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Bloodborne Pathogens: Implications for Health Care Industry Representatives (A Continuing Education Self-Study Activity) BLOODBORNE PATHOGENS A Continuing Education Activity Sponsored By TO PARTICIPATE IN THIS ACTIVITY: 1. Review the introduction containing the overview, course objectives, target audience, accreditation/credit information and disclosures. 2. Study the education content. 3. Answer the Test Questions. 4. Complete the evaluation. 5. Complete the registration form. 6. View/print certificate of completion. CONTACT INFORMATION: 2101 S. Blackhawk Street, Suite 220 Aurora, CO 80014-1475 Phone: 720-748-6144 Fax: 720-748-6196 Website: www.pfiedlerenterprises.com © Pfiedler Enterprises - all rights reserved 2008 BLOODBORNE PATHOGENS: IMPLICATIONS FOR HEALTH CARE INDUSTRY REPRESENTATIVES A Continuing Education Self-Study Activity Course Syllabus OVERVIEW This self-study activity has been developed specifically for the Health Care Industry Representative who shares the responsibility for protecting themselves from disease transmission through contact with bloodborne pathogens. Content will cover the risks of exposure and the factors determining exposure. A section reviews regulations such as the OSHA protective standards, Needle Stick Safety and Prevention Act (NSPA), as well as guidelines put forth by the AORN and ACS related to the role of the Health Care Industry Representative in the perioperative setting. Two scenarios are included that drive home the rationale for protection and your role in the perioperative setting. A glossary of terms and suggested reading provide additional information and resources. OBJECTIVES Upon completion of this self-study activity, the participant should be able to: 1. Identify the factors that affect the risk for occupational exposure to bloodborne pathogens. 2. Describe the provisions in the Bloodborne Pathogens Standard that are applicable to the Health Care Industry Representative. 3. Outline why education and training in infectious diseases and bloodborne pathogens are important as presented in the AORN and ACS recommendations. 4. Explain what you, the Health Care Industry Representative, would do after reading the two case scenarios. INTENDED AUDIENCE: This activity is for the Health Care Industry Representative who has a need for information related to the risks associated with exposure to bloodborne pathogens. CREDIT/CREDIT INFORMATION: Pfiedler Enterprises has been approved as an Authorized Provider by the International Association for Continuing Education and Training (IACET), 8405 Greensboro Drive, Suite 800, McLean , VA 22102 . 1 IACET STATEMENT: Pfiedler Enterprises has been accredited as an Authorized Provider by the International Association for Continuing Education and Training (IACET), 1760 Old Meadow Road, Suite 500, McLean, VA 22102. CEU STATEMENT: As an IACET Authorized Provider, Pfiedler Enterprises offers CEUs for its programs that qualify under ANSI/IACET Standard. Pfiedler Enterprises is authorized by IACET to offer 0.1 CEU(s) (1 contact hour) for this program. RELEASE DATE This self-study was released October 2008, Reviewed in October 2010 and can be used for a period of two years. After October 2012 it can no longer be used unless it is updated and contains a new release date. EXPIRATION DATE: This continuing education activity was planned and provided in accordance with IACET criteria. This material was originally produced in October 2008, reviewed in October 2010 and can no longer be used after October 2012 without being updated; therefore, this continuing education activity expires October 31, 2012. COPYRIGHT: This self-study activity was developed, funded and copyright protected by Pfiedler Enterprises. Inc. DISCLAIMER: Pfiedler Enterprises does not endorse or promote any commercial product that may be discussed in this activity. PLANNING COMMITTEE: Judith Pfister, RN, BSN, MBA Program Coordinator Pfiedler Enterprises Aurora, Colorado Rose Moss, RN, MN, CNOR Nurse Consultant Del Norte, Colorado EXPERT REVIEWER: Julia A. Kneedler, RN, EdD Program Coordinator Pfiedler Enterprises 2 Aurora, Colorado DISCLOSURE STATEMENT The planners/writers and reviewers contributing to an educational activity sponsored by Pfiedler Enterprises are expected to disclose to the participants any real or apparent financial affiliations related to the content. Faculty Disclosure information: 1. Have you (or your spouse/partner) had any person financial relationship in the last 12 months with the manufacturer of the products or services that will be presented in this continuing education activity (planner) in your presentation (speaker/author)? 2. Type of affiliation/financial interest with the name of the corporate organization. 3. Will your presentation include discussion of any off-label or investigational drug or medical device? Judith I. Pfister, RN BSN, MBA 1. No 2. Not Applicable 3. No Rose Moss, RN, N, CNOR 1. No 2. Not Applicable 3. No Julia A. Kneedler, RN, MS, EdD 1. No 2. Not Applicable 3. No PRIVACY AND CONFIDENTIALITY POLICY Pfiedler Enterprises is committed to protecting your privacy and following industry best practices and regulations regarding continuing education. The information we collect is never shared with other organizations for commercial purposes. Our privacy and confidentiality polity covers the site www.pfiedlerenterprises.com and is effective on March 27, 2008. To directly access more information on our Policy and Confidentiality Policy, type the following URL address into your browse: http://www.pfiedlerenterprises.com/Privacypolicy. pdf or View the Privacy and Confidentiality Policy using the following link: http://www. pfiedlerenterprises.com/online_courses.htm In addition to this privacy statement, this Website is compliant with the guidelines for internet-based continuing education programs. The privacy policy of this Website is strictly enforced. 