Aventura Healthcare ITAD Guide | HIPAA Compliance | STS
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Aventura Healthcare ITAD Compliance Guide

Your complete resource for HIPAA-compliant IT asset disposition -- PHI data sanitization protocols, BAA requirements, and vendor evaluation for Miami-Dade County healthcare organizations
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Aventura healthcare ITAD guide -- HIPAA-compliant IT asset disposal for Miami-Dade County by STS Electronic Recycling
STS Electronic Recycling -- R2v3 certified ITAD and NAID AAA data destruction serving Aventura and Miami-Dade County healthcare organizations.

Why Do Aventura Healthcare Organizations Need Specialized ITAD?

STS Electronic Recycling provides R2v3 certified ITAD and NAID AAA data destruction for Aventura healthcare organizations including HCA Florida Aventura Hospital (1,900+ employees). Healthcare IT Managers face severe consequences for improper device disposal: according to IBM's 2025 Cost of Data Breach Report, healthcare breaches average $7.42 million per incident -- the highest of any industry for 15 consecutive years.

Here's the reality: HCA Florida Aventura Hospital's 493-bed tertiary care campus (1,900+ employees, 660+ physicians) generates significant volumes of clinical IT equipment cycling through infrastructure refreshes, trauma bay upgrades, and EHR system replacements. Aventura's corridor extends into Hallandale Beach, Sunny Isles Beach, and North Miami Beach -- one of South Florida's densest concentrations of HIPAA-regulated technology assets. According to IBM's 2025 Cost of Data Breach Report, healthcare holds the highest average breach cost of any industry for 15 consecutive years -- every device that touched PHI requires documented, certified destruction.

$7.42M
Average healthcare breach cost (IBM 2025)
279 days
Average time to identify and contain a breach (IBM 2025)

The Aventura corridor is home to concentrated healthcare (HCA Florida Aventura Hospital, 493 beds, Level II Trauma Center), education (Florida International University (FIU), 53,953 students), and major employers like Cardone Enterprises (500+ employees) and Turnberry Associates. Each sector faces distinct regulatory requirements -- HIPAA for healthcare, FERPA for education, SOX for financial services.

What's Changed in Aventura Healthcare ITAD

The days of pulling hard drives and calling it compliant are over. Florida's Identity Protection Act layered over federal HIPAA requirements under 45 CFR §164.312 creates strict obligations for covered entities and business associates. Aventura organizations face additional complexity: aging infrastructure in older hospital buildings, coordination across northeast Miami-Dade County and the surrounding South Florida corridor, and the logistical demands of serving the South Florida metro corridor.

STS Electronic Recycling provides R2v3 certified ITAD and NAID AAA data destruction for Aventura healthcare organizations including HCA Florida Aventura Hospital -- with executed BAAs, serialized certificates, and 600,000 sq ft processing capacity.

The Mistake Most Healthcare IT Directors Make

Waiting until a lease expires or a HIPAA audit looms to build a disposal program. By then, you're scrambling for certified vendors, negotiating rates under pressure, and creating documentation gaps that auditors notice immediately. Healthcare IT managers face HIPAA 45 CFR §164.312 requirements year-round -- this guide helps Miami-Dade County organizations build a proactive ITAD program before a breach or audit forces the issue.

What Are Aventura Healthcare's HIPAA Disposal Requirements?

Under HIPAA 45 CFR §164.312 requirements, covered entities must protect electronic PHI on all devices -- including assets at end-of-life -- with penalties reaching $1.9 million per violation category annually. For Miami-Dade County Healthcare IT Managers, this creates specific disposal requirements that compliance officers verify during every HIPAA audit:

HIPAA Security Rule Requirements for Healthcare IT Disposal

When retiring computers, servers, imaging systems, or mobile devices that stored or processed PHI, federal law mandates a specific disposal framework under 45 CFR §164.310(d)(2):

  • NIST SP 800-88 Rev. 2 compliant data sanitization -- The federal standard for clearing, purging, or destroying electronic media. Software wiping must meet "Purge" or "Destroy" level for covered entities.
  • Business Associate Agreements (BAAs) before asset transfer -- Every ITAD vendor must execute a BAA before assets leave your control -- no BAA means HIPAA violation regardless of certifications.
  • Serialized destruction certificates per device -- Generic receipts do not satisfy OCR requirements. Certificates must list manufacturer, model, serial number, destruction method, date, and technician ID for every device.
  • Unbroken chain of custody documentation -- Tracked from your facility to final destruction with zero gaps in the record.

