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COMMUNICABLE DISEASES POLICY Preface: It is not the purpose or the intent of these guidelines to treat any applicant, employee, client, or citizen any differently than what the normal procedure or contractual obligation calls for. It is especially noted that this is true for the PRESENCE, RECORD, OR PERCEPTION of any bloodborne pathogen illness, including the fatal infectious disease AIDS, and HIV infection. These guidelines have been written to provide practical guidance to specific questions that will arise about bloodborne pathogens. APPROVED BY THE COUNTY BOARD 10/27/87 UPDATED AND APPROVED BY THE COUNTY BOARD 9/22/92 I:\USERS\CHR\wpdata\Itcopol new\communic 1 INTRODUCTION Bloodborne pathogens are microorganisms in human blood that can cause disease in humans and are known as communicable diseases. They include the hepatitis B virus (HBV) and the human immunodeficiency virus (HIV), which causes acquired immune deficiency syndrome (AIDS). (AIDS) was first detected in the United States in 1981 and was actually present in Central Africa already in 1971. It is thought to be an evolutionary descendent of a virus that existed in monkeys for as many as 50,000 years. Since then, there have been over 60,000 cases in the United States and the number is growing daily. Most persons who are diagnosed as having AIDS die within a few years of diagnosis. AIDS is a condition in which the body's normal self-defense mechanism breaks down leaving it vulnerable to infections and cancers which normally do not infect healthy people. It is caused by the human immunodeficiency virus. The disease is NOT very contagious. AIDS can only be transmitted by certain kinds of direct, intimate sexual contact, direct contamination with infected blood or body fluids, or by sharing an infected hypodermic needle for injection of drugs. AIDS is NOT transmitted by such casual contact as sharing a telephone, shaking hands, touching door knobs, use of bathroom facilities, hugging, sneezing, swimming pools, day care centers, etc. The possibility of transmission of the disease is extremely remote or non-existent in most public and work place settings. Precautions to avoid contamination are necessary for employees occupationally exposed to blood, other potentially infectious materials, and certain other body fluids that contain bloodborne pathogens. These employees include, but are not limited to physicians, dentists, dental employees, nurses, morticians, paramedics, medical examiners, laboratory and blood bank technologists and technicians, housekeeping personnel, laundry workers, employees in long-term care facilities and home care workers. Other workers who may be occupationally exposed to blood or other potentially infectious materials, depending on their work assignments, include research laboratory workers, and public safety personnel (fire, police, rescue, correctional officers, etc.) The State Department of Health projects that 17,000 people in Minnesota are INFECTED with the HIV virus which means that their 2 COMMUNICABLE DISEASES POLICY immune system has produced antibodies in response to the infection. As of August 1992, there were 1,177 confirmed cases of AIDS in Minnesota. Itasca County recognizes the need for safeguards to protect workers against the health hazards related to bloodborne pathogens and will address this growing problem in a variety of ways. Itasca County will keep abreast of current information, devise operating procedures, participate in information-sharing and coordination activities with other units of government and private agencies, and develop and carry out necessary training programs. COUNTY OPERATIONS A. ITASCA COUNTY GUIDELINES RE: INFECTIOUS DISEASES Itasca County will not subject any employee, applicant, or client to testing, removal of customary status, or be deprived of any rights, privileges or freedoms because of his/her HIV infection, AIDS, or other bloodborne pathogen status except for clearly stated, specific, and compelling medical and/or public health reasons. Further, Itasca County will ensure that information and data collected from and about employees and/or clients be used and disseminated per compliance with the Data Privacy Act (M.S. Chapter 13) and the Itasca County Retention & Destruction Schedule. Note: Definition of HIV virus and AIDS status: NOTE: 1. HIV VIRUS: the scientifically acceptable term for human immunodeficiency virus and the causative agent of the medical condition known as AIDS. 2. ACQUIRED IMMUNE DEFICIENCY SYNDROME or AIDS: breakdown of the body's natural immune system. Because AIDS affects the body's ability to fight off infection, people who suffer from AIDS become susceptible to a variety of rare illnesses not usually found in people whose immune system is normal. These illnesses are referred to as "opportunistic infectious or diseases" and can be fatal. "Clearly stated, specific and compelling medical reasons" 3 refers to the medical