3 CONTACT INFORMATION If site users have any questions or suggestions regarding our privacy policy, please contact us at: Phone: 720-748-6144 Email: [email protected] Postal Address: 2101 S. Blackhawk Street, Suite 220 Aurora, Colorado 80014 Website URL: http://www.pfiedlerenterprises.com CONTINUING EDUCATION INSTRUCTIONS This educational activity is intended for use as a stand alone self-study activity. We suggest you take the following steps for successful completion: 1. Read the overview and objectives to ensure consistency with your own learning needs and objectives. 2. Review the content of the self-study activity, paying particular attention to those areas that reflect the objectives. 3. Consult a dictionary for definitions of unfamiliar words. 4. Complete the Test Questions and compare your responses with the answers provided. 5. For additional information on an issue or topic, consult the references. 6. To receive credit for this activity complete the evaluation and registration form. 7. A certificate of completion will be available for you to print at the conclusion. Pfiedler Enterprises will maintain a record of your continuing education credits and provide verification, if necessary, for 7 years. If you have any questions, please call: 720-748-6144. 4 BLOODBORNE PATHOGENS: IMPLICATIONS FOR HEALTH CARE INDUSTRY REPRESENTATIVES The Reality Blood and other potentially infectious materials (OPIM) have long been recognized as a potential threat to the health of employees who are exposed to them. Today, health care workers are faced with additional challenges presented by newly recognized pathogenic organisms, as well as those that have become resistant to treatment modalities. These issues are especially significant for personnel working in the operating room (OR) or other invasive procedure area. Healthcare industry representatives share the responsibility of protecting themselves from disease transmission through contact with bloodborne pathogens. According to the statistics for 1997-1998 from the Centers for Disease Control and Prevention (CDC), there were 384,325 percutaneous (needlestick and other sharps) injuries in the hospital setting.1 For OR personnel, the statistics are remarkable. The skin or mucous membranes of OR personnel may have contact with patient’s blood in as many as 50% of operations.2 Cuts or needlesticks may occur in as many as 15% of surgical procedures.3,4 But over half (57%) of percutaneous injuries due to a sharp go unreported.5 Among OR personnel, the distribution of needlestick exposure is as follows:6 Job Category • Surgeons59.1% • Scrub Nurses • Anesthesiologist • Circulators 6.0% • Medical Students 3.1% • Attendants 0.8% • Other 5.7% Total Needlestick Exposure (%) 19.1% 6.2% The Risks7 Occupational exposure to blood and OPIM places one at risk of infection from bloodborne pathogens such as Hepatitis B Virus (HBV), Hepatitis C Virus (HCV) and Human Immunodeficiency Virus (HIV) while performing surgery and other procedurerelated tasks. Exposures occur through: • Needlesticks or cuts from other sharps or instruments contaminated with an infected patient’s blood; or • Eye, nose, mouth, or skin contact with the patient’s blood. 5 Various factors affect the overall risk for occupational exposures to bloodborne pathogens, including the number of infected individuals in the patient population as well as the type and number of blood contacts. Most exposures do not result in an infection. After a specific exposure incident, the risk of infection is variable, based upon the following factors: • • • • The type of exposure The amount of blood in the exposure The pathogen involved The amount of virus in the patient’s blood at the time of exposure HBV The annual number of occupational HBV infections has decreased 95% since the hepatitis B vaccine became available in 1982 (from > 10,000 in 1982 to < 400 in 2001). Healthcare workers who received the hepatitis B vaccine and have developed immunity to the virus are practically at no risk for infection. For a person who is susceptible, the risk from a single needlestick or cut exposure to HBV-infected blood ranges from 6 – 30% and is dependent upon the hepatitis B e-antigen (HBeAg) status of the source individual. Hepatitis B surface antigen (HBsAg)-positive persons who are HBeAg positive have more virus in their blood than those who are HBeAg negative. While the risk for HBV infection from exposures of mucous membranes or nonintact skin exists, there is no known risk for HBV infection from exposure to intact skin. HCV The risk for infection after a needlestick or sharp exposure to HCV-infected blood is approximately 1.8%. The risk after a blood exposure to the eye, nose, or mouth is unknown, but is thought to be very small; however, HCV infection from a blood splash to the eye has been reported. HCV transmission resulting from exposure to nonintact skin has been reported, but there is no known risk from exposure to intact skin. No exact estimates exist on the