How to Make an Appointment

In-Person Visits

To minimize your wait time, please make an appointment. We do accept walk-in visits, but priority will be given to patients with appointments. Schedule a visit online, or call or text our office at (808) 737-5437 (KIDS).

You are required to complete the new patient intake forms prior to starting your visit.

Telehealth Visits

For your convenience, our providers offer telehealth visits when our office is closed. Telehealth hours are limited and variable; please check the appointment schedule for details. Patients must be physically located in Hawaii to participate in a telehealth visit.

You are required to complete the new patient intake forms and the telehealth consent form prior to starting your visit. You will also need to download the Spruce app.

Late/Missed/Canceled Appointments

  • In-person visits must be canceled at least 1 hour prior to your visit to avoid a late cancellation fee.
  • Telehealth visits must be cancelled at least 30 minutes prior to your visit to avoid a late cancellation fee.
  • Patients will be charged $25 for no shows/late cancellations.
  • If you are late for your appointment, your appointment time may be given to a walk-in patient, and you may have to wait for the next available appointment time.

Medical Record Requests

To help us provide the best care for our patients, we may request records from your other healthcare providers.

Insurance & Billing

Your Responsibilities

  • To know the limits and coverage of your health insurance policy.
  • To pay any copayments or deductibles at the time of service.
  • To show your child’s current insurance card and your photo ID at each visit.
  • To provide current address, phone numbers, and insurance information to our office.

Payment Options

We accept cash, all major credit cards (VISA, MC, AMEX), debit cards, and personal checks. For your convenience, we offer secure online bill pay.

Self-Pay Policy

Patients who don’t have insurance or choose not to use it are required to pay an upfront fee of $200 for the visit alone. They may incur additional fees which will require payment prior to the end of the visit: this may include fees for testing, medications, additional work up, and procedures.

Patient Privacy Statement

Background

The HIPAA Privacy Rule gives individuals a fundamental new right to be informed of the privacy practices of their health plans and of most of their health care providers, as well as to be informed of their privacy rights with respect to their personal health information. Health plans and covered health care providers are required to develop and distribute a notice that provides a clear explanation of these rights and practices. The notice is intended to focus individuals on privacy issues and concerns, and to prompt them to have discussions with their health plans and health care providers and exercise their rights.

How the Rule Works

General Rule. The Privacy Rule provides that an individual has a right to adequate notice of how a covered entity may use and disclose protected health information about the individual, as well as his or her rights and the covered entity’s obligations with respect to that information. Most covered entities must develop and provide individuals with this notice of their privacy practices.

The Privacy Rule does not require the following covered entities to develop a notice: 

  • Health care clearinghouses, if the only protected health information they create or receive is as a business associate of another covered entity. See 45 CFR 164.500(b)(1).
  • A correctional institution that is a covered entity (e.g., that has a covered health care provider component).
  • A group health plan that provides benefits only through one or more contracts of insurance with health insurance issuers or HMOs, and that does not create or receive protected health information other than summary health information or enrollment or disenrollment information.
  • See 45 CFR 164.520(a).

Content of the Notice. Covered entities are required to provide a notice in plain language that describes:

  • How the covered entity may use and disclose protected health information about an individual.
  • The individual’s rights with respect to the information and how the individual may exercise these rights, including how the individual may complain to the covered entity.
  • The covered entity’s legal duties with respect to the information, including a statement that the covered entity is required by law to maintain the privacy of protected health information.
  • Whom individuals can contact for further information about the covered entity’s privacy policies.

The notice must include an effective date. See 45 CFR 164.520(b) for the specific requirements for developing the content of the notice.

A covered entity is required to promptly revise and distribute its notice whenever it makes material changes to any of its privacy practices. See 45 CFR 164.520(b)(3), 164.520(c)(1)(i)(C) for health plans, and 164.520(c)(2)(iv) for covered health care providers with direct treatment relationships with individuals.