treatment of the patient with AIDS and HIV infection and related conditions by medical and health personnel as determined by a team of health professionals including the Public Health Agent of the County Board in cooperation with local medical doctors, and/or other expert personnel. Public health reasons refers to the transmission of the disease from infectious persons to members of the public by known means of transmission or where the real possibility of infection, as determined by the County's health officer, exists. NOTE: Exhibit A lists other laws and guidelines under which Itasca County operates which prohibit discrimination because of HIV infection or AIDS status or which may be relevant to related issues. B. EMPLOYEE RELATIONS AND PERSONNEL POLICIES TESTING EMPLOYEES/APPLICANTS FOR AIDS POLICY: Testing for AIDS, HIV infection, or any other bloodborne pathogen should not be done as a screening for employment, re-assignment or promotion, except for positions which require specific work-related health conditions, as outlined in Medical Evaluation and Employee Assistance, of the Personnel Policy and in accordance with labor contracts. See Attachment B.1 for reference to the policy on Medical Evaluation and Employee Assistance. DISCUSSION: Testing for bloodborne pathogens such as AIDS, except as provided for in the Personnel Policy, is not needed because these diseases are not transmitted by casual contact. Screening for such may be construed as discrimination. Current personnel rules and labor contracts adequately address the medical testing issue and provide adequate safeguards for the employee and others. TESTING AS PART OF EMPLOYMENT POLICY: Employees will not be required to have or be offered testing for AIDS, HIV infection, or bloodborne pathogens except when they are involved in an incident in the course of their work during which transmission might occur or where the employee's ability to perform the duties and/or responsibilities of the position involved are impaired. Itasca County has adopted a definition of incident which follows in Attachment B.2. In the case of uncertainty or dispute, a physician designated by Itasca County will determine if a situation meets the definition of an incident on a case-bycase basis. 4 COMMUNICABLE DISEASES POLICY DISCUSSION: The Itasca County Medical Evaluation and Employee Assistance policy provides that "In the event an employee appears to have a mental or physical condition that would impair the employee's ability to perform the duties and/or responsibilities of the position involved or causes the employee to use sick leave in a manner which appears to be excessive, the Human Resources Director may require such employee to be examined by a qualified physician designated by the Personnel Department at the expense of the county." This is sufficient authority to cover AIDS, HIV infection, and other bloodborne pathogen related incidents. The County's personnel system, as well as the legal system, provides extensive recourse and ensures due process in the unlikely event that an employee might object to examination. With regard to emergencies, protection is that which is possible given the situation. If an employee with a bloodborne pathogen is injured, care must be taken with handling blood; the best protection is the use of personal protective equipment such as gowns, gloves, laboratory coats, face shields, masks, eye protection, mouthpieces, and other ventilation devices, thorough hand washing and care not to get infected blood on mucous membranes, i.e. mouth. Since there is no treatment, the rationale for examination or testing would be to determine if infection can be related to the work incident. MODIFICATION OF WORK ASSIGNMENTS OF BLOODBORNE PATHOGEN STATUS EMPLOYEES POLICY: Employees who are known to have a bloodborne pathogen status shall not have their job assignments modified except as provided for in the Itasca County Medical Evaluation and Employee Assistance Program policy. Exceptions may be made by the Human Resources Department on a case-by-case basis at the request of the employee or employing department in the case of compelling medical and/or public health reasons. DISCUSSION: There may be rare instances with AIDS, as with any potentially disabling situation or situation involving an infectious disease, in which there are compelling medical or public health reasons to modify, temporarily or permanently, an infected employee's work assignment. This could be for the protection of the employee, others or both. BENEFIT ISSUES POLICY: Itasca County will continue to negotiate insurance packages for all employees with no preferential treatment regarding or disregarding AIDS. No person will be required to supply information of a nature not required of all 5 persons in County-negotiated insurance packages. No modifications regarding HIV infection, AIDS or other bloodborne pathogen illnesses will be made to current disability or sick leave policies unless agreed to through the