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John O.

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Author: COVID-19 NEWS

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CDC recommends wearing cloth face coverings as a protective measure in addition to social distancing (i.e., staying at least 6 feet away from others). Cloth face coverings may be especially important when social distancing is not possible or feasible based on working conditions. A cloth face covering may reduce the amount of large respiratory droplets that a person spreads when talking, sneezing, or coughing. Cloth face coverings may prevent people who do not know they have the virus that causes COVID-19 from spreading it to others. Cloth face coverings are intended to protect other people—not the wearer.
Cloth face coverings are not PPE. They are not appropriate substitutes for PPE such as respirators (like N95 respirators) or medical facemasks (like surgical masks) in workplaces where respirators or facemasks are recommended or required to protect the wearer.
While wearing cloth face coverings is a public health measure intended to reduce the spread of COVID-19 in communities, it may not be practical for workers to wear a single cloth face covering for the full duration of a work shift (e.g., eight or more hours) in a meat or poultry processing facility if they become wet, soiled, or otherwise visibly contaminated during the work shift. If cloth face coverings are worn in these facilities, employers should provide readily available clean cloth face coverings (or disposable facemask options) for workers to use when the coverings become wet, soiled, or otherwise visibly contaminated.
Employers who determine that cloth face coverings should be worn in the workplace, including to comply with state or local requirements for their use, should ensure the cloth face coverings:

fit over the nose and mouth and fit snugly but comfortably against the side of the face;
are secured with ties or ear loops;
include multiple layers of fabric;
allow for breathing without restriction;
can be laundered using the warmest appropriate water setting and machine dried daily after the shift, without damage or change to shape (a clean cloth face covering should be used each day);
are not used if they become wet or contaminated;
are replaced with clean replacements, provided by employer, as needed;
are handled as little as possible to prevent transferring infectious materials to the cloth; and
are not worn with or instead of respiratory protection when respirators are needed.

Educate and train workers and supervisors about how they can reduce the spread of COVID-19.Supplement workers’ normal and required job training (e.g., training required under OSHA standards) with additional training and information about COVID-19, recognizing signs and symptoms of infection, and ways to prevent exposure to the virus. Training should include information about how to implement the various infection prevention and control measures recommended here and included in any infection prevention and control or COVID-19 response plan that an employer develops. OSHA provides additional informationexternal icon about training on its COVID-19 webpage.
All communication and training should be easy to understand and should (1) be provided in languages appropriate to the preferred languages spoken or read by the workers, if possible; (2) be at the appropriate literacy level; and (3) include accurate and timely information about:

signs and symptoms of COVID-19, how it spreads, risks for workplace exposures, and how workers can protect themselves;
proper handwashing practices and use of hand sanitizer stations;
cough and sneeze etiquette; and
other routine infection control precautions (e.g., signs and symptoms of COVID-19, putting on or taking off masks or cloth face coverings and social distancing measures).

Employers should place simple posters in all of the languages that are common in the worker population that encourage staying home when sick, cough and sneeze etiquette, and proper hand hygiene practices. They should place these posters at the entrance to the workplace and in break areas, locker rooms, and other workplace areas where they are likely to be seen.

CDC has free, simple posters available to download and print, some of which are translated into different languages. The Stop the Spread of Germs poster pdf icon[441 KB, 1 Page] is available in Amharic pdf icon[444 KB, 1 Page], Arabic pdf icon[475 KB, 1 Page], Burmese pdf icon[459 KB, 1 Page], Dari pdf icon[493 KB, 1 Page], Farsi pdf icon[460 KB, 1 Page], French pdf icon[443 KB, 1 Page], Haitian Creole pdf icon[437 KB, 1 Page], Kinyarwanda pdf icon[435 KB, 1 Page], Karen pdf icon[807 KB, 1 Page], Korean pdf icon[511 KB, 1 Page], Nepali pdf icon[450 KB, 1 Page], Pashto pdf icon[478 KB, 1 Page], Portuguese pdf icon[438 KB, 1 Page], Russian pdf icon[443 KB, 1 Page], Simplified Chinese pdf icon[595 KB, 1 Page], Somali pdf icon[437 KB, 1 Page], Spanish pdf icon[438 KB, 1 Page], Swahili pdf icon[437 KB, 1 Page], Tigrinya pdf icon[420 KB, 1 Page], Ukrainian pdf icon[420 KB, 1 Page], and Vietnamese pdf icon[441 KB, 1 Page].

Employers should post signs that you can read from a far distance (or use portable, electronic reader boards) that inform visitors and workers of social distancing practices.
OSHA understands that some employers may face difficulties complying with certain OSHA standards due to the ongoing health emergency, including those standards that require certain types of worker training. OSHA is providing enforcement discretionexternal icon around completion of training and other provisions in its various standards. OSHA has instructed its Compliance Safety and Health Officers (CSHOs) to evaluate whether an employer has made a good faith effort to comply with applicable OSHA standards and, in situations where compliance was not possible given the ongoing pandemic, to ensure that employees were not exposed to hazards from tasks, processes, or equipment for which they were not prepared or trained.
Cleaning and disinfection in meat and poultry processing
For tool-intensive operations, employers should ensure tools are regularly cleaned and disinfected, including at least as often as workers change workstations or move to a new set of tools. Refer to List Nexternal icon on the EPA website for EPA-registered disinfectants that have qualified under EPA’s emerging viral pathogens program for use against SARS-CoV-2.
Establish protocols and provide supplies to increase the frequency of sanitization in work and common spaces. Disinfect frequently touched surfaces in workspaces and break rooms (e.g., microwave or refrigerator handles or vending machine touchpads) at least once per shift, if possible. For example, wipe down tools or other equipment at least as often as workers change workstations. Frequently clean push bars and handles on any doors that do not open automatically and handrails on stairs or along walkways. If physical barriers are being used, then these should be cleaned frequently.
Workers who perform cleaning and disinfection tasks may require additional PPE and other controls to protect them from chemical hazards posed by disinfectants. Note: Employers mustexternal icon ensure their written hazard communication program is up to date and training is up to date for all employees. (Also see OSHA’s enforcement discretion memorandumexternal icon on this topic.) Employers may need to adapt guidance from this section, the Environmental Services Workers and Employersexternal icon section, and the Interim Guidance for Workers and Employers of Workers at Increased Risk of Occupational Exposureexternal icon, to fully protect workers performing cleaning and disinfection activities in manufacturing workplaces.
Screening1 and monitoring workers
Workplaces, particularly in areas where community transmission of COVID-19 is occurring, should consider developing and implementing a comprehensive screening and monitoring strategy aimed at preventing the introduction of COVID-19 into the worksite. Consider a program of screening workers before entry into the workplace, criteria for return to work of exposed and recovered (those who have had signs or symptoms of COVID-19 but have gotten better), and criteria for exclusion of sick workers. This type of program should be coordinated to the extent possible with local public health authorities and could consist of the following activities:
Screening of workers for COVID-19
Screening meat and poultry processing workers for COVID-19 symptoms (such as temperature checks) is an optional strategy that employers may use. If implemented for all workers, policies and procedures for screening workers should be developed in consultation with state and local health officials and occupational medicine professionals. Options to screen workers for COVID-19 symptoms include:

Screen prior to entry into the facility.
Provide verbal screening in appropriate language(s) to determine whether workers have had a fever, felt feverish, or had chills, coughing, or difficulty breathing in the past 24 hours.
Check temperatures of workers at the start of each shift to identify anyone with a fever of 100.4℉ or greater (or reported feelings of feverishness). Ensure that screeners:

are trained to use temperature monitors and monitors are accurate under conditions of use (such as cold temperatures); and
wear appropriate PPE.

Do not let employees enter the workplace if they have a fever of 100.4℉ or greater (or reported feelings of feverishness), or if screening results indicate that the worker is suspected of having COVID-19.

Encourage workers to self-isolate and contact a healthcare provider;
Provide information on the facility’s return-to-work policies and procedures; and
Inform human resources, employer health unit (if in place), and supervisor (so worker can be moved off schedule during illness and a replacement can be assigned, if needed).

Ensure that personnel performing screening activities, including temperature checks, are appropriately protected from exposure to potentially infectious workers entering the facility:

Implement engineering controls, such as physical barriers or dividers or rope and stanchion systems, to maintain at least six feet of distance between screeners and workers being screened.
If screeners need to be within six feet of workers, provide them with appropriate PPE based on the repeated close contact the screeners have with other workers.

Such PPE may include gloves, a gown, a face shield, and, at a minimum, a face mask.
N95 filtering facepiece respirators (or more protective) may be appropriate for workers performing screening duties and necessary for workers managing a sick employee in the work environment (see below) if that employee has signs or symptoms of COVID-19. If respirators are needed, they must be used in the context of a comprehensive respiratory protection program that includes medical exams, fit testing, and training in accordance with OSHA’s Respiratory Protection standard (29 CFR 1910.134external icon).

Managing sick workers
Workers who appear to have symptoms (e.g., fever, cough, or shortness of breath) upon arrival at work or who become sick during the day should immediately be separated from others at the workplace and sent home.
Ensure that personnel managing sick employees are appropriately protected from exposure. When personnel need to be within six feet of a sick colleague, appropriate PPE may include gloves, a gown, a face shield and, at a minimum, a face mask. N95 filtering facepiece respirators (or more protective) may be appropriate for workers managing a sick employee if that employee has signs or symptoms of COVID-19. If respirators are needed, they must be used in the context of a comprehensive respiratory protection program that includes medical exams, fit testing, and training in accordance with OSHA’s Respiratory Protection standard (29 CFR 1910.134external icon).
If a worker is confirmed to have COVID-19, employers should inform anyone they have come into contact with (including fellow workers, inspectors, graders, etc.) of their possible exposure to COVID-19 in the workplace, but should maintain confidentiality as required by the Americans with Disabilities Act (ADA). The employer should instruct fellow workers about how to proceed based on the CDC Public Health Recommendations for Community-Related Exposure.
If a worker becomes or reports being sick, disinfect the workstation used and any tools handled by the symptomatic worker.
Employers should work with state, local, tribal, and/or territorial health officials to facilitate the identification of other exposed and potentially exposed individuals, such as coworkers in a plant.
On-site healthcare personnel, such as facility nurses or emergency medical technicians, should follow appropriate CDC and OSHA guidance for healthcare and emergency response personnel.
Addressing return to work

Critical infrastructure employers have an obligation to manage the continuation of work and return to work of their workers in ways that best protect the health of workers, their coworkers, and the general public. Employers should consider providing screening and ongoing medical monitoring of these workers, ensuring they wear an appropriate source control device in accordance with CDC and OSHA guidance, and implementing social distancing to minimize the chances of workers exposing one another.
Critical infrastructure employers should continue to minimize the number of workers present at worksites, balancing the need to protect workers with support for continuing critical operations.
Reintegration (bringing back) of exposed, asymptomatic workers to onsite operations should follow the CDC Critical Infrastructure Guidance. The guidance advises that employers may permit workers who have been exposed to COVID-19, but remain without symptoms, to continue to work, provided they adhere to additional safety precautions. This option should be used as a last resort and only in limited circumstances, such as when cessation of operation of a facility may cause serious harm or danger to public health or safety. Consultation with an occupational health provider and state and local health officials will help employers develop the most appropriate plan consistent with CDC guidance.
Reintegration of workers with COVID-19 (COVID-19 positive), including those workers who have remained asymptomatic, to onsite operations should follow the CDC interim guidance, “Discontinuation of Isolation for Persons with COVID-19 Not in Healthcare Settings.”