Providing the Notice

  • A covered entity must make its notice available to any person who asks for it.
  • A covered entity must prominently post and make available its notice on any web site it maintains that provides information about its customer services or benefits.
  • Health Plans must also:
  • Provide the notice to individuals then covered by the plan no later than April 14, 2003 (April 14, 2004, for small health plans) and to new enrollees at the time of enrollment.
  • Provide a revised notice to individuals then covered by the plan within 60 days of a material revision.
  • Notify individuals then covered by the plan of the availability of and how to obtain the notice at least once every three years.
  • Covered Direct Treatment Providers must also:
  • Provide the notice to the individual no later than the date of first service delivery (after the April 14, 2003 compliance date of the Privacy Rule) and, except in an emergency treatment situation, make a good faith effort to obtain the individual’s written acknowledgment of receipt of the notice. If an acknowledgment cannot be obtained, the provider must document his or her efforts to obtain the acknowledgment and the reason why it was not obtained.
  • When first service delivery to an individual is provided over the Internet, through e-mail, or otherwise electronically, the provider must send an electronic notice automatically and contemporaneously in response to the individual’s first request for service. The provider must make a good faith effort to obtain a return receipt or other transmission from the individual in response to receiving the notice.
  • In an emergency treatment situation, provide the notice as soon as it is reasonably practicable to do so after the emergency situation has ended. In these situations, providers are not required to make a good faith effort to obtain a written acknowledgment from individuals.
  • Make the latest notice (i.e., the one that reflects any changes in privacy policies) available at the provider’s office or facility for individuals to request to take with them, and post it in a clear and prominent location at the facility.
  • A covered entity may e-mail the notice to an individual if the individual agrees to receive an electronic notice.
  • See 45 CFR 164.520(c) for the specific requirements for providing the notice.

Organizational Options

  • Any covered entity, including a hybrid entity or an affiliated covered entity, may choose to develop more than one notice, such as when an entity performs different types of covered functions (i.e., the functions that make it a health plan, a health care provider, or a health care clearinghouse) and there are variations in its privacy practices among these covered functions. Covered entities are encouraged to provide individuals with the most specific notice possible.
  • Covered entities that participate in an organized health care arrangement may choose to produce a single, joint notice if certain requirements are met. For example, the joint notice must describe the covered entities and the service delivery sites to which it applies. If any one of the participating covered entities provides the joint notice to an individual, the notice distribution requirement with respect to that individual is met for all of the covered entities. See 45 CFR 164.520(d).

We may use and disclose your PHI to provide you with medical treatment or services. For example, we may disclose your PHI to doctors, nurses, and other health care personnel or providers to coordinate the different things you need, such as prescriptions, lab work, and X-rays. We may also permit disclosure of your electronic health record via electronic transfer to other facilities and providers for treatment purposes. We also may disclose your PHI to other people who provide services that are part of your care, such as a hospice or home care agency. We participate in one or more Health Information Exchanges (“HIE”). Your health information and basic identifying information regarding your visits to our facilities may be shared with the HIEs for the purposes of diagnosis and treatment. Other providers participating in these HIEs may access this information as part of your treatment.

This facility may share my information electronically or on paper with other providers in the couse of my treatment, for making arrangements for my continuing care, or upon request when seeking care from other providers. If I prefer that this medical facility not use or share my information, I may submit a written request for consideration per this facility’s Notice of Privacy Practices.

Additionally, the independent providers who are providing health care services at or through our facilities, or who share electronic medical records with Hawai`i Pacific Health’s Health Advantage Connect partners, have agreed to follow this Notice when providing services at or through that facility. These independent providers, however, are legally separate and responsible for their own acts.

Keiki Urgent Care

Keiki Urgent Care

Kahala Office Building
4211 Waialae Avenue, Suite 205
Honolulu, HI 06816

Phone & Secure Text
(808) 737-5437 (KIDS)

Fax
(808) 737-4999

Email
dianepan@keikiurgentcare.com

Email is for non-medical communication only.

Office Hours

Monday
5:00 pm - 9:00 pm

Tuesday
5:00 pm - 9:00 pm

Wednesday
5:00 pm - 9:00 pm

Thursday
5:00 pm - 9:00 pm

Friday
5:00 pm - 9:00 pm

Saturday
12:30 pm - 6:30 pm

Sunday
9:00 am - 3:00 pm

Telehealth Visits

For your convenience, our providers offer telehealth visits when our office is closed. Telehealth hours are limited and variable; please check the appointment schedule for details.

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