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Federal Contractor FAQs Updated to Provide Some Flexibility and Clarity

We鈥檝e previously discussed the President鈥檚 September 2021 executive order which would remove weekly testing as an option for federal contractors/subcontractors effective December 8, resulting in virtually all employees of federal contractors or subcontractors being vaccinated.聽 However, the FAQs implementing the rules for contractors were Monday, November 1, 2021, to clarify some details, such as:

  • Contractor/subcontractor would not have to request proof of vaccination if there鈥檚 an appropriate mechanism already available to secure such information without violating privacy.
    • 鈥淚f, consistent with all relevant privacy laws, a covered contractor can access its employee鈥檚 vaccination documentation directly, such as when the contractor previously requested the employee to provide vaccination documentation, has existing documentation from an employee vaccination program, or can access information through a State鈥檚 immunization database, the covered contractor does not need to require its employee to show or provide documentation.鈥
  • A contractor/subcontractor may be able to begin work even if accommodation requests are still being worked through as the respective deadlines arrive.
    • 鈥淭he covered contractor may still be reviewing requests for accommodation as of the time that covered contractor employees begin work on a covered contract or at a covered workplace. While accommodation requests are pending, the covered contractor must require a covered contractor employee with a pending accommodation request to follow workplace safety protocols for individuals who are not fully vaccinated as specified in the Task Force聽.鈥
  • It鈥檚 up to each federal agency how to handle those granted an accommodation, but in most cases they鈥檒l simply require the unvaccinated contractor/subcontractor employee to 鈥渇ollow applicable masking, physical distancing, and testing protocols.鈥澛 Some agencies may determine those being granted an accommodation would be unsafe to include in a federal contract or site, so the contractor/subcontractor should just be prepared for that possibility.
  • Additional clarity is offered about whether and to what extent a 鈥渃orporate affiliate鈥 with some shared ownership or shared facilities with a covered contractor/subcontractor might also need to follow these rules for some of their own employees.
  • Federal agencies will largely defer to contractors/subcontractors on how to deal with refusal to get vaccinated or request accommodation.聽 They encourage these employers to follow their usual written employment policies or collective bargaining agreement for disciplinary procedures to follow, and they provide a framework for how the federal agencies themselves handle those refusing vaccines.聽 Just note the federal agency with which the contractor is working might deny entry to a federal workplace.聽 A portion of this FAQ says this:
    • 鈥淕uidance for Federal agencies is to utilize an enforcement policy that encourages compliance, including through a limited period of counseling and education, followed by additional disciplinary measures if necessary. Removal occurs only after continued noncompliance. Guidance for Federal agencies is that employees should not be placed on administrative leave while the agency is pursuing an adverse action for refusal to be vaccinated but will be required to follow safety protocols for employees who are not fully vaccinated when reporting to agency worksites.鈥

Update November 4: The December 8, 2021, deadline for receiving the final vaccine dose has been to January 4, 2022, to align with the OSHA and CMS rules that apply to other employers.

IMA will continue to monitor regulator guidance and offer meaningful, practical, timely information.

This material should not be considered as a substitute for legal, tax and/or actuarial advice. Contact the appropriate professional counsel for such matters. These materials are not exhaustive and are subject to possible changes in applicable laws, rules, and regulations and their interpretations.