Write down November 4, 2021, as the Employment Lawyer Superbowl. At 8:45 am this morning, OSHA published its Covid-19 Vaccination and Testing Emergency Temporary Standard in the Federal Register. You can download and read all 490(!) pages of it here.
Most importantly, this rule takes effect immediately upon its publication in the Federal Register — i.e., today — but employers have 30 days, or until December 5, 2021, to comply with all requirements except testing for employees who are not fully vaccinated (which has a January 4, 2022, compliance date).
This means that by no later than January 4, 2022, employers will need to ensure that their employees have received their final vaccination dose, with weekly testing required for unvaccinated employees thereafter.
Coverage — The ETS covers all employers with 100 or more employees (and regardless of contradictory state or local measures), measured on a company-wide basis, except:
- Those employers that are already covered by the Safer Federal Workforce Task Force Covid-19 vaccine mandate for federal contractors and subcontractors; and
- Those employers covered by OSHA's Covid-19 Healthcare Emergency Temporary Standard.
The ETS does not apply to employees who do not report to a workplace where other individuals such as coworkers or customers are present, employees while they are working from home, or employees who work exclusively outdoors.
Employer Policy on Vaccination — The ETS requires
covered employers to develop, implement, and
enforce a mandatory Covid-19 vaccination policy.
Testing in Lieu of Vaccination — The ETS allows for an exception to mandatory vaccinations for employees who elect weekly Covid-19 testing. Those employees must also wear a face-covering while at the workplace and while in a vehicle with another person for work-related purposes. Employees who opt for weekly testing in lieu of vaccination can be required to cover the cost of such testing.
Determination of employee vaccination status — The
ETS requires employers to determine the vaccination
status of each employee, obtain acceptable proof of
vaccination, maintain records of each employee's
vaccination status, and maintain a roster of each
employee's vaccination status.
Paid Time Off — The
ETS requires employers to support vaccination by
providing employees reasonable time, including up
to four hours of paid time, to receive each
vaccination dose, and reasonable time and paid
sick leave to recover from side effects experienced
following each dose.
Handling Positive Covid Tests — The ETS requires
employers to: (1) require employees to promptly
provide notice when they receive a positive Covid-19 test or are otherwise diagnosed with Covid-19; (2)
immediately remove any employee from the
workplace who
received a positive COVID-19 test or is diagnosed
with Covid-19, regardless of vaccination status; and (3) keep removed employees out of the workplace
until they meet CDC criteria for returning to work.
Information to Employees — The ETS
requires employers to provide employees the
following in a language and at a literacy level employees will understand: (1) information about the
requirements of the ETS and workplace policies
and procedures established to implement the ETS;
(2) the CDC document "Key Things to Know About
Covid-19 Vaccines"; (3) information about
protections against retaliation and discrimination;
and (4) information about laws that provide for
criminal penalties for knowingly supplying false
statements or documentation.
OSHA Reporting Requirements —The ETS requires employers to report
work-related Covid-19 fatalities to OSHA within 8
hours of learning about them, and work-related
Covid-19 in-patient hospitalizations within 24 hours
of the employer learning about the hospitalization.
Availability of Records — The ETS requires employers
to make available for examination and copying an
employee's Covid-19 vaccine documentation and
any Covid-19 test results to that employee and to
anyone having written authorized consent of that
employee. Employers are also required to make
available to an employee, or an employee
representative, the aggregate number of fully
vaccinated employees at a workplace along with
the total number of employees at that workplace.
You also need to understand, however, that lawsuits will follow, that there is a good chance that a will enjoin this rule prior to its Dec. 4 compliance date. Thus, it is possible, if not probable, that this ETS will never actually require any employer to do anything. But, it certainly makes sense to be prepared by preparing that mandatory vaccination policy now. The clock is ticking.