![]() |
U.S. Department of Labor | ![]() |
||||
Occupational Safety & Health Administration |
![]() |
Standard Interpretations
07/07/1992 - Bloodborne pathogen standard's application to physicians. |
![]() |
Standard Number: | 1910.1030 |
July 7, 1992 Frank S. Rhame, M.D. University of Minnesota Box 421 Harvard Street at East River Road Minneapolis, Minnesota 55455-0392 Dear Dr. Rhame: This is in response to your letter of May 14, requesting clarification of the Occupational Safety and Health Administration (OSHA) Instruction [CPL 2-2.69], "Enforcement Procedures for the Occupational Exposure to Bloodborne Pathogens." Your question involves OSHA's application of the "Occupational Exposure to Bloodborne Pathogens" regulation, 29 CFR 1910.1030, to hospitals where physicians who are members of professional corporations practice. For purposes of OSHA enforcement, physicians who are members of professional corporations are generally considered to be employees of that corporation. The corporation may be cited for failure to provide the protections of the bloodborne pathogens standard such as failure to make available the Hepatitis B vaccination to the physician who has occupational exposure. The hospital where the physician practices may also be held responsible as the employer who created or controlled the hazard to which the employee was exposed. Hospitals, for example, may be cited for failure to provide the physician with appropriate personal protective equipment and site specific training. If a non-incorporated physician (who is therefore not an employee) is occupationally exposed, a citation would not be issued if that individual were the only person at risk. There may, however, be cases such as improper disposal of sharps, inwhich such non-incorporated physicians may create a hazard to which hospital employees are exposed. It would be consistent with current OSHA policy to cite the hospital as the employer of the exposed employees for failure to provide the protections of the bloodborne pathogens standard. We hope this information is responsive to your concerns. Thank you for your interest in worker safety and health. Sincerely, Patricia K. Clark, Director Directorate of Compliance Programs [Corrected 10/29/02] |
![]() |
![]() |
www.osha.gov | www.dol.gov |
Contact Us | Freedom of Information Act | Customer Survey Privacy and Security Statement | Disclaimers |
||
Occupational Safety & Health Administration 200 Constitution Avenue, NW Washington, DC 20210 |