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    Workplace Safety Plans To Address Covid-19-Specific Hazards

    What should employers do to prepare

    Posted on 09-30-2020,   Read Time: Min
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    Cal/OSHA recently cited 11 employers in the food processing, meatpacking, health care, agriculture, and retail industries for not protecting employees from potential exposure to Covid-19. The state safety enforcement agency targeted these industries after several employee complaints and a spike in infection rates. It then initiated a number of strategic enforcement efforts to ensure all employers have adequate workplace safety plans to address Covid-19-specific hazards. 
     


    This initial group of 11 employers were cited for various violations, including some that were classified as serious, with proposed penalties ranging from $2,025 to $51,190. Many of the alleged violations are tied to Cal/OSHA’s contention that the employer failed to adequately implement their Injury and Illness Prevention Program and identify hazards in accordance with Title 8, Section 3203 of the California Code of Regulations. Cal/OSHA has promised there are many more citations on the horizon. 

    Even though Cal/OSHA says it has targeted specific industries where it believes employees have been disproportionately affected, employers in any industry should take note of Cal/OSHA’s guidance and endeavor to minimize the risk of a potential Cal/OSHA inspection and Covid-19 related citations. Existing regulations require employers to implement effective measures to protect employees from worksite hazards, including identifying and recognized health hazards such as Covid-19 and providing effective training. You must continue to take steps to:
     
    1. Monitor employees for compliance with appropriate social distancing practices (at least six feet) to limit the spread of Covid-19. Strategies include, but are not limited to:
     
    • Creating barriers, such as shields – even establish directional walkways; and
    • Using signs, tape marks, or other visual cues placed six feet apart to indicate where to stand in areas where congregation is likely

    2. Personal hygiene for employees is critical:
     
    • Provision of hand washing facility or hand-sanitizer;
    • Consider eye and hand protection; and
    • Sanitizing surfaces regularly;

    3. Provide employees with cloth face coverings or allow them to use their own;

    4. Screen workers for Covid-19 symptoms before they start work; and

    5. Have workers stay home if they feel ill and inform them about applicable sick leave benefits.

    Furthermore, if your employees interact with the public, you must follow the latest public health orders and ensure they are maintaining a safe workspace to protect both workers and customers. Workers and customers should use face coverings, and if you are moving worksites outdoors that had previously been indoors, you must account for new hazards such as heat illness and moving vehicles.

    With increased Cal/OSHA enforcement efforts, all employers should review their Injury and Illness Prevention Programs to ensure they adequately account for Covid-19 related issues. In doing so, you are encouraged to keep in mind the existing requirements and guidance and see what works for your specific worksites.

    Author Bio

    COLLIN D. COOK.jpeg Collin D. Cook is a Partner at Fisher Phillips LLP.
    Visit www.fisherphillips.com 
    Connect Collin D. Cook
    Follow @labor_attorneys
    CHRISTOPHER G. PETERSON.jpeg Christopher G. Peterson is a Partner at Fisher Phillips LLP.
    Visit www.fisherphillips.com 
    Connect Christopher G. Peterson 
    Follow @labor_attorneys 

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    ePub Issues

    This article was published in the following issue:
    October 2020 HR Legal & Compliance

    View HR Magazine Issue

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