Virginia Approves Permanent COVID-19 Safety and Health Standard


On Jan. 12, 2021, the Virginia Safety and Health Codes Board (Board) voted 9-4 to approve a permanent safety and health standard (Permanent Standard) requiring employers to take steps to protect workers form Coronavirus Disease (COVID-19).

As discussed in a previous GT Alert, on July 15, 2020, the Board approved temporary workplace safety regulations related to COVID-19 (Temporary Standard), making Virginia the first state in the country to do so. The Temporary Standard expires on Jan. 26, 2021, and though the effective date of the Permanent Standard is not yet known, it should be after Jan. 26. Some of the provisions of the Permanent Standard, including the training requirements, will not take effect until 60 days after the effective date.

The Permanent Standard largely mirrors the Temporary Standard and continues to require employers to, among other things: 

Also, the Permanent Standard retains the Temporary Standard’s “safe harbor” provision. Accordingly, an employer’s actions will be considered in compliance with the Permanent Standard if they comport with a CDC recommendation, whether mandatory or non-mandatory, to mitigate COVID-19-related hazards or job tasks addressed by the Permanent Standard, if such recommendation provides equivalent or greater protection than that provided by the Permanent Standard. That said, the Permanent Standard explains that the Virginia Occupational Safety and Health Administration (VOSHA) will consult with the State Health Commissioner for advice and technical aid before making a determination related to compliance with CDC guidelines.

Note: The Permanent Standard contains some important changes of which employers should be aware including, among other things:

The Permanent Standard does not address COVID-19 vaccines or whether employers will be required to mandate their employees receive a COVID-19 vaccine.

Although the Permanent Standard is similar to the Temporary Standard, employers in Virginia should take the opportunity to review, and if necessary, revise their existing policies and procedures regarding COVID-19 to ensure compliance with the Permanent Standard. Virginia employers that fail to comply with the Permanent19 Standard are subject to fines up to $12,726 for serious violations and $127,254 for willful violations.


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National Law Review, Volume XI, Number 20