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UPDATED: DOLI Permanent Standard Revoked

Revoked

Update from DOLI:

"On March 21, 2022, the Virginia Safety and Health Codes Board adopted the final revocation of the Virginia Standard 16VAC25-220 for Infectious Disease Prevention of the SARS-CoV-2 Virus That Causes COVID-19 (“Virginia Standard”). The revocation will be effective upon publication in the Richmond Times-Dispatch, which is currently scheduled for March 23, 2022.

The Department’s Guidance Document on COVID-19 entitled: Guidance for Employers to Mitigate the Risk of COVID-19 to Workers will be published in the Virginia Register on March 28, 2022 (Volume 38:Issue 16) for a 30 day comment period in accordance with Va. Code § 2.2-4002.1.B. There will be a public comment forum starting on March 28, 2022 and ending April 27, 2022. Even if the Guidance Document later changes as a result of the public comment period, employers can rely upon the draft Guidance document in the interim."

Member-exclusive Toolkit: Navigating Indoor Masking Recommendations


From February 16, 2022:

The Virginia Department of Labor and Industry’s Safety and Health Codes Board met Wednesday, Feb. 16 to consider if the DOLI Permanent Standard for COVID-19 should be withdrawn. The VDA joined other trade associations in asking then-Governor-elect Youngkin to repeal the standard, noting that it includes redundant and unnecessary requirements that add to a significant regulatory burden particularly for small dental offices. 

Ben Traynham & Scott Johnson at Hancock, Daniel & Johnson Law Firm prepared this brief initial update on what the Feb. 16 action means for dental offices:

The Virginia Safety and Health Codes Board met today pursuant to Governor Youngkin’s EO 6 to consider whether the Full Permanent Standard for COVID-19 prevention is still necessary.  The Board found that it is no longer necessary and voted to REVOKE the standard in its entirety.

Although there is still a regulatory process that DOLI must follow to unwind the regulation and make it official, we can comfortably say that this standard should no longer be a concern for compliance purposes.  Governor Youngkin has ordered DOLI not to enforce it, and the Board has voted to revoke it.  

We will of course let you know when it is official and final, but there is no longer a need to comply with the DOLI workforce standard for COVID-19 moving forward.

In short, the VDA believed this policy should not have been applied to dental offices in the first place, and that it added a redundant enforcement mechanism with moving targets on compliance and record keeping that placed an unnecessary burden on dentists.

For VDA members with questions on what this action means for how or if their current office procedures should change, we would refer you to the VDA’s most recently updated COVID and Vaccine Guidelines for Dental Offices, issued jointly with the VDHA. These guidelines are based on data from the Centers for Disease Control (CDC), Occupational Safety and Health Administration (OSHA), the Organization for Safety and Asepsis and Prevention (OSAP) the VA State Health Department, the American Dental Association (ADA) and the American Dental Hygiene Association (ADHA) and have been reviewed by VDA counsel. These guidelines, updated January 17, were based on the best science currently available and are subject to change. 

The VDA and VDHA are pleased to provide these guidelines as an educational benefit. Note these guidelines do not have the effect of law and are not intended to constitute legal advice. Members are encouraged to consult their counsel for guidance on all issues including liability.

 

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