As employers move forward with continuing essential work, they should implement strategies to prioritize positions without which critical work would stop. This prioritization should include an analysis of work tasks, workforce availability at specific worksites, and assessment of hazards associated with the tasks and worksite. Employers may be able to cross-train workers to perform critical duties at a worksite to minimize the total number of workers needed to continue operations.
For workers who have had signs/symptoms of COVID-19
Workers with COVID-19 who have symptoms and have stayed home (home isolated) should not return to work until they have met the criteria to discontinue home isolation, and have consulted with their healthcare providers and state and local health departments.
The situation is constantly changing, so employers of critical infrastructure workers will need to continue to reassess the virus’s transmission levels in their area.
Personal protective equipment
Employers must conduct a hazard assessment to determine if hazards are present, or are likely to be present, for which workers need PPE. OSHA’s PPE standards (29 CFR 1910 Subpart Iexternal icon) require employers to select and provide appropriate PPE to protect workers from hazards identified in the hazard assessment. The results of that assessment will be the basis of workplace controls (including PPE) needed to protect workers.
Employers should:

Use videos or in-person visual demonstrations of proper PPE donning and doffing procedures. (Maintain social distancing during these demonstrations.)
Emphasize that care must be taken when putting on and taking off PPE to ensure that the worker or the item does not become contaminated.
Provide PPE that is either disposable (preferred) or, if reusable, ensure it is properly disinfected and stored in a clean location when not in use.
PPE worn at the facility should not be taken home or shared.

Face shields may serve as both PPE and source control:

If helmets are being used, use face shields designed to attach to helmets.
Face shields can provide additional protection from both potential process-related splashes and potential person-to-person droplet spread.

Safety glasses may fog up when used in combination with masks or cloth face coverings.
Only some face shields are acceptable substitutions for eye protection (such as safety glasses) that are used for impact protection; facilities should consult with an occupational safety and health professional concerning the use of face shields.

Face shields can help minimize contamination of masks and cloth face coverings.
If used, face shields should be cleaned and decontaminated after each shift, and when not in use they should be kept in a clean location at the work facility.
If used, face shields should also wrap around the sides of the wearer’s face and extend to below the chin.

Employers should stress hand hygiene before and after handling all PPE. Employers in meat and poultry processing industries should continue to stay up to date on the most current guidance concerning PPE.
As part of their hazard assessments, employers must always consider whether PPE is necessary to protect workers. Specifically, when engineering and administrative controls are difficult to maintain and there may be exposure to other workplace hazards, such as splashes or sprays of liquids on processing lines or disinfectants used for facility cleaning, PPE should be considered.
During the COVID-19 pandemic, meat and poultry processing employers should consider allowing voluntary use of filtering facepiece respirators (such as an N95, if available) for their workers, even if respirators are not normally required.
In addition to face shields as noted above, workers in meat and poultry processing facilities may need PPE such as gloves, face and eye protection, and other types of PPE when cleaning and disinfecting meat and poultry processing plants (including frequently touched surfaces), tools, and equipment.
When PPE is needed, employers should consider additional hazards created by poorly fitting PPE (e.g., mask ties that dangle or catch, PPE that is loose and requires frequent adjustment or tends to fall off) with respect to the work environment (e.g., machinery in which PPE could get caught).
Workers’ rights
Section 11(c)external icon of the Occupational Safety and Health Act of 1970external icon, 29 USC 660(c), prohibits employers from retaliating against workers for raising concerns about safety and health conditions. Additionally, OSHA’s Whistleblower Protection Programexternal icon enforces the provisions of more than 20 industry-specific federal laws protecting employees from retaliation for raising or reporting concerns about hazards or violations of various airline, commercial motor carrier, consumer product, environmental, financial reform, food safety, health insurance reform, motor vehicle safety, nuclear, pipeline, public transportation agency, railroad, maritime, securities, and tax laws. OSHA encourages workers who suffer such retaliation to submit a complaint to OSHAexternal icon as soon as possible in order to file their complaint within the legal time limits, some of which may be as short as 30 days from the date they learned of or experienced retaliation. An employee can file a complaint with OSHA by visiting or calling his or her local OSHA office; sending a written complaint via fax, mail, or email to the closest OSHA office; or filing a complaint online. No particular form is required, and complaints may be submitted in any language.
OSHA provides recommendations intended to assist employers in creating workplaces that are free of retaliation and guidance to employers on how to properly respond to workers who may complain about workplace hazards or potential violations of federal laws. OSHA urges employers to review its publication Recommended Practices for Anti-Retaliation Programsexternal icon.
1 Employers should evaluate the burdens and benefits of recording workers’ temperatures or asking them to complete written questionnaires. These types of written products become records that must be retained for the duration of the workers’ employment plus 30 years. See OSHA’s Access to Employee Exposure and Medical Records standard (29 CFR 1910.1020external icon).
Quick reference guides for meat and poultry processing facility employees and employers
CDC has also developed three one-page flyers with recommendations and strategies for preventing the spread of COVID-19 in meat and poultry processing facilities and when carpooling to and from work. These include:

The fliers are available in multiple languages.

What we are still learningScientists are still learning how well vaccines prevent you from spreading the virus. We’re also still learning how long COVID-19 vaccines protect people.
Although COVID-19 vaccines are effective at keeping you from getting sick, scientists are still learning how well vaccines prevent you from spreading the virus that causes COVID-19 to others, even if you do not have symptoms. Early data show that vaccines help keep people with no symptoms from spreading COVID-19, but we are learning more as more people get vaccinated.
We’re also still learning how long COVID-19 vaccines protect people.
For these reasons, people who have been fully vaccinated against COVID-19 should keep taking precautions until we know more, like wearing a mask in indoor public places, avoiding large indoor gatherings, and washing your hands often. Vaccinated people do not need to wear masks outside except in crowds.

Stay home if you are having symptoms of COVID-19.
Follow CDC recommended steps if you are sick.
Do not return to work until you meet the criteria to discontinue home isolation.