number of healthcare personnel who are occupationally infected with HCV. Studies have shown that 1% of hospital healthcare workers have evidence of HCV infection (approximately 3% of the U.S. population has evidence of infection); the number of these workers who may have been infected through occupational exposure is unknown. HIV The average risk of HIV infection following a needlestick or sharp exposure to HIVinfected blood is 0.3% (about 1 in 300); alternatively stated, 99.7% of needlestick or cut exposures do not lead to infection. The risk following exposure of the eye, nose, or mouth to HIV-infected blood is estimated to be 0.1% (1 in 1,000). The risk following exposure of nonintact skin to HIV-infected blood is estimated to be less than 0.1%; a small amount of blood on intact skin most likely poses no risk at all. There have been no documented cases of HIV transmission due to an exposure involving a small amount of blood on intact skin (i.e., a few drops of blood on skin for a short period of time). 6 The CDC had received reports (as of December, 2001) of 57 documented cases and 138 possible cases of occupationally–acquired HIV infection among healthcare workers in the U.S. since reporting began in 1985. The Regulations Federal Regulations: Bloodborne Pathogens Standard The Occupational Safety and Health Administration (OSHA) is the federal agency responsible for protecting the health of America’s workers. In support of this mission, OSHA establishes protective standards, enforces those standards, and reaches out to employers and employees through technical assistance as well as consultation programs. OSHA addressed healthcare worker protection from bloodborne pathogens by issuing its final rule, the Bloodborne Pathogens Standard, which took effect March 6, 1992; a synopsis of the provisions applicable to the health care industry representative are outlined as follows:8 1. Exposure Control Plan: Each employer having an employee(s) with occupational exposure shall establish a written Exposure Control Plan designed to eliminate or minimize employee exposure. The Plan shall contain at least the following elements: a. The exposure determination; b. The schedule and method of implementation; and c. The procedure for the evaluation of circumstances surrounding exposure incidents. 2. Exposure Determination: Each employer who has an employee(s) with occupational exposure shall prepare an exposure determination. This exposure determination shall contain the following elements (and shall be made without regard to the use of personal protective equipment [PPE]): a. A list of all job classifications in which all employees in those job classifications have occupational exposure; b. A list of job classifications in which some employees have occupational exposure, and c. A list of all tasks and procedures or groups of closely related task and procedures in which occupational exposure occurs. 3. Methods of Compliance: Universal precautions shall be observed to prevent contact with blood or other potentially infectious materials. Under circumstances in which differentiation between body fluid types is difficult or impossible, all body fluids shall be considered potentially infectious materials. 7 4. Engineering and Work Practice Controls: Engineering and work practice controls shall be used to eliminate or minimize employee exposure. Where occupational exposure remains after institution of these controls, personal protective equipment shall also be used. a. Employers shall provide handwashing facilities which are readily accessible to employees. b. Contaminated needles and other contaminated sharps shall not be bent, recapped or removed unless the employer can demonstrate that no alternative is feasible or that such action is required by a specific medical or dental procedure. c. Immediately or as soon as possible after use, contaminated reusable sharps shall be placed in appropriate containers until properly reprocessed. d. Eating, drinking, smoking, applying cosmetics or lip balm, and handling contact lenses are prohibited in work areas where there is a reasonable likelihood of occupational exposure. e. Food and drink shall not be kept in refrigerators, freezers, shelves, cabinets or on countertops or benchtops where blood or other potentially infectious materials are present. f. All procedures involving blood or other potentially infectious materials shall be performed in such a manner as to minimize splashing, spraying, spattering, and generation of droplets of these substances. 5. Personal Protective Equipment (PPE): a.Provision. When there is occupational exposure, the employer shall provide, at no cost to the employee, appropriate personal protective equipment such as, but not limited to, gloves, gowns, laboratory coats, face shields or masks and eye protection, and mouthpieces, resuscitation bags, pocket masks, or other ventilation devices. Personal protective equipment will be considered “appropriate” only if it does not permit blood or other potentially infectious materials to pass through to or reach the employee’s work clothes, street clothes, undergarments, 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. b.Use. The employer shall ensure that the employee uses appropriate personal protective equipment unless the employer shows that the employee temporarily and briefly declined to use personal protective equipment when, under rare and extraordinary circumstances, it was the employee’s professional judgment that in the specific instance, its use would have prevented the delivery of health care or public safety services or would have posed an increased hazard to the safety of the worker or co-worker. c.Accessibility. The employer shall ensure that appropriate personal protective equipment in the appropriate sizes is readily accessible at the worksite or is issued to employees. Hypoallergenic gloves, glove liners, powderless gloves, or other similar alternatives shall be readily accessible to those employees who are allergic to the gloves normally provided. 