collective bargaining process. DISCUSSION: Current policies are adequate to insure and protect employees who become sick with HIV infection, AIDS, or other bloodborne pathogen illnesses. Although there are indications of attempts to discriminate against persons of certain demographic groups or lifestyles for insurance purposes in other parts of the country, thus far no such insurance practice has been instituted in Minnesota. If new diseases or technologies, such as transplants, come along which increase the cost of health care for County employees as a group, premiums go up and everyone pays more. There is no reason to modify this position at this time. In the case where an employee is using sick leave or disability provisions of the County, and a doctor's statement is required, there is no need to identify the bloodborne pathogen status of the employee; the doctor may just indicate the debilitating symptoms which are affecting the employee's ability to work. 6 COMMUNICABLE DISEASES POLICY Attachment B.1 (from the Itasca County Policy Manual on Medical Evaluation & Employee Assistance) A. Medical Evaluation 1. Physical requirements. For the positions which require specific work-related health conditions, employment will be contingent upon passing a medical evaluation conducted by a qualified physician designated by the Human Resources Department at the expense of the County. A medical examination report shall be prepared for the examined applicant which contains the findings and recommendations of the physician. This report shall be placed on file with the Human Resources Director and it shall be considered part of the employee's record. In the event the medical evaluation report indicates that the applicant has a mental or physical condition which would impair his/her ability to perform the duties and/or responsibilities of the position, the Human Resources Director may declare the applicant ineligible for appointment. 2. Special Medical Evaluation. In the event an employee appears to have a mental or physical condition that would impair the employee's ability to perform the duties and/or responsibilities of the position involved or causes the employee to use sick leave in a manner which appears to be excessive, the Human Resources Director may require such employee to be examined by a qualified physician designated by the Human Resources Department at the expense of the County. Any employee who is required to discontinue work may not return until authorized by the physician designated by the Human Resources Department. If it is found that the employee will not be able to perform the duties of his/her position, every effort shall be made within the scope of these rules to place the employee in gainful employment within the County, provided a vacant position within an existing classification exists. If a position does not exist for which the employee may qualify, the appropriate employment rules and/or contracts covering layoff, dismissal, etc. shall be followed. 3. Notice of Medical Information Used in Employment Decision 7 Section 363.03, Unfair Discriminatory Practices, Subd. 1a, of the Minnesota Human Rights Act was amended in 1989 to state that, "If any health care records or medical information adversely affects any HIRING, FIRING, or PROMOTIONAL decision concerning an applicant or employee, the employer must notify the affected party of that information within ten (10) working days of the final decision." THE HIRING AUTHORITY HAS AN AFFIRMATIVE DUTY TO PROVIDE THIS INFORMATION REGARDLESS OF WHETHER THE EMPLOYEE REQUESTS IT OR WHETHER SUCH INFORMATION IS THE PRIMARY BASIS FOR AN EMPLOYMENT DECISION. B. Employee Assistance. Employees not able to continue in their duties due to medical reasons and/or employees needing counseling due to depression, marital problems, family tensions, family abuse, financial difficulties, or alcohol, or drug abuse may seek assistance through the County's employee assistance program in a confidential outside-of-work setting. Professional counselors are available and employees are encouraged to seek any assistance they need. The Human Resources Department shall act as liaison to the service provider; however, actual involvement of the employer is not necessary unless deemed by the professional counselor as necessary to carry out the care plan. 8 COMMUNICABLE DISEASES POLICY Attachment B.2 DEFINITION OF RELATED WORK INCIDENT An HIV infection, AIDS, or bloodborne pathogen related work incident involves significant exposure to regulated body fluids including blood, semen, blood products, vaginal secretions (including menstrual blood), amniotic (pregnancy) fluid, cerebrospinal (brain and backbone) fluid, perioteneal (abdominal) fluid, and pericardial (heart) fluid. Such significant exposure is considered an occupational exposure and occurs when an employee's skin or mucous membrane is exposed to the above-mentioned regulated body fluids through needlestick, cut, splash, or when the employee's skin is chapped, abraided, or otherwise not intact and which occurs during the performance of an employee's job. Specific to the HIV infection, the virus has been found in tears and saliva, but no one has become infected with HIV as a result of contact with tears or saliva. The probability of infection from mucous membrane or blood contact with infected saliva or tears is extremely low. If a situation arises, and concern or doubt about the possibility of infection occurs, the Coordinator/Human Resources Department should be contacted immediately so that a physician can be designated by the County to determine if a situation meets the definition of an incident. 