Treatment · Recovery · Sober Living · Behavioral Health

Monitoring That Supports Recovery,
Private by Design

Fast, dignified testing with the confidentiality treatment requires. 42 CFR Part 2 lives in the plumbing, clients test in the clinic or at home, they schedule themselves, and clinicians see progress over time. Testing becomes part of the care plan.

Thirty minutes, tailored to your treatment program. No obligation.

42 CFR Part 2 enforced  ·  Testing at home or in clinic  ·  Client self-scheduling

The Confidentiality Treatment
Requires, Done as Real Compliance

One mishandled disclosure can cost a program its license and a client their job. Azimuth builds 42 CFR Part 2 into the plumbing, so confidentiality holds by default on every report and every screen, and your clinicians stay focused on the person in front of them.

01

Privacy as a Feature

42 CFR Part 2-aware redisclosure controls, audience-aware reporting, and least-privilege access. Who sees what becomes a rule the platform enforces automatically, on every report, every time.

02

Meet Clients Where They Are

In-clinic instant reads, or tele-proctored remote collection over secure video, with the same custody rigor either way. Clients schedule themselves and get reminded, so no-shows stop eating the counselors' week, and clients keep their jobs, keep their appointments, and keep testing.

03

Supportive by Design

Trend visibility for clinicians, results framed for treatment decisions, and a portal where clients see their own progress. Testing starts to feel like part of the care plan.

04

Open and Affordable

Commodity cups, your lab, your brand. The economics finally fit a treatment budget, so monitoring can grow with the caseload while the cost per client shrinks. Self-pay clients are invoiced directly on the program's price list; grants and third-party payers get their own.

Confidentiality your counsel can verify, testing your clients don't dread, economics your budget survives.

Built for the Rhythm
of Recovery

Recovery monitoring is frequent, personal, and confidential. The workflow is built around those three facts, from the first walk-in to the last report.

Step 01

Enroll With Dignity

Walk-ins in seconds, consent captured once as a signed document, and a program designated under Part 2 from day one.

Step 02

Schedule

Clients book their own slots and get reminded, with quiet hours honored and opt-outs respected. Even a several-times-a-week schedule runs itself.

Step 03

Test Where They Are

In-clinic instant reads, or tele-proctored collection at home over secure video, identity-verified, with the same custody record either way.

Step 04

Confirm Privately

Non-negatives reflex to your laboratory. Results return to the record, with access limited to the people entitled to them. An unusable sample opens a recollection and tells the client.

Step 05

Frame for Treatment

Clinicians see trends across time. Results are framed for treatment decisions, and clients see their own progress in the portal.

Step 06

Disclose Only What's Authorized

Audience-aware reports carry the §2.32 redisclosure notice. Every view is logged, and the treatment record stays where it belongs.

The Director, the Counselor,
and the Privacy Officer

A treatment program answers to its clients, its clinicians, and its license. Each of the three people responsible gets a workflow built for their part of it.

For the Program and Clinical Director

Testing that keeps clients in treatment.

Monitoring feels like part of the care plan: clients see their own progress, results are framed for treatment, and confidentiality holds by default. Retention improves when testing stops feeling like policing.

  • Treatment framing
  • Client portal
  • Trend view
For the Counselor and Case Manager

No-shows stop eating the week.

Clients schedule themselves and get reminded. When a sample can't be used, a recollection opens automatically and the client is told. Your week goes back to counseling.

  • Self-scheduling
  • Reminders
  • Auto-recollection
For the Compliance and Privacy Officer

Part 2 enforced on every report.

Program designation places the §2.32 notice on every release, audience-aware disclosure gates clinical detail, and least-privilege access with an immutable audit trail backs it up. The policy becomes the platform's behavior.

  • §2.32 notice
  • Audience-aware disclosure
  • Immutable audit
42 CFR Part 2 Program Designation Audience-Aware Disclosure Least-Privilege Access Tele-Proctored Collection Immutable Audit HIPAA-Aligned Data Lifecycle US Patent 10,340,032

Before the Demo

Do you handle 42 CFR Part 2?

Yes. A program can be designated under Part 2, which places the §2.32 redisclosure prohibition on every released report, gates who sees clinical detail, and logs each view. It is stricter than HIPAA, and the platform enforces it on every report, every time.

Can clients test from home?

Yes. Tele-proctored collection runs over secure video with identity verification and a proctor's attestation, so remote monitoring keeps the custody record intact.

How do clients see their own results?

Through a portal scoped to their own history: upcoming appointments, past tests, and the reports they are entitled to. Progress becomes visible to the person doing the work.

What does it cost to run?

The cups you already buy, read on a phone, a tablet, or the optional desktop station, and your own laboratory. The economics fit a treatment budget, and the cost per client falls as the caseload grows.

Our clients are hard to reach.

Notification preferences, quiet hours, digests, and self-scheduling meet them where they are, and every message respects their opt-outs.

See the Treatment Workflow

Thirty minutes. We enroll a client, let them self-schedule, run an in-clinic read and a remote session, and show the Part 2 notice on the report each audience receives.

Thank You

We've received your request and will be in touch shortly.