Sunday, December 22, 2013

Adaptive Case Management 101: What It Is, And Why Your Business Needs It

Adaptive Case Management 101: What It Is, And Why Your Business Needs It



There are innumerable ways to manage the daily, human - mean business processes upon which most businesses rely. These tasks – which often have prescribed best practices but materialize in different ways depending upon the players involved – make up an estimated 60 to 80 percent of the work done in any given company. If godforsaken to their own devices, employees are likely to manage these processes via e - mail or Microsoft Office applications, on paper or through said updates, none of which enable managers to passage the steps of business critical actions and arrange positive outcomes.
Ad - hoc tasks, by their mood, defy the confines of structured solutions equal business process management. However, that doesn’t mean that businesses need to accept the operational risk inherent in unmanaged or mismanaged processes.
These are the types of adaptive case management solutions that are specifically designed for the unstructured processes. They consist of crowd information, collaborating with others, managing individual workloads and making decisions that are dependent on the knowledge, judgment and experience of the participants. This technology can be a standalone solution, or can be embedded in recognized MS Office environments, making it intuitive for users and simple to incorporate into day - to - day use.
So what might those day - to - day uses encircle?
Operational risk management issues created by unstructured human processes appear in every industry, and run the reach from skilful process risk through politic process risk. The recapitulation process itself is a classic example of an unstructured human process. Recapitulation processes consist of a number of sub - tasks – e. g., defining an file plan, assembly information and defining findings, creating the recommendations based on those findings and in future, the follow - up and tracking of recommendation implementation. Each sub - process is a negotiation and collaboration between the involved parties ( in many cases done via e - mail and documents ). For illustration purposes, let’s focus on the recommendation - tracking and follow - up sub - process.
Let’s make known an scan finds a safety belief in a plant that needs corrective enterprise. An auditor e - mails a plant gaffer, alerting him to the safety question and making recommendations for addressing it. The plant manager then delegates the task ( also via e - mail ) to an employee, and explains the corrective actions. They will most likely engage in e - mail conversation about the specifics of the safety point: What is the squeeze? What needs review? What are the next steps? In discussing the answers to these questions, the parties will likely go back and radiate a few times. Depending upon the specifics, they may involve more team members to correct the belief. These exchanges are not memorable in the auditing process, but thanks to they are ad - hoc and unstructured, the auditor ( and management ) has no real visibility into the scrape - solving activities, let alone an ability to manage and alley the overall process lifecycle.
An survey is just one way human processes are used for regulatory compliance. In today’s potent regulatory environment, new regulations and greater regulatory supervision are the gauge for many industries. In most cases, the process for profit these regulations are human - centric and unstructured until the organization familiarizes itself with the regulation and it consequences. Over time, the organization may decide to run the point of compliance through a structured process supported by IT, but until then, most companies will handle it through a human process, prosaic executed via e - mail and documents.
For example, the new “breach notification” provisions of the Health Information Technology for Economic and Clinical Health ( HITECH ) Act is a healthcare regulation that has just been enacted. The regulations require HIPAA - covered entities to forthwith acquaint affected individuals, the health and human services secretary and the media of any breach affecting more than 500 individuals. Since this is a new regulation, one possible way to handle compliance is to designate someone as the breach - process owner. Her first act will most likely incorporate sending out recipe on how to handle the breach. The first step in applicability a breach might be sending an e - mail to the breach - process owner when a holy mess is discovered. At that point, the company would need to mold a response to the breach, making undeniable to meet the regulatory requirements and any relevant internal processes. That means ensuring affected individuals are notified, and, if needed, that the government and media are notified. The company may also launch an internal investigation of the breach. Without adaptive case management, all of these steps will trite be done via documents and e - mail – making it preposterous to manage, passageway and scrutiny compliance with the regulations.
Enabling the monitoring and tracking of unstructured processes through e - mail and documents also provides a complete system - of - log for settlement, an exquisite mitzvah if problems chance and an file compose is needed. For example, let’s surmise you have a customer overseas, and you need to rebut that a mammoth order can be shipped to that discriminative country. The sales executive in charge may have conscious an e - mail from the rudder notifying him of this desideratum ( i. e., checking with export controls ), but disposed the mood of e - mail, there is no way for the conductor to know that the gaffer actually took the fit process; it may have fallen through the cracks, or gotten lacking in the flood of e - mails certified by the sales gaffer.
Until your business has visibility into these unstructured activities, you are not managing the bulk of the work in your organization. If these processes should be tracked for compliance reasons, then this absence of visibility poses significant risk. Consider your regulatory and compliance processes – people - impassioned tasks that cause as a backwash of an apparent regulation. Presume of how many e - mails and documents are generated by these processes. Does your business really know how compliance procedures are executed? Or where each of the currently running compliance processes stand? These changes happen on a case - by - case basis, and people doctor to rely on documents and e - mail to deal with them. However, since these actions interject some type of redress if not concluded on time, IT must fit the ability to manage, course and detector these ad - hoc actions. Inured the way most people work and the current infrastructure in most companies, the best way to do this is by enhancing e - mail and documents with adaptive case management.
It makes sense that IT first tackled the less complicated disagreement of serviceability plan actions that eventuate in the equivalent practice over and over besides. Business process management and like products have ably automated oversight of those predictable tasks. Now, technology has dissimilar enough to handle the significantly more tangled matter of action tracking peculiar work. Adaptive case management makes it possible to overseer ad - hoc processes from start to finish in a procedure that eliminates risk and increases visibility. Inclined the importance of these tasks to organizations in virtually every industry, the cost of not managing them is too great to consider.

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