8 d. Cleaning, Laundering, and Disposal. The employer shall clean, launder, and dispose of personal protective equipment at no cost to the employee. e. Repair and Replacement. The employer shall repair or replace personal protective equipment as needed to maintain its effectiveness, at no cost to the employee. If a garment(s) is penetrated by blood or other potentially infectious materials, the garment(s) shall be removed immediately or as soon as feasible. All personal protective equipment shall be removed prior to leaving the work area. When personal protective equipment is removed, it shall be placed in an appropriately designated area or container for storage, washing, decontamination or disposal. f.Gloves. Gloves shall be worn when it can be reasonably anticipated that the employee may have hand contact with blood, other potentially infectious materials, mucous membranes, and non-intact skin. g. Masks, Eye Protection, and Face Shields. Masks in combination with eye protection devices, such as goggles or glasses with solid side shields, or chinlength face shields, shall be worn whenever splashes, spray, spatter, or droplets of blood or other potentially infectious materials may be generated and eye, nose, or mouth contamination can be reasonably anticipated. h. Gowns, Aprons, and Other Protective Body Clothing. Appropriate protective clothing such as, but not limited to, gowns, aprons, lab coats, clinic jackets, or similar outer garments shall be worn in occupational exposure situations. The type and characteristics will depend upon the task and degree of exposure anticipated. Surgical caps or hoods and/or shoe covers or boots shall be worn in instances when gross contamination can reasonably be anticipated (e.g., orthopaedic surgery). 6. Housekeeping: Employers shall ensure that the worksite is maintained in a clean and sanitary condition. The employer shall determine and implement an appropriate written schedule for cleaning and method of decontamination based upon the location within the facility, type of surface to be cleaned, type of soil present, and tasks or procedures being performed in the area. All equipment and environmental and working surfaces shall be cleaned and decontaminated after contact with blood or other potentially infectious materials. Contaminated work surfaces shall be decontaminated with an appropriate disinfectant after completion of procedures; immediately or as soon as feasible when surfaces are overtly contaminated or after any spill of blood or other potentially infectious materials; and at the end of the work shift if the surface may have become contaminated since the last cleaning. 7. Other Regulated Waste Containment: Regulated waste shall be placed in containers which are closable; constructed to contain all contents and prevent leakage of fluids during handling, storage, transport or shipping; labeled or color-coded as noted below; closed prior to removal to prevent spillage or protrusion of contents during handling, storage, transport, or shipping. 9 8. Communication of Hazards to Employees: Labels - Warning labels shall be affixed to containers of regulated waste, refrigerators and freezers containing blood or other potentially infectious material; and other containers used to store, transport or ship blood or other potentially infectious materials Labels required by this section shall include the following legend: These labels shall be fluorescent orange or orange-red or predominantly so, with lettering and symbols in a contrasting color. Labels shall be affixed as close as feasible to the container by string, wire, adhesive, or other method that prevents their loss or unintentional removal. 9. Information and Training: Employers shall ensure that all employees with occupational exposure participate in a training program which must be provided at no cost to the employee and during working hours. Annual training for all employees shall be provided within one year of their previous training. Employers shall provide additional training when changes such as modification of tasks or procedures or institution of new tasks or procedures affect the employee’s occupational exposure. The additional training may be limited to addressing the new exposures created. 10. Hepatitis B Vaccination: Hepatitis B vaccination shall be made available after the employee has received the training required and within 10 working days of initial assignment to all employees who have occupational exposure, unless the employee has previously received the complete hepatitis B vaccination series, antibody testing has revealed that the employee is immune, or the vaccine is contraindicated for medical reasons. The employer shall not make participation in a prescreening program a prerequisite for receiving hepatitis B vaccination. If the employee initially declines hepatitis B vaccination, but at a later date while still covered under the standard, decides to accept the vaccination, the employer shall make available hepatitis B vaccination at that time. The employer shall assure that employees who decline to accept hepatitis B vaccination offered by the employer sign the required statement. 