skip to main content

News & Events

Deciding Whether to Unmask—One Size Does Not Fit All

By John Vering, John Neyens, Shannon Johnson, and Mark Opara, Seigfreid Bingham, P.C.

View Full Article


On May 13, 2021, CDC Director Rochelle Walensky surprised many in the business community by announcing that “Anyone who is fully vaccinated can participate in indoor and outdoor activities, large or small, without wearing a mask or physical distancing.”  This announcement came with caveats, and the CDC updated its guidance on its website on May 16, 2021. To review the CDC Guidance, click https://www.cdc.gov/coronavirus/2019-ncov/vaccines/fully-vaccinated.html.

The CDC Guidance provides that “Fully vaccinated people can resume activities without wearing a mask or physically distancing, except where required by federal, state, local, tribal, or territorial laws, rules, and regulations, including local business and workplace guidance.” 

This announcement has caused businesses to reexamine their masking and social distancing policies in an effort to determine how best to proceed.  The decision of whether to require employees and/or customers to continue to wear masks and whether and how to determine who is vaccinated is a complicated inquiry, and the fact that different businesses are taking different approaches illustrates our recommendation that one size does not fit all.  The CDC reports that as of May 18, 2021, 37.5% of the U.S. population has been fully vaccinated, and the percentage of persons having received at least one shot is about 10% higher.  However, the rate of vaccinations varies widely from state to state (Maine is 49.77% fully vaccinated, as compared to Mississippi which is 26.16% fully vaccinated, with Kansas at 36.53% and Missouri at 32.67% falling in the middle).  Also, vaccination rates vary widely within each state.

The purpose of this Client Alert is to list some of the most important factors to be considered in determining the best approach for your business.  Keep in mind that potential best practices today might not be best practices tomorrow, and that new guidance from the CDC, OSHA and EEOC is likely to be forthcoming. Different rules may be appropriate for different employees and for employees in different locations and different work environments. 

CDC Guidance is Not Binding but Businesses are Bound by State and Local Laws

Some states, cities and other governmental units and bodies continue to require masks and social distancing, so you need to continue to comply with these requirements if in a jurisdiction or building that continues to require masking and/or social distancing.

OSHA Updates Guidance

On January 29, 2021 OSHA issued 12 pages of detailed Guidance on Mitigating and Preventing the Spread of COVID-19 in the Workplace.  The key takeaways from that Guidance are that Employers should do the following:

On May 17, 2021 OSHA updated that guidance by stating: “The Centers for Disease Control and Prevention (CDC) has issued new guidance relating to recommended precautions for people who are fully vaccinated, which is applicable to activities outside of healthcare and a few other environments. OSHA is reviewing the recent CDC guidance and will update our materials on this website accordingly. Until those updates are complete, please refer to the CDC guidance for information on measures appropriate to protect fully vaccinated workers.” See https://www.osha.gov/coronavirus/safework.

Upcoming EEOC Guidance

The current EEOC guidance on COVID and the ADA, the Rehabilitation Act and other EEO laws was last updated December 16, 2020, but in the last week the EEOC updated its website to note that the EEOC is considering the impact of the CDC’s latest guidance on its technical assistance guidance, and we expect updated guidance from the EEOC to be forthcoming. See: https://www.eeoc.gov/wysk/what-you-should-know-about-covid-19-and-ada-rehabilitation-act-and-other-eeo-laws.

Practical Considerations in Deciding Whether to Allow Fully Vaccinated Employees and/or Customers to Dispense with Masks and/or Social Distancing

 

We urge our clients and friends to continue to monitor new CDC, OSHA and EEOC guidance and changing state and local legal requirements and seek legal advice if you have questions about masking or other COVID matters.  We are also prepared to assist you in developing policies and answering your questions regarding all types of COVID related issues.

 

This article is general in nature and does not constitute legal advice. Please note that new guidance is being provided by authorities on a daily basis so please monitor new developments and guidance, including but not limited to our firm’s COVID-19 Resource Center. Readers with legal questions should consult the authors, John Vering (jvering@sb-kc.com), John Neyens (jneyens@sb-kc.com) Shannon Johnson (sjohnson@sb-kc.com), Mark Opara (mopara@sb-kc.com),  or other shareholders in Seigfreid Bingham’s Employment Law Group, including:  Brenda Hamilton, Julie Parisi, or Christopher Tillery or your regular contact at Seigfreid Bingham at 816-421-4460.