Talk with your healthcare provider about when it’s safe for you to return to work and coordinate with your employer.

Stay at least 6 feet away from customers and coworkers, when possible.

Request that passengers avoid standing or sitting within 6 feet of each other and the driver’s seat.

Masks are required on planes, buses, trains, and other forms of public transportation traveling into, within, or out of the United States and in U.S. transportation hubs such as airports and stations. Travelers are not required to wear a mask in outdoor areas of a conveyance (like on a ferry or the top deck of a bus). CDC recommends that travelers who are not fully vaccinated continue to wear a mask and maintain physical distance when traveling.

Wear a mask over your nose and mouth when in public settings. Face coverings or masks may prevent people who don’t know they have the virus from spreading it to others.
Be careful when putting on and taking off cloth face coverings or masks:

Wash your hands before putting on and after taking off the covering or mask.
Don’t touch your face covering or mask while wearing it.
Don’t touch your face, mouth, nose, or eyes while taking off the covering or mask.
Wash the covering or mask after each use.

Cloth face coverings or masks should not be worn if their use creates a new risk (for example, if they interfere with driving or vision, or contribute to heat-related illness) that exceeds their COVID-19 related benefits of slowing the spread of the virus. Cloth face coverings or masks should also not be worn by anyone who has trouble breathing or is unable to remove the covering or mask without assistance. CDC provides information on adaptations and alternatives that should be considered when cloth face coverings or masks may not be feasible.
Consider carrying a spare cloth face covering or mask.
If you are concerned about the use cloth face coverings or masks at your workplace, discuss them with your employer.

Be aware of contact with frequently touched surfaces.
Wash your hands regularly with soap and water for at least 20 seconds. You don’t need to wear gloves if you wash your hands regularly (unless they are already required for your job).

Use an alcohol-based hand sanitizer containing at least 60% alcohol if soap and water aren’t available.
Clean your hands at these key times:

Before, during, and after preparing food
Before eating food
After using the toilet
After blowing your nose, coughing, or sneezing
After putting on, touching, or removing cloth face coverings or masks
Before and after work and work breaks
After touching frequently touched surfaces, such as fareboxes and handrails
After assisting passengers with their belongings (e.g. wheelchairs, luggage, bags)
After assisting passengers boarding or exiting the vehicle

Do not touch your face, mouth, nose, or eyes.
Cover your coughs and sneezes.

Use tissues to cover your mouth and nose when you cough or sneeze.
Throw used tissues in the trash.
Wash your hands with soap and water for at least 20 seconds.

CDC Monitoring Reports of Myocarditis and PericarditisCDC has received increased reports of myocarditis and pericarditis in adolescents and young adults after COVID-19 vaccination. The known and potential benefits of COVID-19 vaccination outweigh the known and potential risks, including the possible risk of myocarditis or pericarditis. We continue to recommend COVID-19 vaccination for anyone 12 years of age and older.Learn When to Seek Medical Care

Cloth face coverings in manufacturing work
CDC recommends wearing cloth face coverings as a protective measure in addition to social distancing (i.e., staying at least 6 feet away from others). Cloth face coverings may be especially important when social distancing is not possible or feasible based on working conditions. A cloth face covering may reduce the amount of large respiratory droplets that a person spreads when talking, sneezing, or coughing. Cloth face coverings may prevent people who do not know they have the virus that causes COVID-19 from spreading it to others. Cloth face coverings are intended to protect other people—not the wearer.
Cloth face coverings are not PPE. They are not appropriate substitutes for PPE such as respirators (like N95 respirators) or medical facemasks (like surgical masks) in workplaces where respirators or facemasks are recommended or required to protect the wearer.
While wearing cloth face coverings is a public health measure intended to reduce the spread of COVID-19 in communities, wearing a single cloth face covering for the full duration of a work shift (e.g., eight or more hours) in a manufacturing facility may not be practical if the face covering becomes wet, soiled, or otherwise visibly contaminated during the work shift. If cloth face coverings are worn in these facilities, employers should provide readily available clean cloth face coverings (or disposable facemask options) for workers to use when the coverings become wet, soiled, or otherwise visibly contaminated.
Employers who determine that cloth face coverings should be worn in the workplace, including to comply with state or local requirements for their use, should ensure the cloth face coverings:

fit over the nose and mouth and fit snugly but comfortably against the side of the face;
are secured with ties or ear loops;
include multiple layers of fabric;
allow for breathing without restriction;
can be laundered using the warmest appropriate water setting and machine dried daily after the shift, without damage or change to shape (a clean cloth face covering should be used each day);
are not used if they become wet or contaminated;
are replaced with clean replacements, provided by the employer, as needed.
are handled as little as possible to prevent transferring infectious materials to or from the cloth; and
are not worn with or instead of respiratory protection when respirators are needed.

Educate and train workers and supervisors about how they can reduce the spread of COVID-19Supplement workers’ normal and required job training (e.g., training required under OSHA standards) with additional training and information about COVID-19, including recognizing signs and symptoms of infection and ways to prevent exposure to the virus. Training should include information about how to implement the various infection prevention and control measures recommended here and included in any infection prevention and control or COVID-19 response plan that an employer develops. OSHA provides additional informationexternal icon about training on its COVID-19 webpage.
All communication and training should be easy to understand and should (1) be provided in languages appropriate to the preferred languages spoken or read by the workers, if possible; (2) be at the appropriate literacy level; and (3) include accurate and timely information about:

Signs and symptoms of COVID-19, risks for workplace exposures, the spread of the virus, and how workers can protect themselves;
Proper handwashing practices and use of hand sanitizer stations;
Cough and sneeze etiquette; and
Other routine infection control precautions (e.g., signs and symptoms of COVID-19, putting on or taking off masks or cloth face coverings and social distancing measures).

