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Pre-existing Immunization Requirements for Certain Health Care Facilities (Not LTCFs). In regulationMust have immunity to measles and rubellaMust have annual PPD test for TBSome individual facilities require more, eg. mumps and varicella, but not in regulationRequirement for measles, rubella, and PPD: NO religious exemption. .
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1. Requirement for Influenza Vaccination of Health Care Personnel: New York State’s Experience Debra Blog, MD, MPH
Bureau of Immunization
New York State Department of Health
January 20, 2010
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2. Pre-existing Immunization Requirements for Certain Health Care Facilities (Not LTCFs) In regulation
Must have immunity to measles and rubella
Must have annual PPD test for TB
Some individual facilities require more, eg. mumps and varicella, but not in regulation
Requirement for measles, rubella, and PPD: NO religious exemption. 2
3. 3 Long Term Care Facilities April 2000, Article 21A, the Long term Care Resident and Employee Immunization Act required that influenza immunization be offered to all residents and employees (and pneumococcal vaccine as appropriate)
Includes nursing homes, adult day health care programs, adult homes, and enriched housing programs
Employee can refuse
Vaccination status must be documented yearly
4. 4 LTCFs Continued The enactment of this law has failed to promote consistent immunization rates of personnel over 44%
5. Influenza/Immunization Requirements For LTCFs in statute
For certain health care facilities in regulation 5
6. 6 Efforts Made Under a Voluntary System Two letters from the NYSDOH Commissioner emphasizing influenza immunization of health care personnel as the standard of care
Emphasized in many advisories
Tool kits
Continuous promotion of influenza vaccination and the use of incentives
Educational materials
Outreach to healthcare partners
Media campaigns
7. Laying the Foundation for Regulatory Change Preparation for this change was implemented over past few years. Included:
Meetings with partners
Outreach to nurses’ unions/organizations
Educational efforts
Presentations to the State Hospital Review and Planning Committee (SHRPC) meetings, which are open to the public 7
8. Timeline SHRPC voted to accept as an emergency regulation on August 13, 2009, effective immediately.
Included both seasonal and H1N1 influenza vaccines
Emergency reg was renewed once
Regulation suspended on October 23, 2009 due to lack of sufficient supply of both types of vaccine (along with other NYS flu laws) 8
9. 9 Subpart 66-3 – Health Care Facility Personnel Influenza Immunization Requirements Definitions
Health care facility-personnel influenza immunization requirements
Health care facility requirements, existing personnel
Health care facility requirements, new personnel
Documentation
Exceptions
Reporting requirements
10. 10 Definitions Medically contraindicated
Vaccination would be detrimental to the person’s health
In a manner recognized nationally
Guidance will be posted on the NYSDOH website
Personnel-broad definition
All persons employed or affiliated
Paid or unpaid-includes members of the medical staff, contract staff, students, and volunteers
who either have direct contact with patients or whose activities are such that if they were infected with influenza, they could potentially expose patients, or others who have direct contact with patients
11. 11 Definitions Continued Health Care Facilities (HCFs)
General hospitals
Diagnostic and Treatment Centers
Certified Home Health Agencies
Licensed Home Care Service Agencies
Long Term Home Health Care Programs
AIDS Home Care Programs
Hospices
12. 12 Personnel influenza immunization requirements HCFs must notify personnel about the requirement
HCFs must require that all be immunized against influenza
Immunization will be conducted according to national recommendations in effect and posted on the NYSDOH website
Immunization will take place unless the Commissioner of Health has determined that supply is not adequate
13. 13 Cost of Vaccination HCFs must offer influenza at no cost to the personnel
Personnel can obtain the vaccination elsewhere but then the person or their insurance will have to pay for it
14. 14 Existing Personnel If personnel choose to get vaccinated elsewhere documentation must be provided
Vaccination or provision of documentation no later than November 30 of each year
15. 15 New Personnel If enters employment after November 30th but before April 1
Needs influenza immunization status evaluated
If not immunized for the current season, need to do so
Can receive elsewhere if provides documentation
16. 16 Documentation HCF must document annual influenza vaccination in the personnel files
Must record
date, site of administration, type of vaccine, dose, manufacturer, lot number, that a vaccine information statement was given to the vaccinee and which one, name of the person giving the vaccination, any reactions known
If vaccinated elsewhere HCF must document date, type of vaccine, dose, and name of person administering the vaccine
17. 17 Exceptions Medical contraindications only
Immunization will be conducted according to national recommendations in effect and posted on the NYSDOH website
Consistent with previous regs
18. 18 Reporting requirements Each HCF shall collect and report aggregate data on influenza immunization of personnel
Shall report on the status of personnel between April 1 and March 31 of each year
Report to the NYSDOH by May 1 of each year
Data to include but not be limited to: number of personnel immunized by occupation, total number of personnel by occupation, reasons any personnel did not receive vaccine
19. Response Strong opposition from nurses
New York State Nurses Association (NSYNA) was opposed
Thousands of letters
Thousands of phone calls
Several small protests
Organized letter writing campaigns
Anti-vaccine movement became involved
Two law suits 19
20. NYSDOH Experience Rapidly changing Q and As drafted
Responding to the huge volume of calls and letters took up staff time
Staff was verbally attacked on the phone
All this right when H1N1 hit
A call center was set up to accept the thousands of phone calls
And then it all stopped
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21. Some Sticking Points Definition of personnel was difficult to interpret and operationalize
Lack of religious exemption was contentious
Adhering to a standard of medical exemptions was also contentious
What should be done with those who refused
What should be done with those who have medical exemptions 21
22. Future Regs are being revised and clarified based on what we learned
Plans are to go forward with permanent adoption
Plans to address long term care facilities through statute 22