Healthcare IT Managers typically expect serialized destruction certificates -- one per device listing serial number, manufacturer, destruction method, and technician ID -- included as standard in every STS service engagement for HIPAA audit readiness.

"We assumed our IT vendor handled the HIPAA side automatically. They didn't. When OCR investigated a breach from a retired server that resurfaced at a secondary market auction, our disposal vendor had no BAA in place. The investigation lasted two years. Now we start every vendor relationship with BAA execution -- before a single asset moves."

-- Compliance Officer, South Florida Hospital System

Miami-Dade County Healthcare Sectors and Their Specific Requirements

HCA Florida Aventura Hospital operates as a Level II Trauma Center -- serving northeast Miami-Dade County's highest-acuity clinical environments. Workstations in trauma bays, portable imaging devices, and clinical documentation systems require physical destruction. Software wiping alone does not meet the risk threshold for this class of PHI exposure.

Hospital Systems

HCA Florida Aventura Hospital's 493-bed tertiary care campus requires coordinated ITAD across clinical departments with consistent documentation for every PHI-bearing asset. Serialized destruction protocols and multi-department BAAs are essential for covered entities operating at this level of clinical complexity.

Specialty & Physician Practices

Smaller practices affiliated with Florida International University (FIU)'s health clinics often lack dedicated compliance staff. They need ITAD vendors who handle BAA execution, documentation, and certificates -- STS Electronic Recycling handles BAA execution, documentation, and certificates -- reducing compliance burden while maintaining full HIPAA standards. Learn more about medical equipment recycling for Aventura requirements under 45 CFR §164.308(b).

Florida State Regulations Layered Over HIPAA

Florida's Identity Protection Act (§ 501.171, F.S.) adds state-level breach notification requirements running alongside federal HIPAA. A PHI breach triggers both OCR reporting and Florida Attorney General notification within 30 days. With 725 large healthcare breaches reported in the US in 2024 alone (HHS data), Miami-Dade County organizations cannot treat disposal documentation as optional -- a single chain-of-custody gap creates exposure on two fronts.

BAA Checklist: Required Elements for Healthcare ITAD Vendors

What must a HIPAA-compliant BAA with an ITAD vendor include? The agreement must specify: permitted uses of PHI during asset handling; prohibition on vendor using PHI for its own purposes; appropriate safeguards during transport and processing; breach reporting to your organization within 60 days of discovery; return or destruction of PHI at contract termination; and access rights for HHS inspections under 45 CFR §164.504(e).

How Should Healthcare Organizations Evaluate ITAD Vendors for HIPAA Compliance?

STS engagements with healthcare systems in Aventura typically involve BAA documentation before any asset transfer, off-hours clinical pickup coordination, and PHI chain-of-custody validation per HIPAA 45 CFR §164.312. Healthcare IT Managers in Miami-Dade County must separate vendors who claim HIPAA expertise from those with executed BAAs, verified NAID AAA certification, and serialized documentation that satisfies OCR audit expectations:

Non-Negotiable Certifications for Healthcare ITAD

Don't accept "we follow industry standards" as an answer. Require specific certifications with current verification dates:

R2v3 Certification

Why it matters for healthcare: R2v3 ensures downstream tracking of all materials through certified processors -- protecting Aventura hospitals from downstream liability. Verify current certification at sustainableelectronics.org. Expired R2 certificates are common in South Florida's competitive market.

NAID AAA Certification

Why it matters for HIPAA: OCR investigators recognize NAID AAA certified data destruction as demonstrating good-faith HIPAA compliance during investigations. Verify at naidonline.org and confirm the specific scope: plant-based destruction, mobile destruction, or both -- your requirement determines which you need.

Facility Size and Healthcare-Specific Capabilities

This is where healthcare organizations in this market get burned. A vendor with a 10,000 sq ft warehouse cannot handle enterprise-scale hospital refreshes. When HCA Florida Aventura Hospital System refreshes equipment across multiple campuses, you need serious processing capacity and healthcare-specific logistics.