10 11. Post-exposure Evaluation and Follow-up. Following a report of an exposure incident, the employer shall make a confidential medical evaluation and follow-up immediately available to the exposed employee. Federal Regulations: Needlestick Safety and Prevention Act After implementation of the original Bloodborne Pathogens Standard, healthcare workers continued to be at risk of contracting bloodborne diseases through percutaneous injury with contaminated needles and other sharps. To address these issues, HR 5178, the Needlestick Safety and Prevention Act (NSPA), was signed into law on November 6, 2000, which required that OSHA make specific changes in the Bloodborne Pathogens Standard, including:9 1. Expansion of the definition of engineering controls to include “needleless systems” and “sharps with engineered sharps injury protections.” 2. Documentation in employers’ Exposure Control Plans of consideration and implementation of appropriate commercially available and effective “safer medical devices” designed to eliminate or minimize occupational exposure to bloodborne pathogens 3. Solicitation of input from non-managerial employees responsible for direct patient care, who are potentially exposed to injuries from contaminated sharps in the identification, evaluation, and selection of effective engineering and work practice controls. Professional Association Guidelines and Recommended Practices Both the Association of periOperative Registered Nurses (AORN) and the American College of Surgeons (ACS) have published guidelines, statements, and recommended practices regarding the healthcare industry representative’s presence in the OR or invasive procedure area that incorporate knowledge of the OSHA Bloodborne Pathogens Standard, as well as practices to protect patients and health care workers from transmission of potentially infectious agents. AORN Guidance Statement: The Role of the Health Care Industry Representative in the Perioperative Setting10 A health care industry representative may be present during a surgical procedure under the conditions outlined by the health care organization, in compliance with local, state, and federal regulations, and also in accordance with accreditation requirements. Every facility should develop a system which documents that the health care industry representative has completed instruction in the principles of asepsis, fire and safety protocols, infection control practices, bloodborne pathogens, and patients’ rights. Based on the community standards, this may range from maintaining current documentation supplied by the representative’s employer to providing facility-specific training. The health care industry representative must be aware of and follow the regulations of the federal Health Insurance Portability and Accountability Act (HIPAA) and the Bloodborne Pathogens Standard. 11 ACS Statements of the College: Statement on Health Care Industry Representatives in the Operating Room11 The ACS also recognizes that healthcare industry representatives provide technical assistance to the surgical team. The purpose of this statement is to supply guidelines to health care facilities and members of the perioperative health care team to ensure an optimal surgical outcome, as well as the patient’s safety, right to privacy, and confidentiality when a health care industry representative is present during a surgical procedure. The statement also outlines that facility requirements and procedures for industry representatives to be present in the OR should include education and training in infectious disease and blood borne pathogens. AORN: Recommended Practices for Prevention of Transmissible Infections in the Perioperative Practice Setting12 The intent of these recommended practices is to protect both patients and health care workers from potentially infectious agent transmission in today’s rapidly changing health care environment. Selected recommendations are summarized as follows: • Recommendation I – Healthcare workers should use standard precautions when caring for all patients in the perioperative setting. o Standard precautions should be applied across all aspects of health care delivery; at a minimum, standard precautions should be used for all surgical patients. o Standard precautions apply to exposure of the potential for exposure to blood and all body fluid secretions and excretions (except perspiration) whether or not they contain visible blood; nonintact skin; and mucous membranes. • Recommendation II – Hand hygiene should be performed before and after each patient contact. o Hand hygiene should be performed with an appropriate alcohol-based hand antiseptic: At the beginning of a work shift; Before and after patient contact; After removing gloves; Before and after eating; Any time there is a possibility that there has been contact with blood or OPIM; and Any time when hands may have been soiled or any time the practitioner believes his or her hands may have been soiled. 