Are you an employer who needs to provide disposable N95 filtering facepiece respirators (FFRs) to your workers but are unable to secure them due to the COVID-19 pandemic? Read on to learn how OSHA's enforcement guidance for respiratory protection and the N95 shortage along with FDA's role with masks and respirators can affect your business.
OSHA has issued a Memorandum dated April 3, 2020 to OSHA Regional Administrators and State Plan Designees - Subject: Enforcement Guidance for Respiratory Protection and the N95 Shortage Due to the Coronavirus Disease 2019 (COVID-19) Pandemic.
This Memorandum to OSHA’s enforcement team directs them how to inspect against 29 CFR § 1910.134 and certain other health standards. It applies in all industries, including workplaces in which:
Learn more about COVID-19 Safety Management Program
The strategies are:
GET POSTER: How to Self-check an N95 Respirator
The following is a summary of the enforcement guidance provided to OSHA’s CSHO’s inspecting workplace where workers are using N95 FRRs.
Extended use or reuse of N95s:
Use of expired N95s:
Do not use expired N95s:
FDA list of authorized emergency-use respirators for HCP
OSHA will cite on a case-by-case basis and has directed their enforcement officers’ discretion when considering issuing citations in cases where:
In this Memorandum, OSHA directs the enforcement officer to cite when the employer fails to comply with fit testing, maintenance, care, and training requirements as serious violations.
COVID-19 and OSHA Guidance on N95 Respirators
FDA’s Role with Masks and Respirators:
As an added note, the U.S. Food and Drug Administration (FDA) has taken steps to expand the availability of face masks and respirators to help address this urgent public health concern. FDA issued an Enforcement Policy for Face Masks and Respirators During the Coronavirus Disease (COVID-19) Public Health Emergency (Revised) as a Guidance for Industry and Food and Drug Administration Staff. This guidance supersedes the enforcement policy that was issued on March 25, 2020. This guidance is a policy to help expand the availability of general use face masks for the general public and particulate filtering facepiece respirators for health care professionals during this pandemic. Enforcement Policy for Facemasks and Respirators During the Coronavirus Disease (COVID-19) Public Health Emergency Revised April 2020
Face masks and respirators are regulated by the FDA when they meet the definition of a device under section 201(h) of the Federal Food, Drug, and Cosmetic Act (FD&C Act). Generally, face masks fall within this definition when they are intended for a medical purpose, including for use by health care professionals. Face masks not intended for medical purposes are not medical devices. The Enforcement Policy at the link above provides a Table that shows Classification Regulations, Device Types, and Product Codes for masks and respirators that are regulated by FDA.
Managing COVID-19 Infection Control for Your Dental PracticeThis guidance goes on to state:
The FDA’s guidance document at the link provided above defines the steps that FDA is taking to expand the availability of face masks and respirators. They state that they are taking a risk-based approach and are clarifying the policies that FDA intends to apply to masks and respirators, including these products’ associated indications and claims. Section V of this document details FDA’s policy on device marketing authorization, FDA registration, and application of the FD&C Act as they affect the following types of face masks and face shields:
In Section F of this Policy, FDA addresses alternatives to FDA-cleared or NIOSH-approved N95 respirators. One point is that they do not object to distribution (including importation) and use of respirators identified in the CDC recommendations without compliance with the following regulatory requirements:
Section VI of this guidance addresses the facilitation of the safe reuse and conservation of PPE used for medical purposes and the decontamination of those items prior to reuse. It details the emergency use authorization (EUA) for decontaminated devices. FDA states it will work with manufacturers through its EUA process to facilitate expedited evaluation of their request. This document provides a list of information to be sent to FDA regarding the disinfection/decontamination controls. These EUAs for face masks intended for a medical purpose, surgical face masks and N95 respirators ask that manufacturers of these items that are not currently legally marketed in the U.S. as well as manufacturers who have not previously manufactured masks or respirators to send FDA certain information so FDA can determine if the device would be able to meet the EUA requirements.
FDA also states that they welcome the opportunity to work with manufacturers not previously engaged in medical device manufacturing with the interest and capability to manufacture face masks and respirators. If interested a manufacturer should send an email to describe their proposed approach. FDA states that they intend to collaborate with these manufacturers through its EUA process.
How to Achieve Dental OSHA Compliance for your Practice
Proper Removal of PPE for Infection Control
Need help in writing your employee safety policy? Contact an OSHA compliance consultant.
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