Ask these specific questions:

  • Facility square footage: Anything under 100,000 sq ft suggests limited capacity -- we serve Aventura from our 600,000 sq ft R2v3 certified facility
  • BAA willingness: Any vendor who hesitates to execute a BAA before asset transfer is immediately disqualified -- this is your first compliance gate
  • Mobile shredding trucks: For witnessed on-site destruction at your Miami-Dade County location
  • Degaussing equipment: NSA-approved degaussers for magnetic media and backup tapes from clinical archiving systems
"We interviewed six vendors before our Miami-Dade County healthcare contract. Only two had healthcare-specific references in South Florida, only one had a BAA pre-drafted and ready to execute, and only one could demonstrate NAID AAA certification for both plant-based and mobile destruction. That evaluation process saved us from a serious compliance exposure."

-- Director of IT Compliance, Miami-Dade County Health System

The Pricing Transparency Test

Here's a red flag: vendors who won't provide written pricing until "after the site visit." Legitimate ITAD companies have published rate structures. You should see:

What Should Be Free

Pickup for qualifying volumes (usually 10+ computers or equivalent). Basic data wiping with serialized certificates. Asset recovery credits that offset disposal costs for working equipment.

What Costs Extra

Witnessed on-site destruction. Same-day or emergency service. Hard drive physical shredding (vs. wiping). After-hours clinical pickups. Multi-campus coordination across Miami-Dade County.

Local Presence vs. National Chains

National chains offer consistent processes if you have facilities across multiple states. Larger facilities and more equipment. But you'll deal with call centers in other time zones and higher pricing.

Regional providers with local operations understand South Florida logistics -- navigating Aventura hospital campus access, coordinating after-hours clinical pickups at HCA Florida Aventura Hospital, working around HCA Florida Aventura Hospital's patient care schedules. The sweet spot is providers with 600,000 sq ft medical IT asset disposition capacity serving Aventura with direct local operations.

When evaluating IT asset disposition providers, Healthcare IT Managers at organizations like HCA Florida Aventura Hospital prioritize R2v3 certification, NAID AAA verification, and pre-executed BAA capability -- the evaluation framework that compliance officers in Aventura and Miami-Dade County consistently apply before any vendor engagement.

The Insurance Verification Most Healthcare Teams Skip

Request a Certificate of Insurance (COI) showing minimum $5M cyber liability coverage and $2M general liability. A vendor hauling clinical servers from HCA Florida Aventura Hospital or HCA Florida Aventura Hospital needs serious insurance. If they claim they "don't need that much coverage" -- walk away immediately. Healthcare organizations processing PHI in Miami-Dade County often require this coverage level as a prerequisite -- the standard operational requirement for STS engagements with Aventura hospital systems.

Healthcare IT managers searching for electronics recycling near me throughout Aventura find STS provides scheduled pickup in Hallandale Beach, Sunny Isles Beach, North Miami Beach, and throughout Miami-Dade County. STS serves the full scope of healthcare electronics recycling requirements for covered entities throughout South Florida -- with I-95 and US-1 corridor access for same-week dispatch.

How Do Miami-Dade County Healthcare Organizations Build a Compliant ITAD Program?

How do Miami-Dade County healthcare organizations with mature ITAD programs avoid compliance gaps? They build disposal protocols proactively -- well before a lease expiration or HIPAA audit creates urgency. Here is the structured approach that works:

Phase 1: Policy Development (Weeks 1-2)

Written policies must exist before you need them. In healthcare, this isn't optional bureaucracy -- it's required documentation under 45 CFR §164.316 and what auditors check first when investigating a disposal-related breach.

Document these elements:

  • Who approves equipment for disposal (IT Director? Privacy Officer? Compliance Officer?)
  • PHI risk classification for different asset types (clinical workstations vs. general office equipment)
  • Required documentation (serialized destruction certificates, BAA records, chain of custody)
  • Vendor qualification criteria including BAA execution requirements
  • Retention periods for disposal records -- 6 years for HIPAA, longer if state law or grant requirements apply

For HCA Florida Aventura Hospital, Miami-Dade healthcare organizations, and regional physician practices, this policy must reference your HIPAA Security Rule compliance procedures and integrate with your existing risk management framework under 45 CFR §164.308(a)(1).

Phase 2: Vendor Selection (Weeks 3-6)

Request proposals from at least 3 vendors. Here's what to include in your RFP:

Scope Definition

Estimated volumes by quarter. Asset types (clinical workstations, servers, mobile devices, imaging equipment). Geographic locations (main campus, satellite clinics, Miami-Dade County medical offices). Special requirements (witnessed destruction, after-hours clinical pickups, multi-site coordination).