12 • Recommendation III – Protective barriers must be used to reduce the risk of skin and mucous membrane exposure to potentially infectious materials. o Personal protective barriers are required when it can be reasonably anticipated that a health care worker will be exposed to blood and body fluids or OPIM. Protective barriers include: Gloves; Masks; Protective eye wear; and Fluid-resistant attire. • Recommendation IV – Health care practitioners should double-glove during invasive procedures. • Recommendation V – Contact precautions should be used when providing care for patients who are known or suspected to be infected or colonized with microorganisms that are transmitted by direct or indirect contact with patients or items and surfaces in patients’ environments (e.g., herpes simplex, impetigo, infectious diarrhea, smallpox, methicillin-resistant Staphylococcus aureus [MRSA], and vancomycin-resistant enterococci [VRE]). o Contact precautions include several of the same elements found in standard precautions, including: Wearing gloves when caring for patients or coming in contact with items that may contain high concentrations of microorganisms (e.g., fecal material, blood, wound drainage); gloves should be changed after contact with body fluids; Wearing gowns when it is anticipated that clothing will have contact with infectious patients or items in the patients’ environment; Wearing a mask when it is anticipated that aerosolized exposure to infectious microorganisms is possible; Using face protection (e.g., goggles, face shield) when it is anticipated that splash or sneezing exposure to microorganisms is possible; Ensuring that precautions are maintained during transport; and Adequately cleaning and disinfecting patient care equipment and items before use with each patient. 13 • Recommendation VI – Droplet precautions should be used when caring for patients who are known or suspected to be infected with microorganisms that can be transmitted by infectious large particle droplets (i.e., larger than 5 microns in size) and generally travel short distances of three feet or less (e.g., diphtheria, pertussis, influenza, mumps, pneumonic plague). o Droplet precautions include: Wearing a mask when within three feet of infectious patients; Positioning patients at a distance of at least three feet from other patients; and Placing surgical masks on patients during transport. • Recommendation VII – Airborne precautions should be used when caring for patients who are known or suspected to be infected with microorganisms that can be transmitted by the airborne route (e.g., rubeola, varicella, tuberculosis [TB], and smallpox). o Airborne precautions include: Wearing a National Institute of Occupational Safety and Health (NIOSH)- approved N95 mask; Placing surgical masks on patients during transport; Airborne isolation rooms with special air handling; and Ventilation for areas outside the surgical suite. • Recommendation VIII – Health care workers should be immunized against epidemiologically important agents according to CDC recommendations. o All health care workers must receive HBV immunizations unless medically contraindicated. o Health care workers should be immunized against other communicable and infectious agents. • Recommendation IX – Work practices must be designed to minimize risk of exposure to pathogens. o Activities involving hand-to-hand, hand-to-skin, hand-to-nose, handto-mouth, or hand-to-eye action can contribute to direct or indirect transmission via inanimate surfaces and should be prohibited in the work area; these activities include, but are not limited to: Eating; Drinking; Smoking; Applying cosmetics or lip balm; and Handling contact lenses. 14 o Food and drink should not be stored where the potential for exposure to blood or OPIM could occur (e.g., refrigerators, shelves, countertops, cabinets). o Food and drink should not be present in the restricted and semirestricted areas of the surgical suite. • Recommendation X – Personnel must take precautions to prevent injuries caused by needles, scalpels, and other sharp instruments. o Sharps with engineering controls must be used when deemed applicable. o Work practice controls must be in place to minimize health care worker exposure when handling sharps. o All sharps must be handled, removed, and disposed of properly. o Reusable sharps must be handled, removed, and sequestered at the end of the procedure in a labeled, puncture-resistant, closed transportation container. • Recommendation XI – Activities of personnel with infections, exudative lesions, nonintact skin, and/or bloodborne diseases should be restricted when these activities pose a risk of transmission of infection to patients and other health care workers. Identification, evaluation by a physician, and assessment of fitness for work performance in the perioperative setting should be required. o Health care workers infected with a bloodborne disease (e.g., HIV, HBV, HCV) should use measures to protect themselves and others. o Health care workers who have exudative lesions or weeping dermatitis should refrain from providing direct patient care or handling medical devices used in performing invasive procedures. The Bottom Line As a health care industry representative, you provide vital services (e.g., instruction, training, technical assistance) to the staff in the OR and invasive procedure areas for the provision of safe and effective patient care. You share the responsibility with health care workers to protect both yourselves and the patients from the transmission of potentially infectious agents in the perioperative/invasive procedure settings via exposure to blood or OPIM. Through knowledge of and adherence to the OSHA Bloodborne Pathogens Standard, as well as professional association recommendations, you can safeguard your own health, as well as that of others. 