Yes. Covered entities that allow employees to telecommute or work out of home-based offices, and have access to e-PHI, must implement appropriate safeguards to protect the organization’s data. The automatic logoff implementation specification is addressable, and must therefore be implemented if, after an assessment, the entity has determined that the specification is a reasonable and appropriate safeguard in its environment. If the entity decides that the logoff implementation specification is not reasonable and appropriate, it must document that determination and implement an equivalent alternative measure, presuming that the alternative is reasonable and appropriate. If the standard can otherwise be met, the covered entity may choose to not implement the implementation specification or any equivalent alternative measure and document the rationale for this decision. The information access management and access control standards, however, require the covered entity to implement policies and procedures for authorizing access to e-PHI and technical policies and procedures to allow access only to those persons or software programs that have been appropriately granted access rights.