[MCOH-EH] OSHA 1910.1030
Hudson, T. Warner
TWHudson at mednet.ucla.edu
Wed Jun 3 10:52:47 PDT 2015
It is an LCGME issue for medical schools; we see them at UCLA. Warner
T. Warner Hudson, MD FACOEM, FAAFP
Medical Director, Occupational and Employee Health
UCLA Health System and Campus
Office 310.825.9146
Fax 310.206.4585
Pager 800.233.7231 ID 27132
E-mail twhudson at mednet.ucla.edu<mailto:twhudson at mednet.ucla.edu>
Website www.ohs.uclahealth.org<http://www.ohs.uclahealth.org>
From: MCOH-EH [mailto:mcoh-eh-bounces at mylist.net] On Behalf Of Cassano Victoria
Sent: Wednesday, June 03, 2015 10:49 AM
To: mcoh-eh at mylist.net
Subject: [MCOH-EH] OSHA 1910.1030
Well,
I thought I knew this regulation by heart; and further thought that OSHA defined an employee for this standard to include medical students and residents and volunteers. But either I am missing something during my current read, or I am very wrong.
I have had several needle sticks of med students on rotation in the hospital and both the hospital and the medical school are refusing to cover the post -exposure testing and PEP stating it is the student's own responsibility. This is obviously a barrier to proper evaluation of the student.
Any thoughts here?
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