15 SCENARIOS The scenarios presented below will provide an opportunity for you to synthesize the information you have just learned about blood borne pathogens and apply it to situations you may encounter. Scenario # 1 – PPE Ms. EF is a new representative for a company that manufactures gastrointestinal (GI) endoscopes. She has completed her company’s comprehensive sales training program, including a review of the OSHA Bloodborne Pathogens Standard. She is visiting one of her facilities to discuss scope repair issues and loaners with the OR Director. As she is waiting to talk with the Director, she is observing in the scope processing area and discussing some of the issues with the technician, Ms. RD, who is assigned in the scope room today. As she is cleaning the scopes, she notices that Ms. RD is not wearing a mask, protective eyewear, or any type of gown. On the counter next to the automated endoscope reprocessor, there is a cup of coffee and a sweet roll. Ms. EF asks Ms. RD about the food and lack of PPE; she replies, “We’re careful in here; we’ve never had any problems.” When Ms. EF talks to the OR Director later that morning, she mentions her concerns about the practices she observed. The OR Director replies, “Yes, I know that goes on – Ms. RD is bad about using PPE.” Points to Consider: • What are the major violations in this scenario? • Was Ms. EF right in mentioning her observations to the OR Director? • What are the implications of these practices? Discussion of Points to Consider: • Ms. RD is not wearing appropriate PPE (e.g., gloves, gowns, face shields or masks and eye protection) while performing a task in which there is a potential for occupational exposure; the OR Director (the employer) is not ensuring that Ms. RD is using appropriate PPE. • Yes. • The practices violate the OSHA Bloodborne Pathogens Standard (a federal regulation); they also increase the risk for an potential exposure incident for Ms. RD. 16 Scenario # 2 – The Instrument Trays Mr. GR is an orthopaedic device manufacturer representative. Mr. GR has just finished providing technical support for two total hip arthroplasty procedures and is on his way to Central Processing to check on the status of the instrument trays that he must take with him for surgery at another facility tomorrow. On his way, Ms. HB, the Lead Central Processing Technician, approaches him in a panic and tells him that they will not be able to process the trays right away, since one of the washer-sterilizers went down and a load is already running in the other. Mr. GR cannot wait for the trays to be processed, as he has a 3 hour drive to the next facility, where he is scheduled to do an inservice for the afternoon staff. He tells Ms. HB that he will just take the trays, without being processed. Points to Consider: • What are the exposure implications of transporting contaminated instruments? • What must Mr. GR do to properly prepare the trays for transport? Discussion of Points to Consider: • The instrument trays are considered contaminated and thus pose a risk for an exposure incident to blood and OPIM. • The OSHA Bloodborne Pathogen Standard requires that contaminated instruments be contained in leak-proof containers that are closable and constructed to contain all contents; the containers must be labeled with the required Biohazard label (below), affixed as close as feasible to the container by a method that prevents its loss or unintentional removal. Care must also be taken to avoid contaminating the outside of the transport container. Upon arrival to the next facility, Mr. GR should inform the Central Processing staff of the contamination status of the trays (in addition to the communication via the labels) so that they can handle them properly and avoid an exposure incident. 17 GLOSSARY Airborne Precautions Precautions that reduce the risk of an airborne transmission of infectious airborne droplet nuclei (i.e., small particle residue 5 microns or smaller. Aerosolization The production of an aerosol: a fine mist or spray containing minute particles Blood Human blood, human blood components, and products made from human blood Bloodborne PathogensPathogenic microorganisms that are present in human blood and can cause disease in humans. These pathogens include, but are not limited to, hepatitis B virus (HBV) and human immunodeficiency virus (HIV). Contact Precautions Precautions designed to reduce the risk of transmission of epidemiologically important microorganism by direct or indirect contact. Contaminated The presence or the reasonably anticipated presence of blood or other potentially infectious materials on an item or surface. Direct Contact Person-to-person contact resulting in physical transfer of infectious microorganism between an infected or colonized person and a susceptible host. Droplet Precautions Precautions that reduce the risk of large particle droplet (i.e., 5 microns or larger) transmission of infectious agents. Engineering Controls Controls (e.g., sharps disposal containers, safer medical devices, such as sharps with engineered sharps injury protections and needleless systems) that isolate or remove the bloodborne pathogens hazard from the workplace. Exposure Incident A specific eye, mouth, other mucous membrane, non-intact skin, or parenteral contact with blood or other potentially infectious materials that results from the performance of an employee’s duties. 