OSHA's
Bloodborne Pathogens Standard
Important
Note
The information below is intended only to inform and not to be a substitute
for the reader's seeking legal counsel. Any information given here
should be examined by the reader's attorneys as to such information's
applicability.
The
Occupational Safety & Health Administration released its Bloodborne
Pathogens Standard in 1991 to try to eliminate or minimize employee
contact with potentially infectious materials such as blood or other
body fluids.
Although
the regulation principally applies to health care workers, in 1993
OSHA advised the National Restaurant Association that foodservice
establishments with designated employees responsible for rendering
first aid or medical assistance as part of their job duties are also
covered. The National Restaurant Association receive the following
clarification from OSHA in May 1993 about employers' responsibilities.
See OSHA's
Web site for FAQs on the Bloodborne Pathogens Standard.
Q:
If an employer is covered by the Bloodborne Pathogens Standard, what
are the employer's responsibilities?
A:
Covered employers must provide the following:
1.
Exposure plan. Employers must provide documented operating procedures
to eliminate or minimize employees' exposure to another's blood
or other potentially infectious materials. The plan should include
employee awareness, training, appropriate personal protection equipment,
procedures for cleanup and disposal of contaminated material and
incident reporting. Review the plan annually and update as necessary.
2.
Hepatitis B vaccination. Within 24 hours after an employee is
exposed to potentially infectious materials, the employer must counsel
the exposed employee and offer to provide a free post-exposure vaccination
against Hepatitis B. (We suggest that you make prior arrangements
with a medical provider.) Although this is only required for designated
first-aiders, you may wish to consider offering it to any exposed
employee. The vaccination need not be offered before exposure because
first aid is considered a "collateral duty" for foodservice
employees.
3.
Medical evaluation. If employees have contact with blood or
other potentially infectious materials, the employer must arrange
for a confidential medical evaluation.
4.
Recordkeeping. BPS requires the employer to maintain a record
of each occupational exposure.
5.
Training. Designated first-aiders covered by BPS should receive
training and information that might include the following:
- First-aid
techniques and certification
- How
to avoid or minimize exposure
- Handling
and removal of gloves, clothing, bandages and laundry
-
Handwashing
- Emergency
phone numbers
- Cleanup
procedures
- How
bloodborne diseases are transmitted
- How
to report an exposure incident
6.
Personal protective equipment. OSHA cites the following as examples
of the type of personal protective equipment the employer might
provide to covered employees:
- Gloves
- Waterproof
aprons
- Eye
protection
- Disposable
CPR devices
Q: Couldn't all foodservice employees be considered designated first-aiders?
A:
Not necessarily, says OSHA. Designated first-aiders are specifically
appointed or expected by the employer to provide emergency first aid
as one of their job responsibilities. These employees must be provided
the protections of the bloodborne pathogens standard. Other employees
who are trained in first aid, but are not designated or expected to
provide first aid, would be considered "Good Samaritans."
Q: When must an employer designate a first-aider within the establishment?
A:
OSHA says employers must designate first-aiders within an establishment
in these situations:
- If
employees work in areas where public or commercial transportation
is not available, employers would also be responsible for making
provisions for acceptable alternative emergency transportation.
- If
suffocation, severe bleeding or other life-threatening injury or
illness can be reasonably expected.
- If
required by local authorities.
Q: What if there are truly no employees in a foodservice establishment
who are reasonably expected to come into contact with blood or other
potentially infectious materials through the course of their job duties?
A:
The employer would not be required to provide protection under the
BPS standard.
Last updated: May 1994