Technical Advocacy for the Independent Provider
Universal Standards. Regional Accountability. The Last Mile of FHIR Interoperability. Leveraging 15+ years of systems architecture experience to navigate TEFCA and Information Blocking regulations. Serving healthcare organizations in Texas, New Mexico, Arizona, and Colorado.
Architecting TEFCA Compliance
UE Solutions Group is led by healthcare systems architects with over 15 years of experience designing high-availability clinical data systems and implementing FHIR-based interoperability for private practices. We recognized that while large health systems have dedicated interoperability teams, small-to-midsize practices face the same TEFCA and USCDI v3 requirements without the technical resources to comply.
The March 1, 2026 ASTP Enforcement Discretion window and the enforcement of the 21st Century Cures Act have created a complex landscape where Information Blocking is no longer just a technical hurdle—it is a regulatory liability with penalties up to $1 million per violation.
We act as your technical advocate, translating complex federal mandates into concrete infrastructure changes that accelerate your TEFCA readiness while protecting your practice from penalties. Our implementations support practices in achieving compliance through proven data normalization and QHIN integration approaches.

Executive Governance & Senior Oversight
Our founder sets the architectural vision and ensures every engagement aligns with that standard. Solutions are delivered through the UE Framework—a repeatable, governance-led approach that scales without the overhead of large firms. You get senior oversight and strategic direction, with execution that stays consistent and scalable.
Service region
The Audit Survival Packet
In the 2026 enforcement landscape, a policy manual isn't enough—you need technical proof. Every integration we build includes an Audit Survival Packet: JSON-validated, cryptographically hashed evidence of compliance that withstands OCR and UPIC scrutiny by proving exactly how and when your data was handled.
Our Core Commitments
We are focused on accelerating TEFCA readiness for independent practices through practical data normalization and vendor-neutral QHIN integration.
TEFCA Readiness
We enable private practices to meet the January 1, 2026 USCDI v3 mandate with practical implementations that transform legacy EHR data into exchange-ready FHIR resources without expensive system replacements.
Regulatory Protection
Our primary directive is to shield private practices from Information Blocking penalties. We conduct comprehensive USCDI v3 gap assessments to identify and remediate technical gaps before they become regulatory liabilities.
Technical Advocacy
We represent the provider's interests in EHR vendor negotiations and QHIN connectivity implementations. We hold technology partners accountable to their interoperability commitments and certification requirements.

Strategic Infrastructure Planning
We move beyond reactive IT support to provide strategic infrastructure planning that aligns with federal roadmaps.
Vendor Accountability: Holding your technology partners to their interoperability promises.
Future-Proofing: Designing architectures that are ready for USCDI v4 and beyond.
Risk Mitigation: Proactive identification of compliance risks in your data workflows.
HIPAA-Aligned Operations
We implement security-first practices throughout our operations to support your compliance requirements
Encryption
TLS 1.3 in transit, AES-256 at rest
Audit Logging
Comprehensive transaction logs
Access Control
RBAC with least privilege
BAA-Ready
Supports BAA requirements
We support practices in achieving compliance. Ultimate responsibility for HIPAA compliance remains with your practice as the Covered Entity.
Accelerate Your TEFCA Readiness
Partner with healthcare systems architects who understand the intersection of clinical data, federal regulation, and practical implementation for private practices.
Schedule TEFCA Readiness Assessment