18 Indirect Contact Contact of a susceptible host to a contaminated object (e.g., instruments, bed rails, linens, equipment). Needleless systems Devices that do not use needles for: • The collection of bodily fluids or withdrawal of body fluids after initial venous or arterial access is established; • The administration of medication or fluids; or • Any other procedure involving the potential for occupational exposure to bloodborne pathogens due to percutaneous injuries from contaminated sharps. Needlestick Injury A penetrating stab wound from a needle (or other sharp object) that may result in exposure to blood or other body fluids. Occupational Exposure Reasonably anticipated skin, eye, mucous membrane, or parenteral contact with blood or other potentially infectious materials that may result from the performance of an employee’s duties. Other Potentially Infectious • The following human body fluids: Materials (OPIM) semen, vaginal secretions, cerebrospinal fluid, synovial fluid, pleural fluid, pericardial fluid, peritoneal fluid, amniotic fluid, saliva in dental procedures, any body fluid that is visibly contaminated with blood, and all body fluids in situations where it is difficult or impossible to differentiate between body fluids; • Any unfixed tissue or organ (other than intact skin) from a human (living or dead); and • HIV-containing cell or tissue cultures, organ cultures, and HIV- or HBV-containing culture medium or other solutions; and blood, organs, or other tissues from experimental animals infected with HIV or HBV. Parenteral Piercing mucous membranes or the skin barrier through such events as needlesticks, human bites, cuts, and abrasions. 19 Personal Protective Equipment (PPE) Specialized clothing or equipment worn by an employee for protection against a hazard. General work clothes (e.g., uniforms, pants, shirts or blouses) not intended to function as protection against a hazard are not considered to be personal protective equipment. Sharps with Engineered Sharps Nonneedle sharps or needle devices used for Injury Protections withdrawing body fluids, accessing a vein or artery, or administering medications or other fluids, with a built-in safety feature or mechanism that effectively reduces the risk of an exposure incident. Standard Precautions The primary strategy for successful infection control and reduction of worker exposure. Precautions used for care of all patients, regardless of their diagnosis or presumed infectious status. Transmission-based Precautions Second tier of precautions designed to be used with patients known or suspected to be infected or colonized with highly transmissible or epidemiologically important pathogens for which additional precautions are needed to prevent transmission in the practice setting. Work Practice Controls Controls that reduce the likelihood of exposure by altering the manner in which a task is performed (e.g., prohibiting recapping of needles by a twohanded technique). 20 REFERENCES 1. CDC. NIOSH Alert: Preventing Needle-stick Injuries in Health Care Settings. National Surveillance System for Hospital Healthcare Workers (NaSH). 2000. Available at: http://www.cdc.gov/niosh/2000-108.html. Accessed October 13, 2008. 2. Gerberding JL, Littell C, Tarkington A, et al. Risk of exposure of surgical personnel to patients’ blood during surgery at San Francisco General Hospital. N Engl J Med. 1990;322:1788-1793. 3. Quebbeman EJ, Telford GL, Hubbard S, et al. Risk of blood contamination and injury to operating room personnel. Ann Surg.1991; 214:614-620. 4. Gerberding JL, Littell C, Tarkington A, et al. Risk of exposure of surgical personnel to patients’ blood during surgery at San Francisco General Hospital. N Engl J Med. 1990; 322:1788-1793. 5. Quebbeman EJ, Telford GL, Hubbard S, et al. Risk of blood contamination and injury to operating room personnel. Ann Surg.1991; 214:614-620. 6. Perry J, Jagger J. Slash sharps risks for surgical personnel. OR Insider (supplement to Nurs Man). 2005;36 (11):28-29. 7. Centers for Disease Control and Prevention. Exposure to blood: What healthcare personnel need to know. Available at: http://www.cdc.gov/ncidod/dhqp/pdf/bbp/ exp_to_blood.pdf. Accessed October 13, 2008. 8. U.S. Department of Labor; Occupational Safety & Health Administration. Bloodborne pathogens – 1910.1030. Available at: http://www.osha.gov/pls/ oshaweb/owadisp.show_document?p_table=STANDARDS&p_id=10051. Accessed October 13, 2008. 9. Public Law 106-430. Needlestick Safety and Prevention Act. Available at: http://frwebgate.access.gpo.gov/cgi-bin/getdoc.cgi?dbname=106_cong_public_ laws&docid=f:publ430.106. Accessed October 13, 2008. 10. Association of periOperative Registered Nurses (AORN). AORN guidance statement: The role of the health care industry representative in the perioperative setting. Denver, CO: AORN, Inc.; 2008: 180-182. 11. American College of Surgeons (ACS). [ST-33] Statement on health care industry representatives in the operating room. Available at: http://www.facs.org/fellows_ info/statements/st-33.html. Accessed October 13, 2008. 12. Association of periOperative Registered Nurses (AORN). Recommended practices for the prevention of transmissible infections in the perioperative practice setting. Denver, CO: AORN, Inc.; 2008: 619-629. 21 Please close this window and return to the main page to proceed with taking the online test, evaluation and registration. 22