Bloodborne Pathogens
From OSHKY Knowledge Library
Medical Records
Exposure Control Plan
Required elements:
- Exposure determination identifying job classifications with occupational exposure and the specific tasks/procedures where exposure occurs.
- Procedures for evaluating circumstances of exposure incidents.
- A schedule of how other provisions of the BBP standard are implemented. Methods of compliance include:
- Universal Precautions
- Engineering and work practice controls
- PPE
- Housekeeping (decon. & waste removal)
- Documentation of:
- Annual consideration/implementation of safer medical devices
- Solicitation of non-managerial employees representing all areas where exposure can occur in updating engineering and work practice controls.
- Reviewed and updated annually and when tasks/procedures/positions change.
Removing BBP
Sources of Terminology
- http://www.cdc.gov/oralhealth/infectioncontrol/glossary.htm
- http://www.midsussex.gov.uk/8172.htm?pageID=1783
- Wikipedia
Terms Related to Removal of BBP
Surfaces (non-living) | Living Tissue | Both |
Disinfectants | Antibiotics | Biocides |
Sanitizers | Antiseptics | |
Sterilization |
Sterilization
- Destroys all microorganisms including large numbers of resistant bacterial spores.
Disinfection
- Destroys most microorganisms but not necessarily all microbial forms, such as bacterial spores.
Sanitization
- Combination of cleaning and disinfecting the surface.
Sterilization > Disinfection ≈ Sanitization
Types of Removing Agents
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Modifications to the BBP standard required under the Needlestick Safety and Prevention Act
Categorized into four categories:
- Modification of definitions relating to engineering controls;
- Revision and updating of the Exposure Control Plan;
- Solicitation of employee input; and
- Recordkeeping
1. Modification of definitions relating to engineering controls
- Added "Sharps with Engineered Sharps Injury Protections"
- Added "Needleless Systems"
- Modified "Engineering Controls" by adding "safer medical devices…."
2. Revision and updating of the Exposure Control Plan
- During annual review and update of the ECP, consider new technology that may be safer and document this consideration and, if applicable, implementation.
3. Solicitation of employee input
- Solicit non-managerial employees who are responsible for direct patient care for input on engineering controls and work practice controls.
- Not all employees but a representation of all ranges of exposure types.
- Document this solicitation.
4. Recordkeeping
- Require a sharps injury log; except for those not required to keep injury and illness logs (OSHA-300/301).
- Minimum info: Device involved, location of incident, description of events
- Log can contain personal info but only if employee's personal info is withheld when sharing data with other parties.
- No specific format required.
- OSHA-300 logs and 301 forms can be used as long as:
- Type and brand of device is included (either 300 or 301)
- Recorded in such a way that it segregates sharps sticks from other illness/injuries; or allows them to be easily separated (e.g., computer filter; separate page of paper; etc.)
- 1904.8 already requires sharps injuries involving contaminated instruments to be recorded in 300/301 forms.
Miscellaneous
- If any potentially infectious material is released on to a surface that may be contacted by employees, that surface must be disinfected. (Diane's email 1/29/2014)