Employers should place simple posters in all of the languages that are common in the worker population that encourage staying home when sick (or after testing positive for the virus that causes COVID-19), cough and sneeze etiquette, and proper hand hygiene practices. They should place these posters at the entrance to the workplace and in break areas, locker rooms, and other workplace areas where they are likely to be seen.
CDC has free, simple posters available to download and print, some of which are translated into different languages. The Stop the Spread of Germs poster pdf icon[441 KB, 1 Page] is available in Amharic pdf icon[444 KB, 1 Page], Arabic pdf icon[475 KB, 1 Page], Burmese pdf icon[459 KB, 1 Page], Dari pdf icon[493 KB, 1 Page], Farsi pdf icon[460 KB, 1 Page], French pdf icon[443 KB, 1 Page], Haitian Creole pdf icon[437 KB, 1 Page], Kinyarwanda pdf icon[435 KB, 1 Page], Karen pdf icon[807 KB, 1 Page], Korean pdf icon[511 KB, 1 Page], Nepali pdf icon[450 KB, 1 Page], Pashto pdf icon[478 KB, 1 Page], Portuguese pdf icon[438 KB, 1 Page], Russian pdf icon[434 KB, 1 Page], Simplified Chinese pdf icon[595 KB, 1 Page], Somali pdf icon[437 KB, 1 Page], Spanish pdf icon[438 KB, 1 Page], Swahili pdf icon[437 KB, 1 Page], Tigriyna pdf icon[420 KB, 1 Page], Ukrainian pdf icon[441 KB, 1 Page], and Vietnamese pdf icon[441 KB, 1 Page].
Employers should post signs that you can read from a far distance (or use portable, electronic reader boards) that inform visitors and workers of social distancing practices.
Employers should provide alternative training for workers who cannot read written materials or who require other reasonable accommodations.
OSHA understands that some employers may face difficulties complying with OSHA standards due to the ongoing health emergency, including those standards that require certain types of worker training. OSHA is providing enforcement discretionexternal icon around the completion of training and other provisions in its various standards. OSHA has instructed its Compliance Safety and Health Officers (CSHOs) to evaluate whether an employer has made a good faith effort to comply with applicable OSHA standards and, in situations where compliance was not possible given the ongoing pandemic, to ensure that employees were not exposed to hazards from tasks, processes, or equipment for which they were not prepared or trained.
Cleaning and disinfection in manufacturing
For tool-intensive operations, employers should ensure tools are regularly cleaned and disinfected, including at least as often as workers change workstations or move to a new set of tools. Refer to List Nexternal icon on the EPA website for EPA-registered disinfectants that have qualified under EPA’s emerging viral pathogens program for use against SARS-CoV-2.
Establish protocols and provide supplies to increase the frequency of sanitization in work and common spaces. Disinfect frequently touched surfaces in workspaces and break rooms (e.g., microwave and refrigerator handles, vending machine touchpads, knobs, levels, and sink handles) at least once per shift, if possible. For example, wipe down tools or other equipment at least as often as workers change workstations. Frequently clean push bars and handles on any doors that do not open automatically and handrails on stairs or along walkways. If physical barriers are being used, then these should be cleaned frequently.
Workers who perform cleaning and disinfection tasks may require additional PPE and other controls to protect them from chemical hazards posed by disinfectants. Note: Employers must ensure their written hazard communication programexternal icon is up to date and training is up to date for all employees. (Also, see OSHA’s enforcement discretion memorandumexternal icon on this topic.) Employers may need to adapt guidance from this section, the Environmental Services Workers and Employersexternal icon section, and the Interim Guidance for Workers and Employers of Workers at Increased Risk of Occupational Exposureexternal icon, to fully protect workers performing cleaning and disinfection activities in manufacturing workplaces.
Screening[1] and monitoring workers
Workplaces, particularly in areas where community transmission of COVID-19 is occurring, should consider developing and implementing a comprehensive screening and monitoring strategy aimed at preventing the introduction of COVID-19 into the work site. Consider a program of screening workers before entry into the workplace, criteria for exclusion of sick workers, including asymptomatic workers who have tested positive for COVID-19; and criteria for return to work of exposed and recovered (those who have had signs or symptoms of COVID-19 but have gotten better).. This type of program should be coordinated to the extent possible with local public health authorities and could consist of the following activities:
Screening of workers for COVID-19
Screening manufacturing workers for COVID-19 symptoms (such as temperature checks) is an optional strategy that employers can use. If implemented for all workers, policies and procedures for screening workers should be developed in consultation with state and local health officials and occupational medicine professionals. Options to screen workers for COVID-19 symptoms include:

Screen before entry into the facility.
Provide verbal screening in appropriate language(s) to determine whether workers have had symptoms including a cough or shortness of breath, or at least two of these: fever, chills, repeated shaking with chills, muscle pain, headache, sore throat, or new loss of taste or smell. in the past 24 hours.
Check temperatures of workers at the start of each shift to identify anyone with a fever of 100.4°F or greater (or reported feelings of feverishness). Ensure that screeners:

Are trained to use temperature monitors and monitors are accurate under conditions of use (such as cold temperatures); and
Wear appropriate PPE.

Do not let employees enter the workplace if they have a fever of 100.4°F or greater (or reported feelings of feverishness), or if screening results indicate that the worker is suspected of having COVID-19.

Encourage workers to self-isolate and contact a healthcare provider;
Provide information on the facility’s return-to-work policies and procedures; and
Inform human resources, employer health unit (if in place), and supervisor (so the worker can be moved off schedule during illness and a replacement can be assigned, if needed).

Ensure that personnel performing screening activities, including temperature checks, are appropriately protected from exposure to potentially infectious workers entering the facility:

Implement engineering controls, such as physical barriers or dividers or rope and stanchion systems, to maintain at least 6 feet of distance between screeners and workers being screened.
If screeners need to be within 6 feet of workers, provide them with appropriate PPE based on the repeated close contact the screeners have with other workers.