9 C. CLIENT RELATIONS TESTING FOR, OBTAINING OR RECORDING CLIENTS' BLOODBORNE PATHOGEN STATUS POLICY: Clients of Itasca County and its vendors shall not be tested for HIV infection, AIDS, or other bloodborne pathogen status unless there is, in the judgement of the County's Health Officer or designee, sufficient medical and/or public health reason to do so. This may be in the presence of clinical signs, in order to prescribe treatment, or if some unique aspect of the client's situation presents the danger of transmission. POLICY: The bloodborne pathogen status of clients of Itasca County or its vendors shall not be obtained and/or recorded, either voluntarily or involuntarily, unless there are compelling medical and/or public health reasons to do so. DISCUSSION: County policy must provide for the (1) rights of clients who have HIV infection, AIDS, or other bloodborne pathogen illness (2) rights of employees to know if a hazard exists in the work place, and (3) rights of clients who do not have a bloodborne pathogen illness. County employees perform a wide variety of functions. The legitimate concerns of employees concerning knowledge of a client's bloodborne pathogen status should and must be addressed. However, employee concerns may not be justification for practices which are contrary to medical knowledge and which would subject clients to unwarranted invasion of their privacy and violation of their rights. Good infection control practices should be in place where an entire clientele, because of its nature, is more likely to have been exposed to a bloodborne pathogen than the general population. As a matter of management practice, such infection control practices should be required and maintained. PRIVACY OF CLIENTS' BLOODBORNE PATHOGEN STATUS POLICY: Itasca County will strictly enforce the privacy of health records and will exercise the necessary and customary precautions so that unauthorized dissemination of information about the HIV infection, AIDS, or other bloodborne pathogen status of Itasca County clients or its vendors does not occur. In cases where bloodborne pathogen status information is obtained, only authorized persons will have access to this information to use for work-related reasons and all such persons should be required to be trained in the medical facts concerning 10 COMMUNICABLE DISEASES POLICY the transmission of illness. POLICY: State requirements regarding the reporting of the identities of persons who are infected with HIV, AIDS or other bloodborne pathogens only affects the examining physician. Itasca County will, of course, comply with any laws, rules or regulations promulgated by the State Department of Health to the degree expected or required. DISCUSSION: Since the disease of AIDS is a recent development, and most knowledge concerning the disease has not reached the public in a systematic fashion, there is much unwarranted concern and partial or mis-information about the disease. Until the public can be educated about the disease, its transmission and degree of infectiousness, it is important to be extraordinarily concerned about over reaction and hysteria which might occur and be focused on a few unfortunate individuals whose health status has been made public knowledge. Further, since there is no "cure" for AIDS, the only means of preventing the spread of the disease is through prevention. Any policies or procedures which have the effect of deterring persons who may be infected from being tested to determine their HIV or AIDS status and adjusting their contacts accordingly are counter productive and may have the effect of harming the public. WORK UNIT OPERATIONS AND CLIENTS' BLOODBORNE PATHOGEN STATUS POLICY: Work units are expected, if it is appropriate or necessary, to change their operations to incorporate medically sound infectious disease control practices, which apply to all clients. There will be no changes in work unit operation because of an individual client's HIV infection, AIDS, or other bloodborne pathogen status except where there are unique and compelling medical and/or public health reasons. Changes must be consistent with these guidelines and other policies and rules, and must be in the form of a written document which clearly states the client's identity, his/her bloodborne pathogen status, the nature of the change, the reason