated or semi-automated query of an HIE or another clinical repository (as will hopefully be possible through TEFCA), MR number will be invaluable in narrowing the query and ensuring the returned results pertain to the correct individual - this will save an enormous amount of time and frustration, as well as serve to protect patient privacy by reducing or eliminating records returned for a potential patient match.
4. For any bidirectional data exchange it would be invaluable to the receiving health care org to be able to use medical record to route the data to the correct medical record.
CSTE also recommends adding the two additional variables mentioned above to go with the identifier data element - one is the assigning authority (e.g., for a medical record it would be the name of the health care facility using the medical record system) and the other is the type of identifier (e.g., medical record, laboratory patient identifier, SSN, etc.).