Evaluation Criteria

BAA quality and willingness to execute before asset transfer. Destruction certificate format -- serialized per device or batch. References from South Florida healthcare organizations. Insurance coverage amounts. R2v3 and NAID AAA verification.

Phase 3: Pilot Program (Weeks 7-10)

Don't commit to a multi-year contract based on a sales pitch. Run a pilot with a controlled batch:

Test their process with 25-50 computers from a single clinical location. Evaluate documentation quality -- did you receive certificates with individual serial numbers, not batch totals? Check response times against committed windows. Verify data destruction methods match your PHI risk classification. Assess communication -- can you reach a human who knows your account and understands healthcare timing constraints?

"Our pilot revealed the vendor's 'real-time tracking portal' was updated manually once a week. When we needed to prove destruction within 72 hours for a potential breach investigation, we couldn't get documentation for three days. We moved to a vendor with automated certificate generation within 48 hours of destruction."

-- Privacy Officer, Aventura Regional Medical Center

Phase 4: Implementation (Weeks 11-14)

Most healthcare compliance officers choose ITAD vendors who provide automated certificate generation within 48 hours of destruction -- a standard STS maintains for every Miami-Dade County engagement. Once you've validated a vendor, structure your agreement for long-term compliance success:

Master Service Agreement (MSA): Lock in pricing for 12-24 months. Define service level agreements with penalties for missed pickup windows. Include audit rights so you can inspect their facility under the BAA's HHS access provisions.

Work Order Process: Establish pickup request protocols compatible with clinical scheduling. Set expectations for scheduling lead time -- same-week vs. next-day for urgent disposals. Define packaging and staging requirements for hospital environments.

Reporting Structure: Monthly summaries of assets processed with serialized certificate access. Quarterly sustainability reports for ESG documentation. Annual HIPAA compliance documentation ready for auditors or OCR investigation response.

Phase 5: Continuous Improvement (Ongoing)

HCA Florida Aventura Hospital's experience shows: what works for high-acuity trauma assets may not apply to administrative endpoint fleets. Build feedback loops that catch gaps before auditors do:

  • Quarterly business reviews with your vendor -- review certificate completeness and chain of custody records
  • Annual RFP process -- even satisfied clients should benchmark pricing and capabilities
  • Staff training on disposal procedures -- particularly for clinical staff who encounter retired equipment
  • Technology updates -- new asset types (IoT medical devices, smart infusion pumps) require updated destruction protocols

The Clinical Scheduling Problem Most ITAD Programs Miss

Hospital equipment refreshes can't happen during peak patient census periods. Aventura's seasonal population surge (October through April) creates hospital capacity constraints that affect IT project scheduling. Book disposal pickups for summer months when capacity allows -- and pre-arrange vendor availability 60-90 days in advance. Hurricane season (June-November) also creates logistics windows that experienced South Florida vendors know how to navigate.

Which Data Destruction Methods Are Required for HIPAA-Compliant Healthcare ITAD?

Wondering which data destruction method your Aventura healthcare organization needs? Per NIST SP 800-88 Rev. 2 and HIPAA 45 CFR §164.310(d)(2), the required method depends on both PHI risk level and media format -- not every clinical device can be wiped, and not all assets warrant the same destruction level:

Software-Based Wiping (NIST SP 800-88 Rev. 2)

Per NIST SP 800-88 Rev. 2 guidelines, media sanitization requires verification at the Clear, Purge, or Destroy level -- with "Purge" the minimum standard for PHI-bearing healthcare media. STS provides HIPAA compliant secure data sanitization meeting this standard for Aventura healthcare organizations. For healthcare organizations, "Clear" is insufficient for PHI-bearing media. You need "Purge" level minimum, which means:

  • Functioning drives destined for redeployment or resale -- Purge-level overwrite with verification
  • General office equipment that accessed clinical systems through network only -- documented Clear-level process with certificate
  • Equipment with low to moderate PHI exposure and functioning media

Critical limitation for healthcare: Wiping only works on functioning drives. A workstation that crashed and won't boot -- a common scenario in busy clinical environments at HCA Florida Aventura Hospital -- cannot be wiped. It must be physically destroyed. Attempting to document a "wipe" on non-functional media creates a false certificate that creates OCR liability.