Such PPE may include gloves, a gown, a face shield, and, at a minimum, a face mask.
N95 filtering facepiece respirators (or more protective) may be appropriate for workers performing screening duties and necessary for workers managing a sick employee in the work environment (see below) if that employee has signs or symptoms of COVID-19. If respirators are needed, they must be used in the context of a comprehensive respiratory protection program that includes medical exams, fit testing, and training in accordance with OSHA’s Respiratory Protection standardexternal icon (29 CFR 1910.134).

Managing sick workers
Workers who appear to have symptoms including a cough or shortness of breath, or at least two of these: fever, chills, repeated shaking with chills, muscle pain, headache, sore throat, or new loss of taste or smell upon arrival at work or who become sick during the day should immediately be separated from others at the workplace and sent home.
Ensure that personnel managing sick employees are appropriately protected from exposure. When personnel need to be within 6 feet of a sick colleague, appropriate PPE may include gloves, a gown, a face shield and, at a minimum, a face mask. N95 filtering facepiece respirators (or more protective) may be appropriate for workers managing a sick employee if that employee has signs or symptoms of COVID-19. If respirators are needed, they must be used in the context of a comprehensive respiratory protection program that includes medical exams, fit testing, and training in accordance with OSHA’s Respiratory Protection standardexternal icon (29 CFR 1910.134).
If a worker is confirmed to have COVID-19 (regardless of whether that has had symptoms of COVID-19), employers should inform anyone they have come into contact with (including fellow workers, inspectors, graders, etc.) of their possible exposure to COVID-19 in the workplace, but should maintain confidentiality as required by the Americans with Disabilities Act (ADA). The employer should instruct fellow workers about how to proceed based on the CDC Public Health Recommendations for Community-Related Exposure.
If a worker becomes or reports being sick, or testing positive for COVID-19,  disinfect the workstation used and any tools handled by the worker.
Employers should work with state, local, tribal, and/or territorial health officials to facilitate the identification of other exposed and potentially exposed individuals, such as coworkers in a plant.
On-site healthcare personnel, such as facility nurses or emergency medical technicians, should follow appropriate CDC and OSHAexternal icon guidance for healthcare and emergency response personnel.
Addressing return to work

Critical infrastructure employers have an obligation to manage the continuation of work and return to work of their workers in ways that best protect the health of workers, their coworkers, and the general public. Employers should consider providing screening and ongoing medical monitoring of these workers, ensuring they wear an appropriate source control device (e.g cloth face covering and/or face shield) in accordance with CDC and OSHA guidance and any state or local requirements, and implementing social distancing to minimize the chances of workers exposing one another.
Critical infrastructure employers should continue to minimize the number of workers present at work sites, balancing the need to protect workers with support for continuing critical operations.
Reintegration (bringing back) of exposed, asymptomatic workers to on-site operations should follow the CDC Critical Infrastructure Guidance. The guidance advises that employers may permit workers who have been exposed to COVID-19, but remain without symptoms, to continue to work, provided they adhere to additional safety precautions. This option should be used as a last resort and only in limited circumstances, such as when cessation of operation of a facility may cause serious harm or danger to public health or safety. Consultation with an occupational health provider and state and local health officials will help employers develop the most appropriate plan.
Reintegration of workers with COVID-19 (COVID-19 positive), including those workers who have remained asymptomatic, to on-site operations should follow the CDC interim guidance, “Discontinuation of Isolation for Persons with COVID-19 Not in Healthcare Settings.” As noted above, consultation with an occupational health provider and state and local health officials will help employers develop the most appropriate plan.

As employers move forward with continuing essential work, they should implement strategies to prioritize positions without which critical work would stop. This prioritization should include an analysis of work tasks, workforce availability at specific work sites, and assessment of hazards associated with the tasks and work site. Employers may be able to cross-train workers to perform critical duties at a work site to minimize the total number of workers needed to continue operations.
For workers who have had signs/symptoms of COVID-19
Both workers with COVID-19 who have symptoms and those that have tested positive for COVID-19and have stayed home (home isolated) should not return to work until they have met the criteria to discontinue home isolation, and have consulted with their healthcare providers and state and local health departments.
The situation is constantly changing, so employers of critical infrastructure workers will need to continue to reassess the virus’s transmission levels in their area and follow recommendations from local, state, and federal officials. This guidance does not replace state and local directives for businesses.
Personal protective equipment
Employers must conduct a hazard assessment to determine if hazards for which workers need PPE are present, or are likely to be present. OSHA’s PPE standardsexternal icon (29 CFR 1910 Subpart I) require employers to select and provide appropriate PPE to protect workers from hazards identified in the hazard assessment. The results of that assessment will be the basis of workplace controls (including PPE) needed to protect workers.
Employers should:

Face shields may serve as both PPE and source control:

If helmets are being used, use face shields designed to attach to helmets.
Face shields can provide additional protection from both potential process-related splashes and potential person-to-person droplet spread.

Safety glasses may fog up when used in combination with masks or cloth face coverings.
Only some face shields are acceptable substitutions for eye protection (such as safety glasses) that are used for impact protection; facilities should consult with an occupational safety and health professional concerning the use of face shields.

Face shields can help minimize contamination of masks and cloth face coverings.
If used, face shields should be cleaned and decontaminated after each shift, and when not in use they should be kept in a clean location at the work facility.
If used, face shields should also wrap around the sides of the wearer’s face and extend to below the chin.