for the change, who shall know about and/or implement the change and the duration of the change. The document must be approved in writing by the appropriate Department Head. 11 DISCUSSION: The presence of a person infected with the HIV virus, AIDS, or other bloodborne pathogen in a client population is reason for change in operations only if the client has medical treatment needs which cannot be met under current work unit operating procedures or if there is a real possibility of transmission of the disease because of the nature of the client or the situation. DEPARTMENT HEADS ARE RESPONSIBLE TO ENSURE THAT KNOWN CLIENTS WITH BLOODBORNE PATHOGENS ARE NOT SUBJECTED TO DIFFERENTIAL TREATMENT EXCEPT FOR REASONS BASED ON SOUND MEDICAL AND/OR PUBLIC HEALTH INFORMATION. D. TRAINING EMPLOYEE TRAINING AND PROTECTION POLICY: Itasca County will make available to all employees mandatory training concerning bloodborne pathogen illness including HIV infection and AIDS. Training will be provided for employees according to their classification into one of three training categories. The three categories of training are: (1) basic information and policy training, (2) training for employees who are in contact with high risk group clients, and (3) training for employees who are at risk of infection because of their work assignment. As other training needs are identified, they will be provided for. As per the Occupational Safety and Health Administration (OSHA) Bloodborne Pathogen Standard, training will be provided at no cost to employees with occupational exposure and given during working hours. The training should be given at the time of initial assignment and must be updated on an annual basis. The County will provide employees with personal protective equipment, i.e. gloves, mouthpieces. Hepatitis B vaccinations will be made available to all employees who have occupational exposure to blood within ten (10) working days of assignment, at no cost, at a reasonable time and place under the supervision of a licensed physician or licensed health care professional, and according to the latest recommendations of the U.S. Public Health Service (USPHS). It is not necessary for the employee to be vaccinated if the employee has previously had the vaccine or an antibody testing which shows the employee to have sufficient immunity. An employee with occupational exposure to blood or other potentially infectious materials at risk of acquiring Hepatitis B may decline the vaccination and choose to have the vaccination series at no charge in the future should the 12 COMMUNICABLE DISEASES POLICY employee reconsider his/her declination. Any employee making a declination is to complete a Hepatitis B Vaccine Declination form. DISCUSSION: Training about bloodborne pathogens is necessary to prevent the development of an atmosphere of fear and hysteria in the work place and to reduce anxiety and uncertainty about such diseases as AIDS. In addition, all County employees need to be aware of the County policies. Elements of the training will be determined by the Coordinator/Human Resources Director, the Public Health Director, and others as deemed necessary by the Coordinator/Human Resources Director. Personal protective equipment must be chosen based on the anticipated exposure to blood or other potentially infectious materials. The protective equipment shall be considered appropriate only if it does not permit blood or other potentially infectious materials to pass through or reach the employees' clothing, skin, eyes, mouth, or through or reach the employees' clothing, skin, eyes, mouth, or other mucous membranes under normal conditions of use and for the duration of time which the protective equipment will be used. Personal protective equipment must be cleaned, laundered, and disposed of by the employer at no cost to employees. All repairs and replacements must be made by the employer at no cost to employees. In addition to the Human Resources and Public Health Departments, employees may contact the following organizations or support groups for information: 1. 2. 3. 4. 5. 6. Minnesota AIDS Hotline: 1-800-752-4281 TDD Minnesota AIDS Project-AIDS Line: 1-800-248-2437 Duluth Community Health Center: 218/722-1497 Red Door Clinic, Mpls: 612/347-3302 Room 111 Clinic, St. Paul: 612/292-7752 Hospice: 218/327-2851 13 EXHIBIT A LAWS AND GUIDELINES RELEVANT TO ITASCA COUNTY AND AIDS Federal Rehabilitation Act of 1973, Sec. 504, prohibits discrimination based on disability or handicap or perception of disability. Minnesota Human Rights Act Constitutional provisions regarding search and seizure and invasion of privacy; applicable to testing and obtaining or disclosing information. Workers Compensation Legislation AFL-CIO Guidelines Labor Contract Provisions Centers for Disease Control Guidelines; relating to reasonableness standards. National Labor Relations Act; Arbitration. Data Privacy Statute Minnesota Right to Know Law I:\USERS\CHR\wpdata\Itcopol new\communic.doc 11/01/96 14