NIST 800-88 Purge

Multi-pass overwrite with cryptographic verification. Required for PHI-bearing media under HIPAA's Security Rule. Generates verifiable logs acceptable as HIPAA destruction documentation per device.

DoD 5220.22-M

Three-pass overwrite still accepted by many healthcare compliance frameworks. Most federal health agencies now prefer NIST SP 800-88 Rev. 2 Purge as the current standard for PHI-bearing media.

Degaussing (Magnetic Erasure)

Degaussers create powerful magnetic fields that scramble data at the domain level, rendering drives completely inoperable. When you need degaussing services in Aventura:

  • Failed drives that cannot be wiped -- common in high-use clinical workstations
  • Healthcare billing servers and archival systems with high PHI density
  • Backup tapes from clinical imaging or records systems at HCA Florida Aventura Hospital
  • Any magnetic media requiring NSA-approved destruction per your security policy

Critical note for modern healthcare IT: Degaussing does not work on solid-state drives (SSDs) or flash-based storage. Modern clinical workstations, portable imaging devices, and tablet-based documentation systems use SSDs exclusively. Magnetic fields have zero effect on electronic storage. For these devices, physical shredding is the only compliant destruction method.

Physical Shredding (Required for High-PHI Assets)

Industrial shredders reduce drives to particles 2mm or smaller -- far below the threshold where any data reconstruction is possible. This is what HCA Florida Aventura Hospital's highest-security environments require. Two delivery methods:

Plant-Based Shredding

Drives transported to our 600,000 sq ft R2v3 certified processing facility and shredded with video verification -- documented chain of custody maintained throughout. More economical for large volumes. Chain of custody documentation satisfies HIPAA requirements. Hard drive shredding certificates issued per serial number.

Mobile Shredding

Truck-mounted shredder comes to your Aventura location. You witness destruction in real time -- the gold standard for ultra-sensitive PHI assets. Required by some healthcare compliance programs for clinical server decommissions. Mobile shredding eliminates chain of custody risk entirely.

"After reviewing our HIPAA risk assessment, our compliance committee mandated witnessed destruction for all clinical servers and imaging system storage. We now schedule quarterly mobile shredding visits. The cost premium over plant-based shredding is significant -- but the documentation and zero chain-of-custody risk is worth every dollar when you're managing PHI at scale."

-- Chief Compliance Officer, Aventura Regional Health System

Matching Destruction Method to PHI Risk Level

General office equipment (non-clinical): NIST 800-88 Purge-level wiping with serialized certificates. Front-office computers, administrative laptops with limited PHI exposure.

Clinical workstations and departmental servers: Degaussing for magnetic drives, physical shredding for SSDs. Covers the majority of HCA Florida Aventura Hospital's and regional healthcare systems's clinical endpoint fleet.

High-PHI density systems: Physical shredding only. Clinical imaging servers, billing systems, EHR infrastructure at HCA Florida Aventura Hospital require this level regardless of media type.

Executive and research systems: Physical shredding with witnessed data sanitization documentation. Research data at Florida International University (FIU) health programs and clinical research programs fall here.

The Tiered Strategy That Balances Compliance and Cost

Most Aventura healthcare organizations use a tiered approach: NIST Purge wiping for ~60% of equipment (functional non-clinical assets), degaussing for ~20% (failed drives and magnetic media), physical shredding for ~20% (clinical systems and SSDs). This balances HIPAA compliance requirements with budget reality -- without paying shredding prices for every administrative laptop and conference room monitor.

What HIPAA ITAD Mistakes Do Aventura Healthcare Organizations Keep Making?

STS Electronic Recycling provides NAID AAA certified data destruction and R2v3 certified IT asset disposition for Aventura healthcare organizations -- with pre-executed BAAs, NIST SP 800-88 Rev. 2 compliant sanitization, and serialized destruction certificates per device. Per R2v3:2020 certification standards, downstream tracking is documented through certified smelters, satisfying HIPAA 45 CFR §164.310(d)(2) requirements for every Miami-Dade County engagement.

