Form: Cost-of-Breach DisclosureSource: IBM Cost of a Data BreachFiled: 28 Apr 2026
DataBreachCost.comOpen calc
Independent breach-cost research, read by security and risk leaders.Sponsor this site →
Filing FL-20110103-ankle-foot-center-of-tampa-bayHHS OCR Breach Register, Florida

Breach filing

Archived

Ankle + Foot Center of Tampa Bay, Inc.: 156,000 individuals, Jan 2011.

Ankle + Foot Center of Tampa Bay, Inc. reported a breach of unsecured protected health information to the HHS Office for Civil Rights on 3 January 2011. The filing records the organisation as a healthcare provider in Florida and lists 156,000 individuals affected, which makes it the 44th largest of the 463 Florida filings on the register and the 9th largest of the 200 filings submitted nationally in 2011. Among the 12 Florida filings made in 2011 it ranks 2nd.

Individuals affected

156,000

As reported to HHS

Modelled cost (IBM 2025)

$25.0M

Upper bound, method shown

Rank in FL

44th

of 463 Florida filings

Rank in 2011

9th

of 200 filings nationally

Section F.1 / The filing

As posted by HHS OCR

Every value below is the portal's own field for this filing, plus its rank within the register.

Covered entity type
Healthcare Provider
Individuals affected
156,000
Breach submission date
3 January 2011
Submission year
2011
Type of breach
Theft
Location of breached information
Network Server
Business associate present
No
Portal status
listed in the HHS OCR breach portal archive
Rank in Florida by size
44th of 463
Rank in 2011 nationally
9th of 200
Florida median filing
4,912 individuals
Register id (derived)
FL-20110103-ankle-foot-center-of-tampa-bay

Section F.2 / In context

Where this filing sits in Florida and in 2011

OCR classifies the incident as theft, with the breached information held in a network server. Theft is the type recorded on 68 of the 463 Florida filings (15%) and on 62% of all filings submitted in 2011. Network Server appears on 45% of Florida filings.

No business associate is recorded on the filing; 25% of Florida filings do involve one. At 156,000 individuals the breach is 32 times the Florida median filing of 4,912 and 39 times the national median of 4,000 across all 7,884 filings. It is one of 801 filings of 100,000 or more individuals.

As of 28 August 2026 the case is listed in the HHS OCR breach portal archive. OCR's closing summary of the case is reproduced in full below.

Florida's breach notification statute (Fla. Stat. 501.171) requires notice to affected residents within 30 days of determining a breach occurred (up to 15-day extension for good cause). Its attorney general threshold: 500 or more Florida residents. The HIPAA Breach Notification Rule ran alongside it: notice to affected individuals and to HHS without unreasonable delay and no later than 60 days after discovery, which is the clock that put this filing on the portal.

Multiplying 156,000 individuals by IBM's $160 customer-PII cost per record (Cost of a Data Breach 2025, the figure the site's calculator uses) gives a modelled $25.0M; the 2026 edition's $192 gives $30.0M. Both are modelled estimates with the method shown, not costs disclosed by Ankle + Foot Center of Tampa Bay, Inc.. Because the filing is above the roughly 100,000-record range in which the per-record figure is reliable, the result is an upper bound, not an estimate: fixed costs are spread across far more records at this scale.

Section F.3 / OCR closing summary

The portal's archived description, in full

Written by the Office for Civil Rights when the case was closed and reproduced verbatim from the HHS export.

The covered entity's (CE) network server, containing the electronic protected health information (ePHI) of 136,000 patients, was hacked. The types of ePHI involved in the breach were demographic and clinical information, including diagnoses and other treatment data. Following the breach, the CE hired a third party vendor to resolve a data crash and to create a data back-up plan in order to restore office functioning. To implement adequate safeguards, the CE also employed a cloud service with increased security as the new network server. Additionally, the CE contacted the local FBI office to assist with the CE's internal investigation of the breach and provided breach notification to all affected individuals, the media, and HHS. As a result of OCR's investigation, the CE developed and implemented new protocols to comply with the Security Rule. In addition, the CE provided and initiated new trainings for its staff, completed hiring of a new network vendor, implemented a new electronic health records system, and accounted for the disclosures in the affected individuals' medical records.

Section F.5 / Modelled cost

156,000 individuals through IBM's per-record figures

Modelled cost / method shown, not a disclosed cost

Upper bound

IBM 2025 customer PII, $160 per record

$25.0M

156,000 x $160

IBM 2026 customer PII, $192 per record

$30.0M

156,000 x $192

Method: individuals affected, as reported by Ankle + Foot Center of Tampa Bay, Inc. to HHS, multiplied by IBM's customer-PII cost per record (Cost of a Data Breach 2025 Figure 6 and the 2026 edition). No cost has been disclosed by the entity for this filing; the figure is a planning estimate, not a fact about the breach. IBM's per-record figures come from mid-volume breaches and IBM cautions against applying them to breaches involving millions of records; the site's per-record page explains where the multiplication holds and where it breaks down.

Context: IBM's average cost of a healthcare breach is $6.64M in the 2026 report ($7.42M in 2025); the global average across all sectors was $4.44M in 2025.

Cost per record: method and limits / Healthcare breach cost, IBM 2026

Section F.6 / Notification clock

Florida statute and the HIPAA rule

State notification statute

Florida: Fla. Stat. 501.171

Florida Information Protection Act (FIPA)

Notice to individuals
Within 30 days of determining a breach occurred (up to 15-day extension for good cause)
Attorney general threshold
500 or more Florida residents (Within 30 days of the breach determination)
Private right of action
No: FIPA does not permit direct individual lawsuits; AG enforcement only
Penalty
Escalating civil penalties up to $500,000 per breach; also an unfair or deceptive trade practice

The HIPAA Breach Notification Rule runs alongside the state statute: notice to affected individuals and to HHS without unreasonable delay and no later than 60 days after discovery.

Section F.7 / Peer filings

Florida filings closest in size

Neighbours by size rank among Florida filings in 2011, topped up from other years where 2011 has too few. Filings of 10,000 or more link to their own page.

Covered entityTypeIndividualsSubmitted
The Nemours FoundationHealthcare Provider1,055,4897 Oct 2011
Florida HospitalHealthcare Provider12,78413 Oct 2011
CENTER FOR ARTHRITIS & RHEUMATIC DISEASESHealthcare Provider8,00011 May 2011

Index / Companion schedules

Provenance

Source: U.S. Department of Health and Human Services, Office for Civil Rights, Breach Portal (breaches affecting 500 or more individuals), retrieved 2026-08-28. Public domain. Individuals affected and dates as reported by the covered entity.

Portal: ocrportal.hhs.gov breach report. Statutory basis: HITECH Act section 13402(e)(4): the Secretary must post a list of breaches of unsecured protected health information affecting 500 or more individuals. Breaches affecting fewer than 500 individuals are reported to OCR annually and are not posted, so they are not on this register. Status wording follows the portal's two tabs ("Cases Currently Under Investigation" and "Archive") as of 28 August 2026; a filing moves to the archive when OCR closes the case. Modelled costs on this site are a method applied to the reported count, using IBM Cost of a Data Breach per-record figures, and are never a cost disclosed by the entity. This row: hhs-breach-archive__2026-08-28.csv, export row 6960.

Corrections: if you represent a listed entity and the portal row has been amended, email [email protected] with the portal entry and we will re-pull the export.