Employers should stress hand hygiene before and after handling all PPE. Employers in manufacturing industries should continue to stay up to date on the most current guidance concerning PPE.
As part of their hazard assessments, employers must always consider whether PPE is necessary to protect workers. Specifically, when engineering and administrative controls are difficult to maintain and there may be exposure to other workplace hazards, such disinfectants used for facility cleaning, PPE should be considered.
During the COVID-19 pandemic, manufacturing employers should consider allowing voluntary use of filtering facepiece respirators (such as an N95, if available) for their workers, even if respirators are not normally required. Employers who permit voluntary use of respirators must comply with applicable provisions of OSHA’s Respiratory Protection standardexternal icon (29 CFR 1910.134), including proving a copy of Appendix D – Information for Employees Using Respirators When Not Required Under Standardexternal icon to employees who use such equipment.
In addition to face shields as noted above, workers in manufacturing facilities may need PPE such as gloves, face and eye protection, and other types of PPE when cleaning and disinfecting manufacturing plants (including frequently touched surfaces), tools, and equipment.
When PPE is needed, employers should consider additional hazards created by poorly fitting PPE (e.g., mask ties that dangle or catch, PPE that is loose and requires frequent adjustment or tends to fall off), including hazards resulting from use of such PPE in a particular work environment (e.g., where workers are around machinery in which PPE could get caught).
Workers’ rights
Section 11(c)external icon of the Occupational Safety and Health Act of 1970external icon (29 USC 660(c)) prohibits employers from retaliating against workers for raising concerns about safety and health conditions. Additionally, OSHA’s Whistleblower Protection Programexternal icon enforces the provisions of more than 20 industry-specific federal laws protecting employees from retaliation for raising or reporting concerns about hazards or violations of various airline, commercial motor carrier, consumer product, environmental, financial reform, food safety, health insurance reform, motor vehicle safety, nuclear, pipeline, public transportation agency, railroad, maritime, securities, and tax laws. OSHA encourages workers who suffer such retaliation to submit a complaint to OSHAexternal icon as soon as possible in order to file their complaint within the legal time limits, some of which may be as short as 30 days from the date they learned of or experienced retaliation. An employee can file a complaint with OSHA by visiting or calling his or her local OSHA office; sending a written complaint via fax, mail, or email to the closest OSHA office; or filing a complaint onlineexternal icon. No particular form is required, and complaints may be submitted in any language.
OSHA provides recommendations intended to assist employers in creating workplaces that are free of retaliation and guidance to employers on how to properly respond to workers who may complain about workplace hazards or potential violations of federal laws. OSHA urges employers to review its publication Recommended Practices for Anti-Retaliation Programs pdf icon[569 KB, 12 Pages]external icon.
[1] Employers should evaluate the burdens and benefits of recording workers’ temperatures or asking them to complete written questionnaires. These types of written products become records that must be retained for the duration of the workers’ employment plus 30 years. See OSHA’s Access to Employee Exposure and Medical Records standard (29 CFR 1910.1020external icon).
Quick reference guides for manufacturing facility employees and employers
CDC has also developed three one-page flyers with recommendations and strategies for preventing the spread of COVID-19 in manufacturing facilities and when carpooling to and from work. These include:

Stay home if you are having symptoms of COVID-19.
Follow CDC recommended steps if you are sick.
Do not return to work until you meet the criteria to discontinue home isolation.

Talk with your healthcare provider about when it’s safe for you to return to work and coordinate with your employer.

Stay at least 6 feet away from customers and coworkers, when possible.

Request that passengers avoid standing or sitting within 6 feet of each other and the driver’s seat.

Masks are required on planes, buses, trains, and other forms of public transportation traveling into, within, or out of the United States and in U.S. transportation hubs such as airports and stations. Travelers are not required to wear a mask in outdoor areas of a conveyance (like on a ferry or the top deck of a bus). CDC recommends that travelers who are not fully vaccinated continue to wear a mask and maintain physical distance when traveling.

Wear a mask over your nose and mouth when in public settings. Face coverings or masks may prevent people who don’t know they have the virus from spreading it to others.
Be careful when putting on and taking off cloth face coverings or masks:

Wash your hands before putting on and after taking off the covering or mask.
Don’t touch your face covering or mask while wearing it.
Don’t touch your face, mouth, nose, or eyes while taking off the covering or mask.
Wash the covering or mask after each use.

Cloth face coverings or masks should not be worn if their use creates a new risk (for example, if they interfere with driving or vision, or contribute to heat-related illness) that exceeds their COVID-19 related benefits of slowing the spread of the virus. Cloth face coverings or masks should also not be worn by anyone who has trouble breathing or is unable to remove the covering or mask without assistance. CDC provides information on adaptations and alternatives that should be considered when cloth face coverings or masks may not be feasible.
Consider carrying a spare cloth face covering or mask.
If you are concerned about the use cloth face coverings or masks at your workplace, discuss them with your employer.

Be aware of contact with frequently touched surfaces.
Wash your hands regularly with soap and water for at least 20 seconds. You don’t need to wear gloves if you wash your hands regularly (unless they are already required for your job).

Use an alcohol-based hand sanitizer containing at least 60% alcohol if soap and water aren’t available.
Clean your hands at these key times:

Before, during, and after preparing food
Before eating food
After using the toilet
After blowing your nose, coughing, or sneezing
After putting on, touching, or removing cloth face coverings or masks
Before and after work and work breaks
After touching frequently touched surfaces, such as fareboxes and handrails
After assisting passengers with their belongings (e.g. wheelchairs, luggage, bags)
After assisting passengers boarding or exiting the vehicle

Do not touch your face, mouth, nose, or eyes.
Cover your coughs and sneezes.

Use tissues to cover your mouth and nose when you cough or sneeze.
Throw used tissues in the trash.
Wash your hands with soap and water for at least 20 seconds.