After working with healthcare organizations across South Florida, these are the recurring compliance failures that trigger OCR investigations and create preventable liability:

Mistake #1: Transferring Assets Before Executing the BAA

This is the most dangerous mistake in healthcare ITAD. The moment a PHI-bearing device leaves your physical control without an executed BAA, you have a HIPAA violation -- regardless of what the vendor does with the equipment afterward. The sequence must be: BAA executed → chain of custody begins → assets transfer. Never the reverse. Healthcare organizations throughout Miami-Dade County must verify BAA execution before scheduling the first pickup, not after.

Mistake #2: Treating All Assets the Same

A general office laptop and a clinical workstation connected to your EHR system are not the same asset. Applying identical destruction methods to both either over-spends on low-risk equipment or under-protects high-risk PHI assets. Build a PHI risk classification matrix:

  • Verify R2v3 certification at sustainableelectronics.org before any asset transfer
  • Verify NAID AAA membership at naidonline.org -- scope matters (plant vs. mobile)
  • Request current insurance certificates, not documents over 90 days old
  • Classify each asset type by PHI exposure level before assigning destruction method

Mistake #3: Accepting Batch Certificates Instead of Serialized Documentation

A certificate stating "500 computers destroyed on [date]" is not HIPAA-compliant documentation. When OCR investigates a breach and asks you to prove a specific device was destroyed, a batch certificate proves nothing. HCA Florida Aventura Hospital and area healthcare facilities both require serialized certificates -- one per device, listing manufacturer, model, serial number, destruction method, date, and technician ID.

Proper certificates of destruction must include: manufacturer and model; serial number and asset tag; destruction method and NIST standard applied; destruction date and location; technician identification; unique certificate ID for records retention. Anything less is a documentation gap that becomes liability in an investigation.

"OCR asked us to produce destruction documentation for 23 specific devices from a 2022 clinical refresh. We had batch certificates. We could not demonstrate that those specific serial numbers were destroyed. The resulting corrective action plan cost us more than our entire ITAD budget for two years."

-- Privacy Officer, South Florida Regional Medical Center

Mistake #4: Ignoring Mobile Devices and Portable Equipment

Smartphones, tablets, portable imaging devices, and clinical-grade handheld equipment are the fastest-growing category of PHI-bearing assets at Aventura healthcare organizations -- and the most frequently overlooked in ITAD programs. Every device that accessed your EHR, patient portal, or clinical system via app or VPN carries PHI disposal obligations identical to a desktop workstation. HCA Florida Aventura Hospital and HCA Florida's clinical mobility programs generate hundreds of these assets annually per facility.

Mistake #5: No Vendor Contingency Plan

What happens if your certified ITAD vendor has a facility incident, loses certification, or gets acquired mid-contract? Healthcare organizations cannot pause PHI disposal while sourcing a replacement -- that creates a PHI accumulation risk and compliance gap simultaneously.

Mature healthcare programs across Miami-Dade County maintain relationships with two certified vendors: a primary handling 80%+ of volume and a backup qualified and periodically engaged. Dual BAAs must be in place before you need the backup -- you cannot execute a BAA in the middle of an urgent disposal need.

The Small Quantity Compliance Gap

Most vendors prioritize large pickups (50+ units). But what about the HCA Florida Aventura Hospital department with 3 retired tablets, or the physician practice with a single failed workstation? These small-quantity disposals create documentation gaps that auditors find immediately.

Solution: Establish quarterly collection protocols where departments stage small quantities to a central location. This batches smaller items into vendor-friendly volumes while maintaining serialized documentation for every asset -- no matter the quantity. For qualifying volumes (typically 10+ units), STS provides scheduled pickup at no charge throughout Miami-Dade County.

About This Guide

This compliance guide was developed by the STS Electronic Recycling team based on direct experience serving HCA Florida Aventura Hospital, regional healthcare organizations, and healthcare organizations throughout South Florida. STS holds R2v3 and NAID AAA certifications and has processed healthcare IT assets for covered entities under HIPAA 45 CFR §164.310 for over a decade. Content reviewed by Mark Domnenko, AI Strategy Consultant. Questions? Email This email address is being protected from spambots. You need JavaScript enabled to view it..

Ready to Implement HIPAA-Compliant ITAD in Aventura?

STS Electronic Recycling provides R2v3 and NAID AAA certified services for Aventura healthcare organizations. Our 600,000 sq ft facility serves Miami-Dade County with same-week pickup, witnessed destruction, executed BAAs, and serialized HIPAA compliance documentation. Reach us at This email address is being protected from spambots. You need JavaScript enabled to view it..

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