Cruise lines that have ships operating or planning to operate in U.S. waters during the period of the No Sail Order extension

Parent Company
Cruise Line
No Sail Order Response Plan Status
Ship Name
Ship Status
Commercial Travel Allowed¥

Bahamas Paradise Cruise Line
Bahamas Paradise Cruise Line
Complete and accurate with signed acknowledgement
Grand Classica
Green
Yes

Carnival Corporation
Carnival Cruise Lines, Inc.
Complete and accurate with signed acknowledgement
Carnival Breeze
Green
Yes

Carnival Conquest
Green
Yes

Carnival Ecstasy
Green
Yes

Carnival Elation
Orange
Yes

Carnival Freedom
Orange
Yes

Carnival Horizon
Orange
Yes

Carnival Liberty
Green
Yes

Carnival Mardi Gras
Orange
Yes

Carnival Miracle
Green
Yes

Carnival Panorama
Green
Yes

Carnival Pride
Green
Yes

Carnival Sensation
Green
Yes

Carnival Sunrise
Green
Yes

Carnival Sunshine
Green
Yes

Carnival Vista
Orange
Yes

Holland America Line
Complete and accurate with signed acknowledgement
Koningsdam
Orange
Yes

Nieuw Amsterdam
Green
Yes

Nieuw Statendam
Green
Yes

Noordam
Orange
Yes

Westerdam
Green
No

Zuiderdam
Green
Yes

Princess Cruises
Complete and accurate with signed acknowledgement
Caribbean Princess
Orange
Yes

Coral Princess
Green
Yes

Emerald Princess
Green
Yes

Grand Princess
Orange
Yes

Majestic Princess
Green
Yes

Royal Princess
Green
Yes

Ruby Princess
Green
Yes

Walt Disney Company
Disney Cruise Line
Complete and accurate with signed acknowledgement
Disney Dream
Green
Yes

Disney Fantasy
Red
No

MSC Cruise Management (UK) Limited
MSC Cruises
Complete and accurate with signed acknowledgement
MSC Armonia
Orange
Yes

MSC Meraviglia
Orange
Yes

Norwegian
Cruise Line Holdings
NorwegianCruise Line
Complete and accurate with signed acknowledgement
Norwegian Jewel
Green
Yes

Norwegian Sun
Green
No

Pride of America
Green
Yes

Royal Caribbean Group
Celebrity Cruises
Complete and accurate with signed acknowledgement
Celebrity Edge
Orange
Yes

Celebrity Equinox
Green
Yes

Celebrity Reflection
Orange
Yes

Celebrity Silhouette
Green
Yes

Celebrity Summit
Green
Yes

Royal Caribbean International
Complete and accurate with signed acknowledgement
Allure of the Seas
Red
No

Brilliance of the Seas
Orange
Yes

Enchantment of the Seas
Green
Yes

Explorer of the Seas
Green
Yes

Freedom of the Seas
Orange
Yes

Independence of the Seas
Orange
Yes

Liberty of the Seas
Green
Yes

Mariner of the Seas
Red
No

Navigator of the Seas
Orange
Yes

Oasis of the Seas
Red
Yes

Rhapsody of the Seas
Green
Yes

Serenade of the Seas
Orange
Yes

Symphony of the Seas
Green
Yes

Vision of the Seas
Green
Yes

*Provisionally Green: Ship meets the surveillance criteria for “Green” status, but the ship has not submitted a signed attestation to CDC for crew to travel commercially.
¥Commercial Travel Allowed: Allowed for ships that are “Green” or “Orange” and have submitted a signed attestation to CDC for crew to travel commercially.
Frequently Asked Questions
Is the process for crew disembarkation under the Framework for Conditional Sailing Order different from the process during the No Sail Order period?
No, the process for crew disembarkation required during the No Sail Order period remains the same during the initial phases of the Framework for Conditional Sailing Order.
Why is CDC requiring ships to routinely test all crew members during the phases of the Framework for Conditional Sailing Order, including those on “Green” ships?
The purpose of testing during the phases of the Framework for Conditional Sailing Order is to ensure cruise ship operators have adequate health and safety protections for crew members while they build the onboard laboratory capacity needed to test crew and future passengers. There also continue to be potential exposures on board — including on “Green” ships — such as from newly embarking crew members, crew transfers, and contractors.
What steps is CDC taking to make sure ships stay in compliance with the criteria for commercial transport of crew?
CDC will review daily surveillance data provided by ships, and only those ships that do not meet “Yellow” or “Red” criteria will maintain this status.
What other changes can cruise ships make if they meet the criteria for commercial transport?
CDC is committed to helping cruise lines provide for the safety and well-being of their crew members onboard. As cruise ships are able to show they have no cases of confirmed COVID-19 or COVID-19-like illness onboard, crew members will be able to resume some of their daily interactions with fellow crew members.
Some examples of decreased restrictions on cruise ships if they meet these criteria include resuming in-person meetings, events, and social gatherings; and reopening bars, gyms, or other group settings onboard for crew member use.
What does it mean if a cruise line or cruise ship is not listed on the table above?
If a cruise line or cruise ship is not listed, it means one of the following:

CDC has not been notified that the ship is intending to operate in U.S. waters during the period of the Framework for Conditional Sailing Order, or
CDC has not completed the review of the cruise line’s plan, or
Cruise line has not returned an acknowledgement attesting that their No Sail Order response plan is complete and accurate, or
Ship has not submitted at least 4 weeks of surveillance data to CDC in accordance with the Technical Instructions.

CDC Monitoring Reports of Myocarditis and PericarditisCDC has received increased reports of myocarditis and pericarditis in adolescents and young adults after COVID-19 vaccination. The known and potential benefits of COVID-19 vaccination outweigh the known and potential risks, including the possible risk of myocarditis or pericarditis. We continue to recommend COVID-19 vaccination for individuals 12 years of age and older.Learn When to Seek Medical Care

CDC Monitoring Reports of Myocarditis and PericarditisCDC has received increased reports of myocarditis and pericarditis in adolescents and young adults after COVID-19 vaccination. The known and potential benefits of COVID-19 vaccination outweigh the known and potential risks, including the possible risk of myocarditis or pericarditis. We continue to recommend COVID-19 vaccination for individuals 12 years of age and older.Learn When to Seek Medical Care

CDC invites representatives from community-based organizations, local government, the private sector, academia, and the general public to learn more about how they can help slow the spread of COVID-19 in their communities. We feature experts from different parts of CDC’s COVID-19 response to deep dive into specific topics, helping you learn more about the latest scientific findings, guidance for operations, information resources, and answering your COVID-19 questions.